HomeMy WebLinkAboutHOR Surface Water Quality 03.10.22STATE OF NORTH CAROLINA
DEPARTMENT OF ENVIRONMENTAL QUALITY
REPORT OF PROCEEDINGS TO THE ENVIRONMENTAL MANAGEMENT COMMISSION ON
THE PROPOSED CHANGES TO THE SURFACE WATER QUALITY
CLASSIFICATIONS AND STANDARDS FOR THE PROTECTION OF SURFACE WATERS
REGULATIONS TRIENNIAL REVIEW
15A NCAC 02B .0100-.0300
Environmental Management Commission
March 10, 2022
Public Hearing
Date: July 20, 2021
Location: Virtual (via WebEx due to COVID-19)
NC Register: Publication of Notice of EMC Intention to Amend Rules in accordance with NCGS §150B-21.4 and
NCGS §150B
Proposed Text Volume 35, Issue 22, pp. 2407-2433
May 17, 2021
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Contents
Table of Abbreviations and Acronyms ........................................................................................................... 4
Introduction ................................................................................................................................................... 5
Background .................................................................................................................................................... 5
Summary of Proposed Amendments............................................................................................................. 7
1,4-Dioxane ................................................................................................................................................ 7
Cadmium .................................................................................................................................................... 7
Cyanide ...................................................................................................................................................... 8
Definitions .................................................................................................................................................. 9
E. coli (Primary Recreation) ....................................................................................................................... 9
Selenium .................................................................................................................................................... 9
Eastern Band of Cherokee Indians ........................................................................................................... 10
Technical Corrections .............................................................................................................................. 10
Several minor technical corrections are also proposed as follows: .................................................... 10
Regulatory Impact Analysis Summary ......................................................................................................... 11
Public Hearings ............................................................................................................................................ 12
Public Comments on Proposed Rules .......................................................................................................... 13
1,4-Dioxane .............................................................................................................................................. 13
Cadmium .................................................................................................................................................. 24
Cyanide .................................................................................................................................................... 27
E. coli Primary Recreation Standards....................................................................................................... 31
Selenium .................................................................................................................................................. 35
Variances .................................................................................................................................................. 38
Comments on Other Topics ......................................................................................................................... 40
Aluminum................................................................................................................................................. 40
Ammonia .................................................................................................................................................. 40
Cyanotoxins and Harmful Algal Blooms (HABs) ....................................................................................... 41
Drinking water protection (general comments) ...................................................................................... 43
Establishing adequately protective water quality standards .................................................................. 43
Flow .......................................................................................................................................................... 46
Methylmercury ........................................................................................................................................ 47
Nutrient water quality standards ............................................................................................................ 47
Pesticides ................................................................................................................................................. 48
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PFAS ......................................................................................................................................................... 49
Regulatory protections (general comments)........................................................................................... 52
Submerged Aquatic Vegetation ............................................................................................................... 53
Hearing Officer’s Recommendations ........................................................................................................... 55
1,4-Dioxane .......................................................................................................................................... 55
Cadmium .............................................................................................................................................. 55
Cyanide ................................................................................................................................................ 55
Definitions ............................................................................................................................................ 55
Eastern Band of Cherokee Indians ....................................................................................................... 56
E. coli recreational criteria ................................................................................................................... 56
Selenium .............................................................................................................................................. 56
Technical changes ................................................................................................................................ 57
Appendix A – Supporting Documents .......................................................................................................... 58
Appendix B – Proposed Rule Amendments ............................................................................................... 213
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Table of Abbreviations and Acronyms
Abbreviation Meaning
AMS NC DEQ Ambient Monitoring System
APA Administrative Procedures Act
BAV Beach Action Value
CA Critical Area
CATC Cyanide Amenable to Chlorination
CEC Contaminant of Emerging Concern
CFR Code of Federal Regulations
CWA Clean Water Act
DEMLR Division of Energy, Mining, and Land Resources
Department Department of Environmental Quality
DEQ Department of Environmental Quality
Division Division of Water Resources
DWR Division of Water Resources
EMC Environmental Management Commission
EPA US Environmental Protection Agency
FAV Final Acute Value
Future Issues Comments that address topics for consideration during the next Triennial Review
HHWQC EPA Human Health Water Quality Criteria
NC North Carolina
NCAC North Carolina Administrative Code
NCDEQ North Carolina Department of Environmental Quality
NCGA North Carolina General Assembly
NCGS North Carolina General Statutes
NPDES National Pollution Discharge Elimination System
NRWQC US EPA National Recommended Water Quality Criteria
PFAS The family of per- and poly-fluorinated substances
PNA Primary Nursery Area
RRC Rules Review Commission
SL Session Law
SMAV Species Mean Acute Value
SSAB NC DEQ Secretaries' Science Advisory Board
STV Statistical Threshold Value
TMDL Total Maximum Daily Load
WAD Weak Acid Dissociable
WQC Water Quality Committee
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Introduction
This report is the official record of proceedings related to the North Carolina Department of
Environmental Quality, Division of Water Resources’ proposal to revise the water quality classifications
and standards protections in Title 15A of the North Carolina Administrative Code, Sub-Chapter 02B,
Sections .0100 - .0300 (15A NCAC 02B .0100-.0300). These proposed amendments comprise the state’s
2020-2022 Triennial Review of Surface Water Quality Standards as mandated by the Clean Water Act.
This report includes background material, written comments received during the public comment period
related to the Triennial Review, responses to the written comments, and relevant exhibits for the
proposed amendments to rules. Lastly, it includes the final recommendation of the Hearing Officer as to
the proposed revisions to the “Surface Water and Wetland Standards” for consideration by the
Environmental Management Commission.
Background
The federal Water Pollution Control Act, commonly referred to as the Clean Water Act (CWA)1, requires
that states review their existing surface water quality standards on a triennial basis and update them as
necessary to ensure that they are based on current scientific understanding. This process is known as
the triennial review and incorporates the review of: (1) existing standards, classifications, and variances,
(2) published U.S. Environmental Protection Agency (EPA) National Recommended Water Quality
Criteria (NRWQC)2, (3) other EPA water quality standards guidance, and (4) other relevant scientific
information. The triennial review is conducted as a formal rulemaking process and satisfies the
requirements of the CWA and the NC Administrative Procedures Act (APA)3 to ensure transparency and
public involvement.
The previous surface water quality standards triennial review amendments were adopted into rule by
the NC Environmental Management Commission (EMC) effective November 1, 2019. EPA approval of
the triennial review package was granted on April 9, 2020.
During the EPA review period for the previous triennial review, NC Department of Environmental Quality
(NCDEQ) staff began reviewing existing standards, EPA publications, and public comments, and
developed a list of surface water quality standards topics of interest to pursue in the current triennial
review. Staff presented this list of topics to the EMC during their meeting on July 8, 2020. The Division
Director, with staff, then reviewed the list of topics and selected those topics of highest priority for
consideration in the current triennial review. The triennial review proposal and associated Regulatory
Impact Analysis (RIA) (see Appendix A), was then presented to the EMC’s Water Quality Committee
(WQC) on November 18, 2020. The WQC granted approval to proceed to the full EMC to request
approval to proceed to public notice and hearing. The triennial review and RIA were presented to the
1 US EPA. “Summary of the Clean Water Act”. https://www.epa.gov/laws-regulations/summary-clean-water-act
2 US EPA. “Water Quality Criteria”. https://www.epa.gov/wqc
3 North Carolina General Statue Chapter 150B Administrative Procedures Act.
https://www.ncleg.net/enactedlegislation/statutes/html/bychapter/chapter_150b.html
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EMC at their March 11, 2021 meeting where the EMC approved the triennial review to procced to public
notice and hearing.
Public notice for the triennial review was published in accordance with NC General Statutes, Chapter
143-214.1, 143-215.3(a) in Volume 35, Issue 22 of the NC Register4 on May 17, 2021 (also see Appendix
A), and in accordance with 40 CFR Chapter I Subchapter A Part 25.55. The public notice and hearing
announcement were emailed to all individuals on the NCDEQ Rulemaking Listserve. Additional notice to
the public was provided through the Department and Division’s websites and a press release was issued
by the NC Department of Environmental Quality on:
• NCDEQ’s Proposed Rules website,
• NCDEQ’s Upcoming Public Notices and Hearings website,
• EMC’s website,
• DENR’s Upcoming Public Events webpage
A public hearing was held in a virtual format under an abundance of caution and to address protective
measures to prevent the spread of COVID-19 on July 20, 2021. EMC Commissioner Patricia Harris was
assigned by EMC Chair Dr. A. Stanley Meiburg as the Hearing Officer for this rulemaking. Public
comments were accepted through the close of the public comment period which extended from the
publication of the Public Notice on May 17, 2021, through August 3, 2021.
4 North Carolina Register. https://files.nc.gov/ncoah/documents/files/Volume-35-Issue-22-May-17-2021.pdf
5 Title 40 of the Code of Federal Regulations, Chapter I, Subchapter A, Part 25.5.
https://www.ecfr.gov/current/title-40/chapter-I/subchapter-A/part-25
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Summary of Proposed Amendments
The proposed rule text published in Volume 35, Issue 22 of the NC Register are available in Appendix B.
The proposed changes to the rules were formatted in accordance with NC Office of Administrative
Hearings regulations6 and comprise the State’s Triennial Review of Surface Water Quality Standards. The
proposals would implement the following summarized changes to the surface water quality standards
for North Carolina:
1,4-Dioxane
1,4-dioxane is a contaminant of emerging concern in North Carolina. Since North Carolina does not
currently have 15A NCAC 02B .0200 surface water quality standards for 1,4-dioxane adopted into rule,
in-stream target values (ISTVs) were calculated per the narrative standard for toxic substances in 15A
NCAC 02B .02087 to provide numeric regulatory values. These ISTVs are:
For fish consumption in all waters = 80 μg/L
For waters designated as water supplies = 0.35 μg/L
The ISTVs are implemented as surface water quality standards and the 2020-2022 surface water
triennial review aims to codify the specific ISTVs for 1,4-dioxane as water quality standards in the 15A
NCAC 02B .0200 rules. When codified, the proposed standard for fish consumption will appear in 15A
NCAC 02B .0208 and the proposed standard for water supplies will appear in 15A NCAC 02B .0212-
.0218. The calculation sheet for the proposed 1,4-dioxane standards is available in Appendix A.
Cadmium
NCDEQ is proposing to update the current water quality standards for cadmium by adopting EPA’s
Aquatic Life Ambient Water Quality Criteria for Cadmium – 2016 (EPA-820-R-16-002)8 as water quality
standards for Class C and Class SC surface waters for the protection of aquatic life. This proposal is based
on updating North Carolina’s current water quality standards for cadmium to account for increased
scientific understanding of the toxicity of cadmium to aquatic organisms.
The proposed updates to the Class C cadmium standards maintain the chronic, acute, and acute (trout)
exposures and update the dissolved hardness-dependent calculations of the existing Class C cadmium
standards that were adopted in 15A NCAC 02B .0211 effective January 2015. The proposed updates to
the Class SC standards maintain the chronic and acute exposures and update the numeric values for
each. The proposed Class C and Class SC standards can be seen in Table 1 below.
6 NC Office of Administrative Hearings Rules. Rules Division. “Information for Rulemaking Coordinators”.
https://www.oah.nc.gov/rules-division/information-rulemaking-coordinators
7 North Carolina Administrative Code. Subchapter 02B (15A NCAC 02B) – Surface Water and Wetland Standards.
http://reports.oah.state.nc.us/ncac/title%2015a%20-%20environmental%20quality/chapter%2002%20-
%20environmental%20management/subchapter%20b/subchapter%20b%20rules.pdf
8 US EPA. Aquatic Life Ambient Water Quality Criteria for Cadmium – 2016. EPA-820-R-16-002.
https://www.epa.gov/wqc/aquatic-life-criteria-cadmium
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Table 1 - Proposed surface water standards for cadmium
Medium Standard Magnitude (ug/L)
Class C (dissolved, hardness-dependent)
Cadmium, acute WER ∙ [{1.136672- [ln hardness] (0.041838)} ∙ e^ {0.9789 [ln hardness]-3.443}] Cadmium, acute, trout WER ∙ [{1.136672- [ln hardness] (0.041838)} ∙ e^ {0.9789 [ln hardness]-3.866}]
Cadmium, chronic WER ∙ [{1.101672- [ln hardness] (0.041838)} ∙ e^ {0.7977[ln hardness]-3.909}]
Class SC
(dissolved)
Cadmium, acute WER ∙ 33
Cadmium,
chronic
WER ∙ 7.9
WER = Water Effects Ratio ln = natural logarithm (e) hardness = the measured water hardness from the sample location
*Correction*: One important item to note is that an error was made in the update of the “Cadmium,
acute” equation as presented to the Environmental Management Commission in March 2021 and
published to the NC Register in the public notice dated May 17, 2021. The corrected calculation appears
in Table 1. This change will result in acute cadmium standards in Class C waters that are slightly lower
than what was originally presented to the EMC and published in the public notice. A comparison of
these values appears in Table 2. The RIA for this rulemaking action has been updated to reflect this
correction, and is attached (see Appendix A)
Table 2 - Comparison of proposed and corrected Class C acute hardness-dependent cadmium
standards at varying hardness levels
Hardness (mg/L) Proposed acute cadmium standards
(ug/L)
Corrected acute cadmium standards
(ug/L)
10 0.35 0.32
15 0.51 0.46
25 0.83 0.75
Cyanide
EPA’s 1984 Ambient Water Quality Criteria for Cyanide (EPA 440/5-84-028)9 established NRWQC for the
protection of aquatic life based on exposure to the free forms of cyanide (HCN and CN-). It is these free
forms that were identified as having the greatest potential for toxic effects to aquatic life.
However, at the time cyanide was adopted as a NC surface water quality standard for the protection of
aquatic life, there were no EPA CWA approved analytical methods for analysis of free cyanide in surface
9 US EPA. 1984 Ambient Water Quality Criteria for Cyanide. EPA 440/5-84-028.
https://www.epa.gov/sites/default/files/2019-03/documents/ambient-wqc-cyanide-1984.pdf
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water. This is significant because EPA approved analytical methods, per 40 CFR part 13610, are required
to analyze water samples associated with CWA implementation programs such as National Pollutant
Discharge Elimination System (NPDES) permitting. Since no approved analytical methods were available
for free cyanide, the NC EMC adopted the cyanide surface water standard for the protection of aquatic
life as a measure of total cyanide (all forms, including HCN and CN-) for which there were existing
approved analytical methods. EPA eventually provided analytical methods for free cyanide in September
of 2019, and it is the approval of these methods that provides the basis for the proposed modification to
the existing cyanide surface water quality standard for the protection of aquatic life. This modification
allows for the surface water quality standard for the protection of aquatic life to match the intent of the
original criteria published by EPA.
Definitions
NCDEQ is proposing adding the following definitions to Rule 15A NCAC 02B .0202 - Definitions to provide
clarity regarding some aspects of the proposed surface water quality standard for selenium:
• “Lentic” means an aquatic ecosystem with standing or slow flowing water such as a lake, pond, or
reservoir.
• "Lotic” means an aquatic ecosystem with rapidly flowing water such as a stream or river.
In addition, a change to the definition of “Industrial discharge” is proposed for clarification.
E. coli (Primary Recreation)
The EPA 2012 Recreational Water Quality Criteria for Bacterial Indicators of Fecal Contamination (EPA
20-F-12-058; 2012)11 recommends states set bacteriological water quality standards for primary
recreation waters using either the Escherichia coli (E. Coli) or Enterococcus pathogenic indicators. NC’s
existing recreational surface water quality standards for Class B (primary recreation) waters use the fecal
coliform bacteria group pathogenic indicator. As part of this triennial review, NCDEQ has proposed to
adopt the E. coli pathogenic indicator as a site-specific surface water quality standard for the Class B
waters in the 19 counties that comprise the NCDEQ Asheville Regional Office (ARO) operational area.
Selenium
NCDEQ is proposing to update the current water quality standard for selenium by adopting EPA’s
Aquatic Life Ambient Water Quality Criteria for Selenium (Freshwater) – 2016 (EPA 822-R-21-006)12 as a
water quality standard for Class C surface waters for the protection of aquatic life. This proposal is based
10 Title 40 of the Code of Federal Regulations, Chapter I, Subchapter D, Part 136.
https://www.ecfr.gov/current/title-40/chapter-I/subchapter-D/part-136
11 US EPA. 2012 Recreational Water Quality Criteria for Bacterial Indicators of Fecal Contamination. EPA 20-F-12-
058. https://www.epa.gov/wqc/recreational-water-quality-criteria-and-methods
12 US EPA. Aquatic Life Ambient Water Quality Criteria for Selenium (Freshwater) – 2016. EPA 822-R-21-006.
https://www.epa.gov/wqc/aquatic-life-criterion-selenium
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on the following factors: 1) North Carolina’s current water quality standard to protect aquatic life from
the toxic effects of selenium is based on older science and does not account for increased scientific
understanding of the bioaccumulation of selenium in the aquatic food chain and the toxic effects of such
accumulation, 2) particular concern about impacts from coal ash storage ponds and coal-fired power
plants which are located throughout North Carolina and have the potential to increase anthropogenic
loading of concentrated selenium in surface waters, and (3) the species identified in the EPA criteria
document as being most sensitive to the adverse reproductive effects associated with the
bioaccumulation of selenium include the federally endangered13 Atlantic sturgeon (Acipenser
oxyrinchus), which spawns in many of the fresh coastal waters of NC, and the recreationally important14
bluegill sunfish (Lepomis macrochirus), rainbow trout (Oncorhynchus mykiss), brown trout (Salmo
trutta), and largemouth bass (Micropterus salmoides).
Eastern Band of Cherokee Indians
Rule 02B .0301 is amended to recognize water quality standards programs for tribes approved for
treatment as a state. Currently, this applies only to the Eastern Band of Cherokee Indians15.
Technical Corrections
Several minor technical corrections are also proposed as follows:
• Rule 02B .0215(2)(f) -- Correction to the reference to Water Supply classification from “WS-II” to
“WS-III.”
• Rule 02B .0216(2)(f) -- Correction to the reference to Water Supply classification from “WS-IV”
to “WS-II or WS-III.”
• Rule 02B .0311(o)(4) -- Correction to the classification of Weymouth Woods Sandhill Seep near
Mill Creek from “Class UWL” to “Class WL UWL.”
• Rule 02B .0311(t) -- Correction to the effective date of the reclassification of Sandy Creek from
“September 1, 2019” to “November 1, 2019.”
• Rule 02B .0311(m) -- Correction to the reference to Water Supply development requirements
from “Rule .0215(3)(b)(i)(E) of this Subchapter” to “Rule .0624 of this Subchapter.”
• Rule 02B .0311(m)(2) -- Correction to the reference to the Stormwater: High Quality Water rule
from “15A NCAC 02H .1006” to “15A NCAC 02H .1021.”
13 US Fish and Wildlife Service. Endangered and Threatened Species in North Carolina.
https://www.fws.gov/raleigh/es_tes.html
14 NC Wildlife Resource Commission. https://www.ncwildlife.org/Learning/Species#8682105-fish
15 Eastern Band of Cherokee Indians. EBCI Water Quality. https://cherokeenaturalresources.com/water-quality/
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Regulatory Impact Analysis Summary
A regulatory impact analysis (RIA) was prepared in conjunction with this rulemaking per NCGS §150B-
21.4. DWR staff conducted outreach activities to potentially affected parties, including members of the
regulated community, environmental groups, and state agencies, and used that information in the RIA.
The RIA was approved by the NC Office of State Budget and Management (OSBM) on February 11, 2021.
The EMC approved publication of the RIA on March 11, 2021.
As measured from the baseline conditions, it was conservatively estimated that the rule revisions will
result in a net benefit to state government, local government, and regulated parties of $3.96 million
over 10 years (Net Present Value). The largest share of the quantified benefits was related to the higher
cadmium standard, the addition of the free cyanide method, and the change from fecal coliform to E.
coli in Class-B waters. There were potential, but unlikely, costs related to the lower selenium standard.
There were also potential unquantified indirect benefits to aquatic life, fisheries and human health
related to more accurate assessment of impairment, potential avoided increases in selenium
concentration and ongoing human health benefits from continued implementation of the 1,4-dioxane
in-stream target values/standards.
The subsequent correction of the cadmium standard did not produce an appreciable effect on the
outcome reported in the approved RIA. Although the corrected acute criterion is lower than the existing
standard and therefore more stringent, we do not expect a reduction in the estimated avoided costs
reported in the approved RIA (Tables 10, 11). This is because the chronic standard accounted for most
(and likely all) of the cost savings. As noted in the RIA (Section 8), chronic standards are typically more
stringent relative to acute standards. It should be noted that the proposed chronic standard for non-
trout freshwater is significantly higher (less stringent) than the existing calculated standard and is not
affected by the error. Updated reasonable potential analyses (RPAs) for the permits analyzed for the
original RIA confirmed that the corrected acute freshwater cadmium standard will have no appreciable
effect on the outcome. Regulatory relief in the form of reduced limits and monitoring is still expected to
occur for some NPDES wastewater permittees, but this benefit will be due to the proposed chronic
freshwater standard.
The subsequent change to the cyanide standard to incorporate the option for analyzing cyanide as
available rather than free cyanide produced a one-time cost to the state government (specifically, the
DWR Ambient Monitoring Program) but did not change the estimated potential benefit to regulated
parties. The one-time cost to the DWR Ambient Monitoring Program to purchase the necessary
laboratory equipment was estimated to be up to $40,000 (in 2022$). There would also likely be a
recurring annual cost for a service contract that is projected to be between $3,800-$5,700 (in 2022$).
We do not expect a significant change in the total cost for reagents and consumable items for available
cyanide as compared to free cyanide. The change to available cyanide should not change the estimated
potential benefit to regulated parties which was estimated to be about $100,000 per year (in 2021$).
The potential impact of adopting the E. coli standard to Class-B waters statewide will be evaluated in
detail during a future rulemaking. It is reasonable to expect, however, that the State lab and commercial
labs will realize the same categories of costs and benefits as discussed in the approved RIA. They would
likely realize a modest net savings in the form of opportunity cost savings from use of the less labor-
intensive Colilert® method.
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Public Hearings
A virtual (i.e., online) public hearing was held in the abundance of caution, and to address protective
measures to help prevent the spread of COVID-19. This public hearing was held on July 20, 2021, at 6 pm
via the video conferencing application WebEx. Pat Harris, the EMC-appointed Hearing Officer, presided
over this hearing. Additional information about this process and these hearings is available on the DWR
Surface Water Standards Website. This website also contains the audio recordings of this public hearing.
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Public Comments on Proposed Rules
The public comments received for this rulemaking can be viewed on the NCDEQ’s Surface Water Quality
Standards webpage at https://deq.nc.gov/about/divisions/water-resources/water-
planning/classification-standards/surface-water-standards#CurrentRulemaking
1,4-Dioxane
Approximately 2523 comments were received regarding the proposed action to adopt the existing
NC ISTVs of 0.35 μg/L (for waters classified as water supplies) and 80 μg/L (for all other waters) as
surface water quality standards in the 15A NCAC 02B rules.
911 individuals signed a petition submitted by Clean Cape Fear. The petition states that surface
water quality standards must protect children and vulnerable populations and that the current
proposal does not provide adequate protection from 1,4-dioxane. The petition requests that the
EMC strengthen the 1,4-dioxane proposal by adopting 0.35 μg/L as a statewide surface water
standard.
125 comments were received as part of a form letter titled “Surface Water Triennial Review”. These
comments supported the adoption of the existing ISTVs as surface water standards but also
demanded that DEQ hold industry accountable for discharges of 1,4-dioxane. These comments also
requested that the EMC make sure that adoption of the 1,4-dioxane standards coincided with DEQ
requiring industry to meet the standards.
One comment was received from Heather Barsallo expressing concern over levels of 1,4-dioxane in
drinking water sourced from the Haw River. Heather is concerned that the 1,4-dioxane standards as
proposed will allow for Greensboro to discharge at higher levels than what the standard will be at
the Pittsboro drinking water intake and believes that the standard for 1,4-dioxane should be set to
zero for all waters to prevent contamination downstream of industrial dischargers.
One comment was received from Nicholas Borisow expressing concern that the health of North
Carolina’s citizens, wildlife and fish are in jeopardy if we do not impose stricter guidelines to reduce
1,4-dioxane in our waterways. Nicholas requests that the EMC consider stricter guidelines and
enforce a recordable limit for all municipal and industrial discharges.
One comment was received from Clean Haw River expressing concern regarding the high levels of
1,4-dioxane that are being discharged into the Haw River, the increased cancer risk to the public,
and the need for the Town of Pittsboro to shut off its drinking water intake during high 1,4-dioxane
level events. Clean haw River demand that the proposed water supply standard of 0.35 ug/L be
adopted for all surface waters.
One comment was received from the City of Greensboro (CoG). The CoG urges NCDEQ & EMC to
defer formal promulgation of 1,4-dioxane while continuing to work with impacted regulated
communities and other stakeholders and requests that the issues and impacts of the proposed rule
be further defined and that innovative approaches to addressing 1,4-dioxane should be explored.
Specific concerns relate to (1) the fiscal impact to the regulated community and customers with a
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request for NCDEQ and the EMC to develop a fiscal note prior to promulgation, (2) the proposed
standard being set at a level (<0.35 μg/L) that is below the ability of the existing EPA analytical
methods to measure, (3) the potential for NC to experience negative economic development and
recruitment impact since there is no Federal mandate to regulate 1,4-dioxane, and (4) the majority
of waste water treatment plants would not be able to meet the standards and corresponding
permits limits.
One comment was received from the City of Reidsville (CoR). The CoR comments focus specifically
on the proposed codification of the 1,4-dioxane in-stream target value of 0.35 ug/L for surface
waters classified as water supplies. The CoR recommends that the EMC delay action on this standard
to allow for stakeholder input and discussion. The CoR also recommends that four critical
components of the proposal be addressed prior to adoption of the 1,4-dioxane water supply
standard and provides comments to support these recommendations. The four critical components
are:
1. The proposal does not reflect an appropriate level of evaluation to consider all of the
scientific study and evaluation of 1,4-dioxane
2. The proposal does not address or justify the recommendation in reference to consideration
of the variable ways in which EPA and other states have approached this chemical
3. The economic analysis is inadequate to accurately describe the financial and
implementation burden that this standard will place on local governments, manufacturing,
and commercial operations
4. Setting a water supply surface water standard in the absence of broad efforts to control the
use of the chemical in various application sources, including consumer products, is not a
reasonable regulatory approach nor is it fair or good public policy. The management of this
chemical must include the actual users of the chemical within the manufacturing
community.
One comment was received from Clean Water for the Citizens of Pittsboro urging the EMC to place
strict, enforceable guidelines that prohibit 1,4-dioxane from being released into any water supply.
One comment was received from Holly Douthitt expressing concern over industrial chemicals that
are being discharged into the Haw River. Holly states that their family has had to install an expensive
filtration system to treat the water in their home and is concerned that there may be a link between
these industrial chemicals and incidents of prostate cancer. Holly urges the EMC to take action.
One comment was received from the Fayetteville Public Works Commission (FPWC). FPWC
continues to be concerned about the elevated levels of 1,4-dioxane in the Cape Fear River Basin and
fully supports codification of the 1,4-dioxane ISTVs as 02B standards. FPWC continues to invest in
1,4-dioxane monitoring and looks forward to continuing its cooperative work with NCDEQ and
within the Cape Fear River Basin to reduce 1,4-dioxin levels in the Cape Fear River, Fayetteville’s
primary drinking water source.
One comment was received from Adrienne Ferriss, MD, MPH. This comment states that the
proposed Class C standard of 80 ug/L is too high and that the proposed water supply standard of
0.35 ug/L should be adopted for all surface waters
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One comment was received from Ashley Garrison, a mother of two autistic children, who expresses
concern over the levels of 1,4-dioxane in the Haw River. Ashley states that discharges of 1,4-dioxane
from Greensboro put a considerable burden on their town to treat their drinking water and that
people will need to have expensive filters in their homes. Ashely is also concerned that the 1,4-
dioxane standards as proposed will allow for Greensboro to discharge at higher levels that what the
standard will be at the Pittsboro drinking water intake. Ashley requests that the proposed water
supply standard of 0.35 ug/L for 1,4-dioxane be adopted for all surface waters.
One comment was received from the Haw River Assembly indicating that the proposed codification
of the water supply value of 0.35 ug/L for 1,4-dioxane must be paired with meaningful enforcement
and limitations in non-water supply watersheds to reduce impacts to downstream water supply
watersheds. Haw River Assembly recommends that the EMC adopt 0.35 ug/L as the surface water
standards for all surface waters.
1,406 individuals signed a petition submitted by the NC Conservation Network expressing concern
that the proposed Class standard of 80 ug/L allows for high concentrations of 1,4-dioxane in surface
waters. The petition states that 1,4-dioxane is difficult to treat and readily contaminates
downstream segments and a strong standard should apply to all waters.
One comment was received from the North Carolina Manufacturer’s Association (NCMA). NCMA
expresses concern that the current implementation of the 1,4-dioxane in-stream target values for
NPDES permitting is not appropriate. NCMA also references EPA’s status on development of a
National Primary Drinking Water Regulation MCL for 1,4-dioxane and states that the proposed
surface water quality standard for water supplies is three times as restrictive as the drinking water
standards adopted by the State of New York. NCMA also states that no other states have adopted
drinking water standards for 1,4-dioxane. NCMA expresses concern that the costs for treating
wastewater effluent to the levels proposed would be prohibitive. NCMA recommends that, until
affordable treatment technologies are identified, the EMC should follow the lead of EPA and other
states and focus efforts on educating companies and consumers on product substitution and
consumer product selection to reduce 1,4-Dioxane concentrations in wastewater effluents.
One comment was received from the North Carolina Sierra Club that expresses concern that the
proposed standard of 80 ug/L for surface waters is flawed because it does not recognize the nature
of surface water use and chemical transport and should be corrected by lowering the surface water
standard to be closer to the drinking water standard of 0.35 ug/L. The comment also states that the
proposed 1,4-dioxane standards do not consider protections for aquatic life and human recreational
exposure routes including inhalation, skin contact, and incidental ingestion of water. The proposed
standards also do not consider the movement of 1,4-dioxane from surface water to soil and
groundwater nor leaching of 1,4-dioxane from landfills and other disposal sites.
Approximately 21 from citizens of the Town of Pittsboro submitted comments expressing concern
that North Carolina has not adopted drinking water standards for 1,4-dioxane. Concern was also
expressed that the proposed codification of the in-stream target value of 80 ug/L for 1,4-dioxane in
Class C waters will not be protective of the downstream water supply and that this will allow
upstream dischargers to release more 1,4-dioxane than they are currently do on average. Some
letters state that considerable burden will be placed on the town and individual citizens to pay to
treat their drinking water to the proposed water supply standard of 0.35 ug/L and that citizens have
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been exposed to cancer risk levels that are greater than one-in-one million because the Town of
Pittsboro is following the EPA SDRWA HA of 35 ug/L. Some letters expressed concern that measured
amounts of 1,4-dioxane at the Pittsboro drinking water intake have been high due to discharges
from Greensboro and that this is a sign that the standard is not protective. In addition, concern was
also expressed that surface water quality standards for PFAS have not been proposed as part of this
triennial review with recommendations to adopt a standard of 10 parts per trillion and 20 parts per
trillion for PFAS as a class or for all PFAS measurable by the EPA 537.1 analytical method. One
proposal also recommended that 1,4-dioxane and PFAS standards be set to zero to prevent
contamination downstream.
One comment was received from Jennifer Platt, DrPH expressing concern over levels of 1,4-dioxane
in the Town of Pittsboro’s drinking water supply. Jennifer expresses specific concern that the public
has been, and continues to be, exposed to levels of 1,4-dioxane above a one-in-one-million cancer
risk level. Jennifer requests that standards be set with the most vulnerable community members in
mind and that that the proposed water supply standard of 0.35 ug/L for 1,4-dioxane be adopted for
all surface waters.
One comment was received from the US Environmental Protection Agency recommending that the
proposed standards for 1,4-dioxane be re-calculated using the following human health exposure
factors to reflect EPA’s latest recommendations for the calculation of human health criteria: fish
consumption rate of 22 g/day, drinking water consumption rate of 2.4 L/day, and body weight of 80
kg (adult). Alternatively, EPA recommends that NCDEQ postpone the adoption of the proposed 1,4-
dioxane standards until the NC’s other human health criteria are updated to reflect the current
recommended exposure factors.
One comment was received from Irene Webber expressing concern over the possible health effects
associated with 1,4-dioxane and discharges of 1,4-dioxane from Greensboro into the Haw River.
Irene requests that the 1,4-dioxane standard of 0.35 ug/L be adopted, that significant financial
penalties be included to deter chemical dumping, and that it be made a crime for those whose
choose to violate water quality standards and jeopardize human health.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. This comment
expresses concern that 1,4-dioxane has been shown to be toxic to humans, does not degrade, and
moves quickly through the environment. Concern is also expressed that the adoption of the 80 ug/L
Class C standards will result in NPDES permits that continue to allow for the discharge of high levels
of 1,4-dioxane in Class C waters and these high levels will pose a threat to downstream water
supplies due to conventional treatment processes being ineffective at removing 1,4-dioxane. Two
case studies illustrating this concern are provided. The comment recommends that the EMC adopt
the 0.35 ug/L standard statewide due to the persistence and mobility of 1,4-dioxane in the
environment and the need to protect downstream water supplies.
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Comment: Children and vulnerable populations must be protected.
Response: NCDEQ thanks the commenters for their concern for children and other vulnerable
populations. It can be difficult to establish water quality standards specifically for these groups as
specific information regarding the toxic effects of exposures to these groups is often not available.
Rule 15A NCAC 02B .020816 does provide for the use of child-specific exposure factors (body weight
and drinking water intake) to calculate standards for non-carcinogenic substances when children are
considered specifically at risk, however, the rule does not specify this as an option for carcinogenic
substances. Instead, water quality standards for carcinogenic substances consider a lifetime of
exposure to that substance. This does not mean, however, that carcinogenic effects on children or
other vulnerable populations have been ignored as the EPA Integrated Risk Information System
(IRIS)17 risk assessments that provide the carcinogenic toxicity factors used to calculate standards are
conducted using EPA guidelines, such as the Guidelines for Developmental Toxicity Risk Assessment18
and the Supplemental Guidance for Assessing Susceptibility from Early-Life Exposure to
Carcinogens19, that focus specifically on determining hazards to children and other vulnerable
populations.
In response to the comments about developing a fiscal note prior to promulgation, a fiscal note was
prepared and approved in accordance with NCGS 150B-21.4. The Division recognizes the fiscal and
technological challenges associated with complying with the proposed standards (and existing
ISTVs). As with implementation of effluent limitations based on ISTVs, tools such as compliance
schedules and variances exist under the Clean Water Act20 that allow for flexibility in meeting
effluent limitations based on numeric standards. Although the proposed codification of the ISTVs will
provide a level of regulatory certainty in that the values will be codified as numeric standards (as
opposed to the ISTVs which are values calculated from codified narrative standards), their
codification should not change how these values are implemented in NPDES permits. This is the
reason a more detailed fiscal analysis was not required for the proposed 1,4-dioxane standard. NC
DEQ will conduct a more detailed fiscal analysis for 1,4-dioxane in the future if values are proposed
for adoption that differ from the current ISTVs.
Comment: The EMC should strengthen the proposal by adopting 0.35 μg/L as a statewide surface
water standard for 1,4-dioxane to protect downstream water supplies. The proposed standard of 80
ug/L for surface waters is flawed because it does not recognize the nature of surface water use and
chemical transport and should be corrected by lowering the surface water standard to be closer to
the drinking water standard of 0.35 ug/L.
16 North Carolina Administrative Code. Title 15A, Subchapter 02B, Part .0208 (15A NCAC 02B .0208) – Standards for
Toxic Substances and Temperature. http://reports.oah.state.nc.us/ncac/title%2015a%20-
%20environmental%20quality/chapter%2002%20-
%20environmental%20management/subchapter%20b/15a%20ncac%2002b%20.0208.pdf
17 US EPA. Integrated Risk Information System. https://www.epa.gov/iris
18 US EPA. Guidelines for Developmental Toxicity Risk Assessment. EPA/600/FR-91/001. Dec 1991
19 US EPA. Supplemental Guidance for Assessing Susceptibility from Early-Life Exposure to Carcinogens. EPA/630/R-
03/003F. March 2005
20 US EPA. “Summary of the Clean Water Act”. https://www.epa.gov/laws-regulations/summary-clean-water-act
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Response: Surface water quality standards are established to protect the designated uses of the
surface waters of the state as defined in the water body classifications in the 15A NCAC 02B rules.
Since the 0.35 μg/L ISTV was calculated per 15A NCAC 02B .0208 for the protection of the water
supply use, which addresses consumption of water and fish tissue, it would be inappropriate to
assign this value to water bodies that do not share the drinking water use (e.g., Class C waters). In
waters not classified as water supplies, the value of 80 μg/L for the protection of fish consumption
will apply. It is important to note however that, although not all waters are classified as water
supplies and would, therefore, not be required to meet the water supply standard of 0.35 μg/L, rule
15A NCAC 02B .020321 does require that all downstream uses must be protected as part of the
implementation of Clean Water Act surface water protection programs (i.e., NPDES permitting). In
other words, if a permitted facility discharges to a Class C receiving stream, but a water supply is
located downstream, the protection of that water supply must be considered for that permit.
Factors such as dilution and existing background concentrations may also need to be considered per
NPDES permitting requirements.
Comment: NCDEQ needs to hold industry accountable for discharges of 1,4-dioxane.
Response: NCDEQ is actively engaged in addressing 1,4-dioxane in NC surface waters. Efforts being
taken include: (1) monitoring of streams and water supplies, (2) source identification, (3) working
with municipalities and industry to reduce the use and discharge of 1,4-dioxane, and (4) enacting
appropriate regulatory controls based on the existing ISTVs. The proposal to codify the 1,4-dioxane
ISTVs as surface water standards in the 15A NCAC 02B rules will provide regulatory transparency and
certainty to support future regulation of 1,4-dioxane in surface waters. Additional information
regarding NCDEQ’s 1,4-dioxane studies can be found on the Department’s Cape Fear River Basin 1,4-
Dioxane Study website.
Comment: North Carolina has not adopted drinking water standards for 1,4-dioxane.
Response: North Carolina’s surface water quality standards are established to protect designated
uses that are assigned to the surface waters of the State. One such designated use is the use of
certain surface waters as water supply sources for drinking, culinary, and/or food processing22. The
standards set for these waters have multiple drinking water protection goals that include: (1)
ensuring that water supply waters will, following approved treatment, meet the Maximum
Contaminant Level concentrations specified in the National Primary Drinking Water Regulations
established in Title 40, Part 141, of the Code of Federal Regulations23, (2) requirements established
21 North Carolina Administrative Code. Title 15A, Subchapter 02B, Part .0203 (15A NCAC 02B .0203) – Protection of
Waters Downstream of Receiving Waters. http://reports.oah.state.nc.us/ncac/title%2015a%20-
%20environmental%20quality/chapter%2002%20-
%20environmental%20management/subchapter%20b/15a%20ncac%2002b%20.0203.pdf
22 North Carolina Administrative Code. Title 15A, Subchapter 02B, Parts .0212 through .0218 (15A NCAC 02B .0212
- .0218) – Freshwater Surface Water Quality Standards for Class WS [I – V] Waters
23 Title 40 of the Code of Federal Regulations, Chapter I, Subchapter D, Part 141.
https://www.govinfo.gov/content/pkg/CFR-2019-title40-vol25/pdf/CFR-2019-title40-vol25-part141.pdf
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in North Carolina Rules Governing Public Water Supplies in 15A NCAC 18C .150024, and (3) additional
human health protections for specific chemical substances. The 1,4-dioxane ISTV of 0.35 ug/L was
calculated specifically to provide the protection goals described above so that water supply waters
will meet their designated uses.
Comment: Measured amounts of 1,4-dioxane at the Pittsboro drinking water intake have been high
due to discharges from Greensboro and this is a sign that the standard is not protective.
Response: The ISTVs for 1,4-dioxane are calculated per the narrative standard for toxic substances in
15A NCAC 02B .020825 to protect for the consumption of fish tissue in all surface waters and to
protect water supplies as sources of drinking water. These ISTVs are currently being implemented
through NPDES permitting measures. Discharge events that result in surface water concentrations
that are higher than the ISTVs are subject to the regulatory actions that are defined in these NPDES
permits.
Comment: Considerable burden will be placed on the town and individual citizens to pay to treat
their drinking water to the proposed water supply standard of 0.35 ug/L.
Response: As discussed above, the goal of the 15A NCAC 02B water supply standards is to protect
water supplies as suitable sources for drinking water. In other words, the goal of these standards is
to protect the source of the drinking water, not the treated drinking water itself. Treated drinking
water (i.e., water that has been treated by approved drinking water treatment processes) is
regulated separately under the Federal Safe Drinking Water Act26 as well as separate North Carolina
rules (see 15A NCAC 18C) and must meet specific regulatory requirements. Since treated drinking
water is regulated separately from surface waters (which are regulated under the Federal Clean
Water Act27), the adoption of the 1,4-dioxane surface water standards will not result in regulatory
requirements for drinking water treatment plants (i.e., drinking water treatment plants will not be
required to treat 1,4-dioxane to 0.35 ug/L).
Comment: Citizens have been exposed to cancer risk levels that are greater than one-in-one million
because the Town of Pittsboro is following the EPA SDRWA HA of 35 ug/L.
Response: Surface water quality standards for water supplies do not apply to treated drinking water
which is regulated under the Federal Safe Drinking Water Act and the North Carolina 15A NCAC 18C
rules. See the responses to comments #4 and #6 above for further discussion.
Comment: The proposed [water supply] standard is at a level [<0.35 μg/L] that is below the ability of
the existing EPA analytical methods to measure [the PQL is 1 μg/L]
24 North Carolina Administrative Code. Title 15A, Subchapter 18C (15A NCAC 18C) –Water Supplies.
http://reports.oah.state.nc.us/ncac/title%2015a%20-%20environmental%20quality/chapter%2018%20-
%20environmental%20health/subchapter%20c/subchapter%20c%20rules.pdf
25 See footnote 16.
26 See footnote 23.
27 See footnote 1.
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Response: The 1,4-dioxane in-stream target values are interpretations of the Clean Water Act
compliant narrative standard for toxic substances in rule 15A NCAC 02B .0208. The calculation of
these numeric regulatory values is based on the toxicity data, exposure factor and risk level
requirements defined in rule 02B .0208. These numeric values provide toxicity-based in-stream
concentrations of 1,4-dioxane that are protective for water and fish tissue consumption in surface
waters. Since surface water quality standards must be based on toxicological information, they
cannot be modified based on consideration of technological limits and treatment costs. However,
these issues can be addressed as part of the implementation of water quality standards in Clean
Water Act water quality protection programs.
Comment: Not all states use the one-in-one million cancer risk level when calculating water supply
standards and it is not a federal requirement to do so. EPA has published three increased cancer risk
levels for 1,4-dioxane (1/10,000 = 35 μg/L, 1/100,000 = 3.5 μg/L, and 1/1,000,000 = 0.35 μg/L).
Response: 15A NCAC 02B .020828 provides the narrative standard for toxic substances that applies
for all surface waters and establishes that an unacceptable health risk for cancer shall be more than
one case of cancer per one million people exposed (10-6 risk level).
Comment: The proposal is based only on the 2010 EPA IRIS risk assessment value and does not
reflect an appropriate level of evaluation to consider all of the scientific studies and evaluation of
1,4-dioxane, including information provided in the EPA 2017 Technical fact Sheet for 1,4-Doxane29.
There also exists a NC groundwater standard for 1,4-dioxane that is higher than what is being
proposed and EPA and other states have addressed 1,4-dioxane in various ways. The proposal does
not consider this information and these various approaches; The proposed water supply standards is
three-times more stringent than the drinking water standard adopted by the State of New York; no
other states have adopted drinking water standards for 1,4-dioxane.
Response: The 1,4-dioxane in-stream target values, which are being proposed for codification as
part of this triennial review action, are interpretations of the Clean Water Act compliant narrative
standard for toxic substances in rule 15A NCAC 02B .020830. The calculation of these numeric
regulatory values is based on the toxicity data, exposure factor and risk level requirements defined
in rule 02B .0208. While additional scientific information regarding the toxic effects of 1,4-dioxane is
available and a separate NC 15A NCAC 02L groundwater water quality standard as well as other
regulatory and non-regulatory values from EPA and other states may exist, the interpretation of the
narrative standard must be performed as described in 02B .0208. This requires, per 02B .0208, the
use of a Cancer Potency Factor derived as “a measure of the cancer-causing potency of a substance
estimated by the upper 95 percent confidence limit of the slope of a straight line calculated by the
Linearized Multistage Model or other appropriate model according to U.S. Environmental Protection
Agency Guidelines, FR 51 (185): 33992-34003; and FR 45 (231 Part V): 79318-79379.” The EPA IRIS
risk assessments are the primary source of these required CPFs. These assessments undergo a
28 See footnote 16.
29 US EPA. Technical Fact Sheet - 1,4-Dioxane. November 2017. https://www.epa.gov/sites/default/files/2014-
03/documents/ffrro_factsheet_contaminant_14-dioxane_january2014_final.pdf
30 See footnote 16.
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thorough scientific and public review process and are used by EPA to establish the National
Recommended Water Quality Criteria that serve as the primary guidelines for states to use in the
adoption of surface water quality standards. While the EPA 2017 Technical fact Sheet for 1,4-Doxane
does provide additional information regarding other values for 1,4-dioxane, such as screening values
and drinking water guidelines, 02B .0208 requires that surface water standards or criteria for water
quality-based effluent limits be determined as directed in Parts A and B of Subparagraph 2 of the
02B .0208 rule. The 15A NCAC 02B rules do not allow for the adoption of drinking water Maximum
Contaminant Levels (MCLs) and other guidance specific to the regulation of finished drinking water
that other states have developed.
Comment: The economic analysis is inadequate to accurately describe the financial and
implementation burden that this standard will place on local governments, manufacturing, and
commercial operations; Treatment costs would be prohibitive.
Response: The Department recognizes the fiscal and technological challenges associated with
complying with the proposed standards (and existing ISTVs). As with implementation of effluent
limitations based on ISTVs, tools such as compliance schedules and variances exist under the Clean
Water Act31 that allow for flexibility in meeting effluent limitations based on numeric standards.
Although the proposed codification of the ISTVs will provide a level of regulatory certainty in that
the values will be codified as numeric standards (as opposed to the ISTVs which are values
calculated from codified narrative standards), their codification should not change how these values
are implemented in NPDES permits. This is the reason a more detailed fiscal analysis was not
required for the proposed 1,4-dioxane standard. NC DEQ will conduct a more detailed fiscal analysis
for 1,4-dioxane in the future if values are proposed for adoption that differ from the current ISTVs.
Comment: Setting a water supply surface water standard in the absence of broad efforts to control
the use of the chemical in various application sources, including consumer products, is not a
reasonable regulatory approach nor is it fair or good public policy. The management of this chemical
must include the actual users of the chemical within the manufacturing community.
Response: NCDEQ recognizes the role that various sources play in the transmittance of 1,4-dioxane
into surface waters. The development and implementation of broad consumer and manufacturer
education efforts, however, are beyond the scope of this rulemaking effort.
Comment: NC DEQ should recalculate the proposed 1,4-dioxane standards using the human health
exposure factors for fish consumption (22 g/day), drinking water (2.4 L/day) intake and body weight
(80 kg) that were updated by EPA in 2015. Alternatively, NC DEQ should postpone adoption of the
1,4-dioxane standards until all of NC’s human health surface water standards are updated with
these new exposure factors.
Response: The proposed fish consumption and water supply standards for 1,4-dioxane have been
calculated per NC’s surface water quality standards rules which were most recently approved by EPA
on April 9, 2020. Rule 15A NCAC 02B .020832 provides a narrative standard for toxics that states that
31 See footnote 1.
32 See footnote 16.
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toxic substances may not result in chronic toxicity in surface waters. This rule then informs on how
to interpret this narrative statement by detailing the method by which to calculate surface water
quality criteria for substances that do not have established standards in the 02B rules. For fish
consumption and water supply criteria, the rule states that the following human health exposure
factors are to be used: (1) a fish consumption rate of 17.5 g/day, (2) a drinking water intake of 2
L/day, and (3) a body weight of 70 kg (adult). The use of the exposure factors updated in 2015 by
EPA will require a change to the language in 02B .0208. This is beyond the scope of the current
triennial review as adoption of the updated EPA exposure factors will require extensive scientific
review to determine how well these values reflect the exposures experienced by NC citizens as well
as the review of all other 02B human health standards. The goal of this triennial review is to codify
the criteria calculated for 1,4-dioxane per 02B .0208 to establish irrefutable regulatory authority so
that regulation of 1,4-dioxane, a contaminant of significant local concern, can proceed posthaste.
Delaying this action will result in less protection for the NC citizens and fails to address the
immediate need for established protections in rule.
Comment: The proposed 1,4-dioxane standards do not consider protections for aquatic life and
human recreational exposure routes including inhalation, skin contact, and incidental ingestion of
water.
Response: Aquatic life in-stream target values were calculated for 1,4-dioxane per 15A NCAC 02B
.020833 with values for freshwater aquatic life of about 100,000 ug/L (100 mg/L) and for saltwater
aquatic life of about 300,000 ug/L (300 mg/L). The calculation sheet for these values is included in
Appendix A. Since these values are considerably higher than the values that are protective of human
health, adoption of the proposed human health values for fish consumption and water supplies will
also provide protections for aquatic life. NCDEQ appreciates the comment regarding the protection
of recreational exposure routes including inhalation, dermal contact, and incidental ingestion.
Recreational (i.e., swimming) standards have traditionally been focused on elements of surface
waters that may result in more immediate health concerns for recreators. Examples of these
elements include pathogenic organisms that may cause gastrointestinal illness, cyanotoxins that
may cause kidney and liver damage and oils and surface scums that may make recreating
undesirable or cause inhalation, dermal and ingestion concerns. Existing narrative surface water
quality standards are usually used to address these concerns as developing recreational standards
for toxic substances can be challenging since information regarding inhalation and dermal contact
during swimming is often not available. Protecting recreators is of great concern, however, and
NCDEQ will investigate the possibility of recreational standards for 1,4-dioxane.
Comment: The proposed standards do not consider the movement of 1,4-dioxane from surface
water to soil and groundwater nor leaching of 1,4-dioxane from landfills and other disposal sites.
Response: Surface water quality standards are not developed for soils, groundwater, or landfills.
Each of these potential sources and avenues of transport are regulated under different authorities
33 See footnote 16
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and by different groups within the NCDEQ such as the Division of Waste Management and the
NCDEQ Groundwater Resources Section.
Comment: There is potential for NC to experience negative economic development and recruitment
impact since there is no Federal mandate to regulate 1,4-dioxane. The majority of wastewater
treatment plants would not be able to meet the standards and corresponding permits limits. A fiscal
note should be prepared for 1,4-dioxane.
Response: It is true that there is currently no Federal mandate to regulate 1,4-dioxane in surface
waters. However, NCDEQ identified the need to regulate 1,4-dioxane as it is a Contaminant of
Emerging Concern that could have an adverse impact on the health of our citizens. The NCDEQ
acknowledges that there are substantial ongoing and likely future costs to wastewater treatment
plants associated with the existing ISTVs and proposed standards. These costs must be weighed
against the costs associated with potential negative human health outcomes from ongoing exposure
to a carcinogenic compound.
The NCDEQ recognizes the fiscal and technological challenges associated with complying with the
proposed standards (and existing ISTVs). As with implementation of effluent limitations based on
ISTVs, tools such as compliance schedules and variances exist under the Clean Water Act that allow
for flexibility in meeting effluent limitations based on numeric standards.
Although the proposed codification of the ISTVs will provide a level of regulatory certainty in that
the values will be codified as numeric standards (as opposed to the ISTVs which are values
calculated from codified narrative standards), their codification should not change how these values
are implemented in NPDES permits. This is the reason a more detailed fiscal analysis was not
required for the proposed 1,4-dioxane standard. NCDEQ will conduct a more detailed fiscal analysis
for 1,4-dioxane in the future if values are proposed for adoption that differ from the current ISTVs.
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Cadmium
Approximately 23 comments were received regarding the proposed updates to the cadmium
standards.
One comment was received from the US Environmental Protection Agency (EPA). EPA acknowledges
that NC is proposing to adopt the Criterion Continuous Concentration (CCC) as derived in the 2016
NRWQC as the chronic standard in Class C waters. They also acknowledge that NC is proposing to
adopt the Criterion Maximum Concentration (CMC) as derived in the 2016 NRWQC as the acute
standard in Class C waters that have the supplemental classification of trout and that a modified
CMC that was not reduced to protect sensitive trout is proposed as the acute standard for the
remaining Class C waters that do not have a supplemental classification to support trout. EPA
requests that a rationale for the decision to not adopt the CMC as derived in the 2016 NRWQC
statewide be provided in NC’s responsiveness letter to EPA.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. This comment
notes that this rulemaking proposes separate acute standards for Class C waters and trout waters
with the proposed trout water acute standard being equal to the EPA NRWQC acute criterion and
the proposed Class C acute standard being equal the EPA NRWQC acute criterion prior to it being
lowered to protect the commercial and recreationally important rainbow trout. The commentors
express concern that the proposed Class C acute standard will not be protective of trout and
mottled sculpin in non-trout classified waters and asks that the EMC propose to adopt the EPA 2016
recommended freshwater acute criteria for all Class C waters throughout the state, not just those
designated as trout waters.
Comment: The proposed Class C acute standard is based on the EPA recommended criteria prior to
it being lowered specifically to protect the commercially and recreationally important rainbow trout.
This proposed acute Class C standard will not be protective of rainbow trout, other trout species,
and mottled sculpin in non-trout classified waters.
Response: Most trout species require specific environmental conditions and habitat to thrive. As
such, the EMC has classified specific waters in western NC, pursuant to 15A NCAC 02B .010034, as
supporting “conditions that sustain and allow for natural trout propagation and survival and for
year-round maintenance of stocked trout”. While trout may exist in waters not specifically classified
as trout (tr) waters, their requirements for clear, cool flowing waters, and their sensitivity to many
of the conditions that naturally occur in NC surface waters, such as high turbidity and temperatures,
naturally limits their propagation and survival in waters that are not suitable habitat. Rainbow trout
34 North Carolina Administrative Code. Title 15A, Subchapter 02B, Part .0100 (15A NCAC 02B .0100) – Procedures
for Assignment of Water Quality Standards. 15a ncac 02b .0101.pdf (state.nc.us)
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are particularly sensitive to environmental conditions and toxic substances. However, these fish are
non-indigenous species that are native to the Pacific drainages of western North America and have
been introduced to mountain streams in NC as a high value recreational species35. The EPA
NRWQC36 have also shown that rainbow trout exhibit greater sensitivity to cadmium toxicity as
compared to other trout species such as brown trout and bull trout and it was specifically because
of the increased sensitivity of rainbow trout that EPA lowered their acute NRWQC. It would,
therefore, be highly inappropriate to adopt the acute cadmium criteria as recommended by EPA in
all Class C waters given that they exhibit greater sensitivity compared to other trout species and that
limiting factors for the propagation and survival of rainbow trout such as temperature and turbidity
exist naturally throughout much of the state.
The proposed acute cadmium standard for Class C waters is based on the original Final Acute Value
(FAV) determined by the EPA37. This FAV of 5.733 ug/L, expressed as total recoverable cadmium at
100 mg/L water hardness, results in a Criterion Maximum Concentration (CMC) of 2.867 ug/L, or
one-half of the FAV, as total recoverable cadmium. When the CMC is expressed as dissolved
cadmium, using the conversion factor of 1.136672 - [(ln hardness) (0.041838)] and the toxic effect is
adjusted for water hardness using the relationship e^(0.9789*ln(hardness) - 3.443), the final
proposed dissolved, hardness-dependent acute cadmium standards of 0.09 ug/L at 2.5 mg/L, 0.75
ug/L at 25 mg/L, and 1.99 at 70.9 mg/L are obtained. The 2.5 mg/L and 70.9 mg/L hardness values
correspond to the minimum and maximum hardness values reported between 2007 and 2013 for
mountain streams at NCDEQ Ambient Monitoring System (AMS) stations (see Appendix A). The 25
mg/L hardness corresponds to an average hardness that is typical of NC surface waters. At these
same water hardness values the species mean acute values (SMAVs) expressed as dissolved
cadmium for the brown trout, bull trout, shorthead sculpin, and mottled sculpin, shown in Table 3,
are all above the proposed acute cadmium standard indicating that the proposed acute cadmium
standard for Class C waters will be protective of these cadmium sensitive species.
Table 3 – Comparison of proposed Class C cadmium standard to the SMAVs for sensitive species
Species
SMAV (total
recoverable Cd)1
(ug/L)
SMAV (dissolved Cd)2
(ug/L) at varying
mountain stream
hardness
Proposed Class C acute
standard (ug/L) at
varying mountain
stream hardness
Bull trout,
Salvelinus confluentus
4.190 4.6023
4.1984 4.0165
0.093 0.754 1.995
Shorthead sculpin,
Cottus confusus
4.404 4.8373
4.4134 4.2215
Mottled sculpin,
Cottus bairdii
4.418 4.8523
4.4274 4.2345
Brown trout,
Salmo trutta
5.642 6.1973
5.6534 5.4075
1 SMAV for each species as total recoverable cadmium per the 2016 EPA NRWQC document
35 North Carolina Wildlife Resources Commission. Rainbow trout species information webpage. Rainbow Trout
(ncwildlife.org)
36 See footnote 8.
37 See footnote 8
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2 SMAV for each species as dissolved cadmium per the conversion factor provided in the 2106 EPA
NRWQC document
3 Minimum recorded water hardness of 2.5 mg/L for mountain stream AMS stations for 2007-2013
4 Water hardness of 25 mg/L that is used as an average for NC surface waters
5 Maximum recorded water hardness of 70.9 mg/L for mountain stream AMS stations for 2007-2013
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Cyanide
Approximately 66 comments were received regarding the proposed modification to the cyanide
standard.
One comment was received from Alcoa Corporation. Alcoa Corporation has provided comments
supporting the adoption of the proposed option to apply the existing standard for total cyanide as
free cyanide. Alcoa Corporation also provides an alternative option to establish the standard as
“available cyanide”, along with supporting information, to address concerns that weak metal
cyanide complexes (or simple cyanide compounds), which may dissociate into free cyanide forms in
surface waters, will not be addressed under a free cyanide standard.
Approximately 42 form letters were received from supporters of Protect Badin Lake. The form letter
expressed concerns related to the proposed modification of the 15A NCAC 02B .0211 Class C
standard for cyanide which would allow for the option to implement the standard for either total or
free cyanide for the protection of aquatic life. Specific concerns cited in the form letter included: (1)
allowing for analysis for free cyanide will result in increased levels of cyanide in Badin Lake, (2) the
standard is being changed expressly to make it easier for industry to pollute, and (3) allowing the
option for a permit to switch to free cyanide will make it difficult to compare future data to historic
data which was assessed as total cyanide. The form letter requests that the following changes be
made to the proposed modification to the cyanide standard: (1) the cyanide standard should apply
for both total and free cyanide, and (2) the standard should specify that free cyanide includes
hydrogen cyanide, cyanide ions, and “weak acid dissociable” cyanide.
One comment was received from Yadkin Riverkeeper that recommends the EMC adopt the standard
for free cyanide while retaining the existing standard for total cyanide. Yadkin Riverkeeper states
that it is “strongly opposed” to allowing compliance with the cyanide standard using either free or
total cyanide. Yadkin Riverkeeper calls on the NCDEQ to take action to address leaching of cyanide
from Alcoa Badin Business Park and expresses concern that allowing for analysis of free or total
cyanide will be less protective to the environment. Yadkin Riverkeeper recommends requiring that
both free and total cyanide be required, and that free cyanide be defined in rule to include other
cyanide species such as weak acid dissociable cyanide (WAD cyanide) and cyanide amenable to
chlorination (CATC) which may release free cyanide in the environment. Yadkin Riverkeeper
expresses concern that industry has requested that the cyanide standard be changed from total to
free cyanide and that the EPA approved method cited by industry, SW-843 Method 9016, should not
be used because this method is only listed as a validated method and should not be used for
compliance until it is fully approved.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. The commentors
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express concern that setting a standard that allows for measurement of only free cyanide will not
capture the potential for release of HCN or CN- from weakly-complexed cyanide in surface waters.
The commentors recommend that the EMC, if they wish to permit measurement of something other
than total cyanide, set a limit of 5 ug/L for cyanide amenable to chlorination to adequately protect
against threats to aquatic life.
Comment: the proposed changes will allow for concentrations of cyanide to increase in Badin Lake
Response: It is possible that levels of total cyanide may increase. However, the EPA 1984 Ambient
Water Quality Criteria for Cyanide38, identifies free cyanides as being the compounds that pose a
threat to aquatic life. The aquatic life use will be protected so long as the free cyanide standard is
met in the water column.
Comment: the proposed change to the standard will make it easier for industry to pollute and the
driver for this proposed change is to make it easier for industry to meet NPDES permit
requirements.
Response: Per the Federal Water Pollution Control Act (i.e., the Clean Water Act), states must
regularly review and update surface water quality standards to ensure that they are consistent with
current science and guidelines. In NC this is done on a triennial basis in a rulemaking process
referred to as the triennial review. Not all potential water quality standards topics can be addressed
during each triennial review due to limited staff resources. This means that some topics will be
considered in later triennial reviews when time allows. During previous triennial reviews, public
comments received noted that EPA had published Clean Water Act approved methods for the
analysis of free cyanide. The publishing of these methods for analysis of free cyanide prompted the
proposed changes to the cyanide standard so that the NC standard would better match the current
EPA Ambient Water Quality Criteria for Cyanide. The background section above provides further
information on why this proposed change is important.
Comment: Switching to free cyanide will make it difficult to compare historic total cyanide data to
future free cyanide data
Response: Surface water quality standards are reviewed on a triennial basis and may be updated or
modified to ensure that they are consistent with current science and guidelines. This can, at times,
result in a shift in the type of information that is generated for determining compliance with a new
or modified surface water quality standard. For the proposed modifications to the existing cyanide
standard, the numeric standard of 5 μg/L will be the same for each analysis type (total or free) so
data comparisons will be made against the same numeric regulatory value.
Comment: Both total and free cyanide should be required as surface water quality standards
Response: EPA’s 1984 Ambient Water Quality Criteria for Cyanide established National
Recommended Water Quality Criteria (NRWQC) for the protection of aquatic life based on exposure
to the free forms of cyanide (HCN and CN-). It is these free forms that were identified as having the
greatest potential for toxic effects to aquatic life. Since the existing standard for total cyanide has
38 See footnote 9
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been in place for a long time and continued use of total cyanide would be more protective than the
proposed use of free cyanide as supported by the EPA, the option to measure either was proposed.
This was done to provide regulatory flexibility without a loss of protection to aquatic life. Since the
numeric criteria were established for free cyanide and no evidence has been provided to suggest
that an equal amount of total cyanide would be harmful to aquatic life, it is not appropriate to
require that both total and free cyanide be met at the same numerical concentration to protect
aquatic life.
Comment: The definition of free cyanide should be written to include hydrogen cyanide, cyanide
ions, "weak acid dissociable" (WADs), and cyanide amenable to chlorination (CATC). Alternatively,
the cyanide standard should be adopted as available cyanide to encompass both free cyanide and
weak metal cyanide complexes which have the potential to dissociate into free cyanide forms.
Response: NCDEQ agrees that it would be helpful to define the terms “total” and “free” as they
apply to the proposed modification to the cyanide standard and will recommend these definitions
be added to rule 15A NCAC 02B .0202. NCEDEQ will also investigate the possibility of adopting the
total cyanide standard as available cyanide to encompass both free cyanide and weak metal cyanide
complexes.
Comment: The EPA previously suggested in the 1988 EPA Water Quality Standards Criteria
Summaries: A Compilation of State/Federal Criteria (Cyanide)39 that the water quality standards for
cyanide should be based on total cyanide in order to protect aquatic life.
Response: The current and proposed NC surface water quality standards for cyanide are based on
the EPA Ambient Water Quality Criteria for Cyanide40 which serves as the official EPA
recommendation for states to consider when establishing surface water quality standards. While the
discussion portion of this document does express potential concerns related to dissociation of
metallocyanide complexes due to pH, EPA ultimately recommends, in the section titled National
Criteria, that:
“EPA believes that a measurement such as free cyanide would provide a more scientifically
correct basis upon which to establish criteria for cyanide. The criteria were developed on this
basis.”
Commentors are correct in that the 1988 EPA document states that the EPA recommends that
cyanide standards be adopted as total cyanide, however, this statement is taken out of context and
does not provide the complete recommendation by the EPA. The 1988 document references the
EPA Quality Criteria for Water - 1986 (EPA)41 as the reference for the cyanide criteria that it
provides. The EPA Quality Criteria for Water document provides the following context prior to its
recommendation to adopt cyanide as total cyanide:
“EPA believes that a measurement such as "acid soluble" would provide a more scientifically
correct basis upon which to establish criteria for cyanide. The criteria were developed on this
basis. However, at this time, no EPA-approved methods for such a measurement are available to
implement the criteria through the regulatory programs of the Agency and the States. The
39 US EPA. Water Quality Standards Criteria Summaries: A Compilation of State/Federal Criteria (Cyanide). EPA
440/5-88/016. September 1988. Document Display | NEPIS | US EPA
40 See footnote 9
41 US EPA. Quality Criteria for Water - 1986. EPA 440/5-86-001. 1986. Document Display | NEPIS | US EPA
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Agency is considering development and approval of methods for a measurement such as acid
soluble. Until available, however, EPA recommends applying the criteria using the total
recoverable method. These criteria may be overly protective when based on the total
recoverable method.”
It is clear, when this context is provided, that the intent of the EPA criteria for cyanide is that it be
established for free (or “acid soluble”) cyanide and, in addition, clearly acknowledges that
establishing the criteria for total cyanide may be overly protective.
Comment: The analytical method cited by industry, SW-843 Method 901642, should not be used
because this method is only listed as a validated method and should not be used for compliance
until it is fully approved.
Response: The NCDEQ Laboratory Certification Branch will determine which analytical methods will
be approved for use by certified laboratories for the analysis of free cyanide.
Comment: Concern expressed that ALCOA is exceeding its monthly average discharge for cyanide
and requests for NCDEQ to address cyanide leaching from Alcoa Badin Business Park hazardous
waste sites.
Response: The determination of permit limits, and compliance with such limits, are handled by the
NCDEQ Water Quality Permitting Section. Issues related to the leaching of substances from
hazardous waste sites fall under the purview of the NC Division of Waste Management. The
concerns expressed in these comments will be forwarded to these groups for their review.
42 US EPA. Validated Test Method 9016: Free Cyanide in Water, Soils and Solid Wastes by Microdiffusion. June
2010. https://www.epa.gov/hw-sw846/validated-test-method-9016-free-cyanide-water-soils-and-solid-wastes-
microdiffusion
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E. coli Primary Recreation Standards
Approximately 1435 comments were received regarding this proposed action.
One comment was received from IDEXX Laboratories, Inc. IDEXX Laboratories, Inc. supports the
change from the fecal coliform standard to the E. coli bacterial pathogen indicator in the Class B
waters in the Asheville Region of NC but recommends NCDEQ expand this revision to include all
statewide freshwaters. IDEXX laboratories Inc. provides rationale to support this recommendation
citing scientific studies that demonstrate that E. coli is a more appropriate indicator of poor water
quality.
One comment was received from Mountain True. Mountain True thanks NCDEQ for being
responsive to their concerns and for taking steps to address the freshwater bacterial water quality
standards in the Asheville area. Mountain True appreciates NCDEQ’s efforts to propose the adoption
of recreational E. coli standards in the 19 counties that make up the Asheville Regional Office area
but would like to see these criteria applied to all NC surface waters. Mountain True also expresses
concern that the current water body classification system does not reflect the true recreational
usage of many of the waters in the state and provides a list of 14 waterbodies that are used for
primary recreation in Western NC but are not classified as Class B.
1,406 individuals signed a petition submitted by the NC Conservation Network expressing concern
that adopting the proposed E. coli standard only applies in the 19 counties in the western part of the
state instead of statewide to protect all North Carolinian’s. The petition raises environmental justice
concerns as many of the low income and minority communities in the state reside in the counties
not affected by the update to the primary recreation standards.
One comment was received from the North Carolina Farm Bureau Federation that supported the
proposed change from the fecal coliform indicator to the E. coli indicator provided it is limited to the
Class B waters in the 19 counties that comprise the ARO. The North Carolina Farm Bureau
Federation does not support the switch from fecal to E. coli statewide at this time and states that
NCDEQ should monitor both fecal coliform and E. coli in the 19 counties so that the impact of this
change can be better understood.
One comment was received from Sound Rivers expressing concern that: (1) the best available
science is not being extended to update recreational standards for the entire state and (2) that both
Class B and C waters are being used for primary recreation with many of the most popular
recreational areas where people are having full body contact with waters, such as the Tar River in
Greenville, and Little Goose Creek at Goose Creek State Park, being classified as Class C, not Class B
waters
One comment was received from the US Environmental Protection Agency (EPA). EPA has
determined that the proposed site-specific standard does not meet the requirement of being
established on a sound scientific basis due to the site-specific proposal being based on the
geographical use of specific bacterial indicators. EPA recommends that NC adopt the E. coli criteria
statewide for all Class B waters. EPA also provides information to recommend another approach
used by other states to phase in the use of the E. coli indicator. This approach includes adopting the
E. coli standard while maintaining the existing fecal coliform standard. The standards would be
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retained together for one triennial review cycle after which only the E. coli standard would remain in
rule. EPA also recommends that the proposal to set the statistical threshold value (STV) of 320
cfu/100 mL with an excursion frequency of 20% of samples be revised so that the STV reflects the
appropriate percentile value for the chosen estimated illness rate as listed in the table below.
Table 4 – EPA STVs for selected recreational illness rates
Corresponding STVs for a GM of 100 cfu/ 100
mL (associated with an illness rate of
32/1,000)
Corresponding STVs for a GM of 126 cfu/ 100
mL (associated with an illness rate of
36/1,000)
186 (75th percentile) 235 (75th percentile)
217 (80th percentile) 274 (80th percentile)
260 (85th percentile) 327 (85th percentile)
326 (90th percentile) 410 (90th percentile)
455 (95th percentile) 573 (95th percentile)
One comment was received from Yadkin Riverkeeper supporting establishment of a statewide
recreational criteria for E. coli in both Class C and Class B waters to address concerns that many
popular swimming areas throughout the state are showing high levels of E. coli as compared to
current EPA Beach Action Values. Data for these swimming areas was collected during the summer
(Memorial Day to Labor Day) as part of a statewide effort with other NC Riverkeepers, analyzed
using the IDEXX Colilert®Test method, and reported to the public via the Swim Guide43 website.
One comment was received from Waterkeepers Carolina expressing concern that the EPA 2102
Recreational Water Quality Criteria were not being proposed for all Class B primary recreation and
Class C secondary recreation waters in North Carolina.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. This comment
primarily expressed concern that the primary recreation standard for E. coli was inappropriately
being proposed for only the counties defined by the Asheville Regional Offices area of operation and
only for Class B surface waters. The comment provides an evaluation of the need for updated
recreational criteria throughout the state and provides numerous examples of the greater potential
for bacterial contamination of surface waters in areas outside of the Asheville region. The comment
also questions the validity of the State’s reasoning for proposing to adopt these standards in only
one geographic area and not others and expresses concern that the adoption of the proposed
standard will perpetuate existing environmental injustices. The comment recommends retaining the
current uniformity in numeric recreational standards by amending the bacteria standards for all
43 The Swim Guide. Swim Guide (theswimguide.org)
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Class C and Class B waters to reflect the scientific conclusion that E. coli are a better indicator than
fecal coliform of threats to human health posed by recreating in the state’s freshwaters.
Comment: E. coli should be adopted as the pathogenic indicator statewide for all Class B and Class C
surface waters.
Response: The decision to propose the adoption of E. coli as a site-specific standard for Class B
waters in the NCDEQ Asheville Regional Office operational area was made to allow NCDEQ to
gradually roll out replacing the existing fecal coliform standard throughout the state by starting with
the region that has already developed the capacity to perform the E. coli analytical testing method.
Approaching the shift from the long standing fecal coliform standard to the E. coli standard in this
way would allow the NCDEQ central laboratory time to obtain the funding necessary to purchase the
equipment and supplies necessary to analyze for the new pathogenic indicator and would also allow
the various water quality protection programs that require fecal coliform testing to evaluate how to
implement the new E. coli recreational standard. Based on the extensive comments received
regarding this site-specific approach however, NCDEQ commits to reevaluating the EPA criteria for E.
coli in primary recreation waters for adoption statewide. See the Hearing Officer’s
Recommendations section in this document for more information regarding the NCDEQ’s plans for
establishing a statewide E. coli standard for primary recreation (Class B) waters.
Comment: Both Class B and C waters are used for primary recreation. Many of the most popular
recreational areas where people are having full body contact with waters, such as the Tar River in
Greenville, and Little Goose Creek at Goose Creek State Park, are classified as Class C, not Class B
waters. At least 14 waters in Western NC are being used for primary recreation but are classified as
Class C.
Response: NCDEQ thanks Sounds Rivers and Mountain True for commenting on this issue and
providing the information concerning the use of these surface waters. The classification of surface
waters based on their current demonstrated uses is critical to ensuring that the appropriate surface
water quality standards are in place to protect those uses. NCDEQ will consider the information
provided above and will investigate options for addressing the concerns stated in these comments.
In addition, any person may request the reclassification of surface waters by contacting staff listed
on the NCDEQ Classification, Standards and Rules Review Branch webpage at
https://deq.nc.gov/about/divisions/water-resources/planning/classification-standards/#Contacts.
Comment: In 2020, Sound Rivers conducted E. coli sampling at 36 sites across the Tar-Pamlico and
Neuse River basins weekly from Memorial Day to Labor Day to capture peak recreational use of
surface waters during the summer months. About 13% (76 of 530) samples were above the EPA
Beach Action Value (BAVs). The IDEXX Colilert®Test method for E. coli was used for this study. This
method has been approved for use by EPA. NC Riverkeepers also collected samples during this time
and report that E. coli concentrations exceeded the BAVs in 561 out of 2200 samples (25.5%). Yadkin
Riverkeeper continues to see high E. coli levels at two sites in the Yadkin River and South Yadkin
River.
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Response: NCDEQ thanks Sound Rivers and the Riverkeepers for conducting this sampling and
providing this information. While the provided information is useful for understanding E. coli levels
in North Carolina surface waters, it is important to recognize that the EPA Beach Actions Values
(BAVs), while discussed in the Recreational Water Quality Criteria document, are not Clean Water
Act compliant criteria elements. These BAVs are often used as part of swimming beach monitoring
programs to inform decision making regarding the issuance of swimming advisories and
notifications. They are not regulatory values that can be implemented through water quality
protection programs and the NCDEQ does not currently have the authority or the resources to
establish and implement a swimming advisory and notification program for Class B waters.
Comment: The proposed site-specific standard does not meet the requirement of being established
on a sound scientific basis due to the site-specific proposal being based on the geographical use of
specific bacterial indicators.
Response: The proposal to adopt E. coli as a site-specific standard in the 19 counties that comprise
the Asheville Region was designed as a response to specific concerns that were identified in that
region. These concerns were raised a result of a cooperative E. coli monitoring effort conducted by
the NCDEQ Asheville Regional Office and non-governmental agencies. This monitoring effort
identified E. coli levels above the EPA Beach Action Values in various water bodies that are used for
primary recreation. The NCDEQ deemed this proposed site-specific standard as an appropriate and
practical course of action to address the immediacy of the public concern as attempting to change
the recreational waters standard statewide would require additional time and resources. However,
due to the concern expressed in the many comments received for this proposed action and
comments received from the EPA, the NCDEQ has reconsidered this proposal. The NCDEQ is now
proposing that the site-specific standard for E. coli will not be adopted as proposed and, instead, the
NCDEQ will further evaluate the EPA Recreational Water Quality Criteria for E. coli before proposing
its adoption for all Class B waters in the state. See the Hearing Officer’s Recommendations section in
this document for more information regarding the NCDEQ’s plans for establishing a statewide E. coli
standard for primary recreation (Class B) waters.
Comment: The proposal to set the statistical threshold value (STV) of 320 cfu/100 mL with an
excursion frequency of 20% of samples be revised so that the STV reflects the appropriate percentile
value for the chosen estimated illness rate.
Response: NCDEQ thanks EPA for providing this additional information. NCDEQ will revise the STV to
match the selected 20% of samples exceedance rate.
Comment: NCDEQ should monitor both fecal coliform and E. coli in the 19 counties so that the
impact of the proposed change to the recreational standards can be better understood.
Response: NCDEQ appreciates this comment and need for a better understanding of how water
quality standards changes may impact use protections and costs to the regulated community.
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Selenium
Approximately 25 comments were received regarding the proposed updates to the selenium
standard.
One comment was received from Duke Energy regarding the proposal to adopt the EPA Aquatic Life
Ambient Water Quality Criterion for Selenium – Freshwater 201644 for freshwater aquatic life
protection. The comments from Duke Energy included requests for (1) NCDEQ to remove non-peer
reviewed data (white sturgeon) from the fish tissue calculation and recalculate the fish tissue values
as Idaho has done6, (2) establishing site-specific selenium for Duke Lakes using the EPA Revised
Deletion Process for the Site-Specific Recalculation Procedure for Aquatic Life Criteria45 if criteria are
not recalculated, (3) changes to the proposed rule language to provide clarification including:
defining instantaneous, including the EPA frequency component for water column values, and
clearly describing the hierarchy component, and (4) an implementation policy being developed and
made available for public review prior to implementing the proposed selenium standard in NPDES
permits.
One comment was received from Adrienne Ferriss, MD, MPH. This comment states The EPA 2016
“standards” [NCDEQ staff assume this refers to the EPA Aquatic Life Ambient Water Quality
Criterion for Selenium – Freshwater 201646] are five years out of date and that the science has
changed since and we need to consider that in this triennial review.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. This comment
supports the adoption of the proposed changes to the selenium standard but urges the EMC to
consider the need for site-specific selenium standards where high rates of bioaccumulation,
especially in lentic aquatic systems, suggest the need for additional protection.
Comment: The science behind the 2016 EPA Aquatic Life Ambient Water Quality Criterion for
Selenium – Freshwater is five years out of date.
Response: NCDEQ appreciates the concern that the scientific information supporting the proposed
standard is out of date, however, the 2016 EPA criteria is the most recent EPA recommendation that
has been published for the establishment of surface water selenium standards. It is important to
note that this recommendation significantly changes the way surface water standards address the
protection of aquatic life. The 2016 EPA recommended criteria for selenium introduce a new
44 US EPA. Aquatic Life Ambient Water Quality Criterion for Selenium – Freshwater 2016. EPA 822-R-18-002. April
2013. 2013 Freshwater Aquatic Life Ambient Water Quality Criteria for Ammonia (epa.gov)
45 US EPA. Revised Deletion Process for the Site-Specific Recalculation Procedure for Aquatic Life Criteria. EPA 823-
R-13-001. April 2013. Revised Deletion Process for the Site-Specific Recalculation Procedure for ALC (epa.gov)
46 See footnote 44.
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framework for determining the potential for toxic effects to fish based on the direct measurement
of selenium in fish reproductive and muscle tissue when available. This allows for a much more
accurate determination of potential impacts as it is the accumulation of selenium in the fish tissue
that leads to the toxic effects of concern, namely impaired reproduction and offspring development
and reduced offspring survival. NCDEQ also routinely reviews surface water standards to see if they
have been updated with each triennial review.
Comment: Establish site-specific criteria for Duke Energy lakes using the EPA Revised Deletion
Process for the Site-Specific Recalculation Procedure for Aquatic Life Criteria or remove data for the
white sturgeon from the calculation for the fish tissue criteria.
Response: NCDEQ agrees that EPA’s use of the non-peer reviewed toxicity data for white sturgeon in
the calculation of the Aquatic Life Ambient Water Quality Criterion for Selenium is atypical.
However, the Department recognizes that this data was included to ensure that the national criteria
are protective of sturgeon, a sensitive group of fish that includes species that are listed as being
federally endangered. North Carolina is home to one of these Federally endangered sturgeon
species, the Atlantic sturgeon. Atlantic sturgeon inhabit the coastal waters of NC and are known to
spawn in the inland waters of the state. For this reason, NCDEQ feels that it is important to maintain
the white sturgeon data in the calculation of the proposed selenium criteria. 15A NCAC 02B .0226 -
Exemptions from Surface Water Quality Standards47 provides the EMC the ability to establish site-
specific surface water quality standards on a case-by-case basis as part of the triennial review
process and pursuant to G.S. 143-215.3(e), 143-214.3 or 143-214.1. However, setting site-specific
standards requires careful consideration of potential impacts to designated uses and, in the case of
the proposed selenium standard, requires the consideration of the distribution of the federally
endangered Atlantic sturgeon and protections of downstream uses per 15A NCAC 02B .0203 -
Protections of Waters Downstream of Receiving Waters48. Since the removal of the sensitive
sturgeon data from the EPA criteria calculation may fail to provide adequate protection of
downstream uses, especially the need to protect sturgeon in the coastal plain waters and other
potentially sensitive species in the remainder of the state, the NCDEQ will not consider establishing
site-specific standards for selenium for Duke Energy lakes as part of this triennial review and will
recommend adoption of the EPA selenium criteria as proposed in this rulemaking.
Comment: Include EPA’s recommended frequency of allowable water column concentration
excursion, which reads: not to be exceeded more than once in three years on average, to align with
the national criteria and North Carolina General Statute 150B 19.3(a)49.
Response: North Carolina’s 15A NCAC 02B rules establish many categories of standards that provide
protections for many different designated uses. As such, there is not a single appropriate frequency
of deviations from the standards that is suitable for all of the ways the standards are implemented.
In lieu of a single excursion frequency, the 02B rules and approved 303(d) listing methodology
establish separate excursion frequencies based on the consideration of the specific protections that
47 North Carolina Administrative Code. Title 15A, Subchapter 02B, Part .0226 (15A NCAC 02B .0226) – Exemptions
From Surface Water Quality Standards. 15a ncac 02b .0226.pdf (state.nc.us)
48 See footnote 21.
49 See footnote 3.
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are required. Some of the ways excursion frequency is addressed include: (1) Flow design criterion
are used to estimate appropriate excursion frequencies for the development of water quality based
effluent limitations50, (2) the NC EMC has established a frequency of not greater than 10%
exceedance of samples, with 90% confidence, for determining the listing of impaired water bodies
on the 303(d) impaired waters list51, (3) 15A NCAC 02B .0208 states that “any levels in excess of the
chronic value for aquatic life shall be considered to result in chronic toxicity”52, and (4) 15A NCAC 02B
.0208 states that “concentration[s] of toxic substances shall not exceed the level necessary to protect
human health through exposure routes offish tissue consumption, water consumption, recreation, or
other route identified for the water body.”
The NDEQ also feels that the existing approach to excursion frequency is not a violation of NCGS
150B 19.3(a) as the use of a not more than once in three years excursion frequency is a
recommendation made in EPA’s Aquatic Life Ambient Water Quality Criterion for Selenium –
Freshwater 2016 (EPA 822-R-16-006, June 2016) which is an EPA National Recommended Water
Quality Criteria guideline and not a federal law or rule.
Comment: Align with the national criterion by addition of a definition of “instantaneous” related to
fish tissue measurement. Duke Energy recommends that the language found in Table 1 of the
Aquatic Life Ambient Water Quality Criterion for Selenium – Freshwater 2016 be included in the
proposed update to the selenium standard in 15A NCAC 02B .0211. That language reads: “Fish tissue
data provide instantaneous point measurements that reflect integrative accumulation of selenium
over time and space in fish populations at a given site”
Response: NCDEQ supports the inclusion of this definition to provide clarity to stakeholders.
Comment: Duke Energy requests that the following comments from Table 1 (page xv) and Part 4
(page 98) of the Aquatic Life Ambient Water Quality Criterion for Selenium – Freshwater, regarding
the priority of the criteria fish tissue elements, be included in the proposed selenium standard rule
language.
• Fish whole body or muscle tissue supersedes water column element when both fish tissue
and water concentrations are measured.
• recognizing that fish tissue elements supersede the water elements and that the egg-ovary
tissue element supersedes all other tissue elements
Response: NCDEQ supports the inclusion of additional language to provide clarity.
Comment: Duke Energy requests that an implementation policy for selenium (analogous to the
permitting policy for Mercury associated with the mercury TMDL) be developed and made available
for review and comment prior to the implementation of the selenium criteria and permit
development.
50 North Carolina Administrative Code. Title 15A, Subchapter 02B, Part .0206 (15A NCAC 02B .0206) – Flow Design
Criteria for Effluent Limitations. 15a ncac 02b .0206.pdf (state.nc.us)
51 NC DEQ. North Carolina 2022 303(d) Listing and Delisting Methodology. May 13, 2021. download (nc.gov)
52 See footnote 16.
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Response: Adoption of surface water quality standards is a separate action from the implementation
of the standards. This request will be sent to NCDEQ NPDES Water Quality Permitting Section for
consideration.
Comment: Duke Energy provided a summary of their suggested edits to the proposed amendments
to 15A NCAC 02B .0211 (11)(d) including: the inclusion of the word “default” before the phrase
“chronic selenium standards are as follows”; footnote #1 in the selenium standards table which
states that site-specific tissue criteria may be calculated by the Department on a case-by-case basis;
footnote #2 in the selenium standards table which states that the frequency of the water column
concentrations are not to be exceeded more than once in three years; footnote #3 in the selenium
standards table which states that fish tissue and egg-ovary results supersede water column data;
and footnote #4 in the selenium standards table which states that “fish tissue data provide
instantaneous point measurements that reflect integrative accumulation of selenium over and space
in fish populations at a given site”.
Response: NCDEQ supports the inclusion of the suggested edits that appear as footnotes #3 and #4.
NCDEQ disagrees with the following suggested edits and has determined that (1) there is no need to
include the word “default” before the listing of the chronic selenium standards as the word is
ambiguous and all surface water standards serve as the default level of protection by their very
nature and (2) there is no need to include footnote #1, declaring that the Revised Deletion Process
for the Site-Specific Recalculation Procedure for Aquatic Life Criteria may be used on a case-by-case
basis, as this option is already available through application of 15A NCAC 02B .0226 Exemptions
From Surface Water Quality Standards53. In addition, NCDEQ disagrees with the suggested edit that
appears as footnote # 2, regarding the not to be exceeded more than once in three years on average
language. The reason for this disagreement in addressed in a separate comment made earlier in this
section.
Comment: Site-specific selenium standards should be considered where high rates of
bioaccumulation, especially in lentic aquatic systems, suggest the need for additional protection.
Response: NCDEQ thanks the commentors for their comment. Site-specific standards to consider
increased rates of bioaccumulation for selenium may be considered in the future should adequate
supporting information become available
Variances
One comment was received from the North Carolina Farm Bureau Federation that supports the
continuation of the water quality standards variances that are in place for the chloride standard for
Mt. Olive Pickle Company (NC0001074) and Bay Valley Foods, LLC (NC0001970). The comment
states that these pickle plants are important to NC Agriculture, the State’s cucumber producers, and
the local economies in the areas these businesses support.
Response: NCDEQ thanks the North Carolina Farm Bureau Federation for their comment.
53 See footnote 47.
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Comments on Other Topics
In addition to requesting comments on the proposed actions for this triennial review, NCDEQ also asked
to receive public comments on other topics of interest for consideration in future triennial reviews.
Comments were received for: (1) specific contaminants such aluminum, ammonia, cyanotoxins and
HABs, and PFAS, (2) general needs for aquatic life, drinking water, and human health protections, and
(3) stronger regulatory authority and enforcement. Summaries of and responses to these additional
public comments appear below.
Aluminum
EPA’s 2018 Final Aquatic Life Ambient Water Quality Criteria for Aluminum54 established NRWQC for
the protection of aquatic life based on exposure to total aluminum. These criteria were not
proposed for adoption as surface water quality standards as part of this triennial review.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. The comment
recommends the EMC adopt EPA’s 2018 Final Aquatic Life Ambient Water Quality Criteria for
Aluminum.
Response: NCDEQ thanks the commentors for their recommendation and will investigate the EPA
National Recommended Water Quality Criteria for Aluminum and consider it for inclusion in a future
triennial review.
Ammonia
EPA’s Aquatic Life Ambient Water Quality Criteria for Ammonia – Freshwater55 established NRWQC
for the protection of aquatic life based on exposure to total ammonia nitrogen. These criteria were
not proposed for adoption as surface water quality standards as part of this triennial review.
Approximately 23 comments were received requesting the EMC adopt the EPA criteria for ammonia
as surface water quality standards.
One comment was received from Sound Rivers detailing the significance of ammonia as a pollutant
in North Carolina surface waters which are home to seven endangered freshwater mussel species,
species that are particularly sensitive to ammonia. These comments also discuss the history of the
EPA criteria for ammonia, dating back to 1976, and the continued efforts of stakeholders and the US
54 US EPA. Final Aquatic Life Ambient Water Quality Criteria for Aluminum 2018. EPA 822-R-18-001. December
2018. Final Aquatic Life Ambient Water Quality Criteria for Aluminum 2018 (epa.gov)
55 US EPA. Aquatic Life Ambient Water Quality Criteria for Ammonia – Freshwater 2013. EPA 822-R-18-002. April
2013. 2013 Freshwater Aquatic Life Ambient Water Quality Criteria for Ammonia (epa.gov)
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Fish and Wildlife Service in requesting that the EMC adopt ammonia standards for North Carolina’s
surface waters.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. The comment
recommends the EMC adopt EPA’ 2013 criteria for ammonia and provides information supporting
the need for this standard in NC.
Comment: The EMC should adopt EPA’s 2013 Ammonia criteria
Response: The NCDEQ acknowledges and appreciates the significance of ammonia toxicity in aquatic
environments and continues to evaluate EPA’s 2013 ammonia criteria. Though the EPA ammonia
criteria have not been proposed for adoption as part of this triennial review, the NCDEQ has taken
steps to address potential ammonia issues by establishing a NPDES ammonia toxicity policy which is
used to established ammonia permit limits where appropriate. This policy can be found in Appendix
A. In addition, NCDEQ has been evaluating ammonia concentrations in water quality samples
collected throughout the state as part of the NCDEQ Ambient Monitoring System and Random
Ambient Monitoring System programs and NCDEQ has been engaged with the US Fish and Wildlife
Services to discuss the federally listed endangered and threatened freshwater mussels found in
North Carolina and to determine how to address sources of ammonia such as small treatment plants
that do not have the economic means to upgrade treatment processes.
Cyanotoxins and Harmful Algal Blooms (HABs)
The EPA Recommended Human Health Recreational Ambient Water Quality Criteria or Swimming
Advisories for Microcystins and Cylindrospermopsin56 recommends protective levels for the
cyanotoxins microcystin and cylindrospermopsin that may be used by states to establish Clean
Water Act surface water quality standards or to incorporate into recreational swimming advisory
programs. These criteria were not proposed for adoption as surface water quality standards as part
of this triennial review.
Approximately 44 comments were received requesting the EMC adopt the EPA Recommended
Human Health Recreational Ambient Water Quality Criteria or Swimming Advisories for Microcystins
and Cylindrospermopsin.
Nineteen comments were received as part of a form letter titled “It’s Time to Add Stronger
Protections for Water in North Carolina”. These comments express concern over the levels of
56 US EPA. Recommended Human Health Recreational Ambient Water Quality Criteria or Swimming Advisories for
Microcystins and Cylindrospermopsin. EPA 822-R-19-001. May 2019. Recommended Human Health Recreational
Ambient Water Quality Criteria or Swimming Advisories for Microcystins and Cylindrospermopsin (epa.gov)
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nutrients in NC surface waters and the safety of people and pets that are exposed to HABs and
cyanotoxins while recreating in surface waters.
One comment was received from Waterkeepers Carolina and expresses concern that surface water
standards were not proposed as part of this triennial review even though increases in nutrient
loading and temperature associated with climate change are increasing the occurrence of algal
blooms and likelihood of algal toxin production.
One comment was received from Yadkin Riverkeeper supporting establishment of recreational
criteria for the algal toxins microcystin and cylindrospermopsin as published by EPA. Yadkin
Riverkeeper states that all the Yadkin Pee Dee lakes have experienced HABs with more than 180
HABs documented between 2000-2019. Yadkin Riverkeeper supports establishment of these criteria
as a preventative measure since statewide numeric nutrient criteria for nitrogen and phosphorous
have not been proposed and supports the state investing additional resources to address HAB and
cyanotoxin monitoring, method development, tracking and response activities.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. The commentors
express concern that the lack of cyanotoxin standards hampers the State’s ability to successfully
regulate cyanotoxins and that these standards are needed to protect recreators throughout the
state. The commentors urge the EMC to adopt the following standards for Class B and C waters: 8
micrograms/liter (μg/L) for microcystin, 15 μg/L for cylindrospermopsin, and a cell count standard of
100,000 cells/mL. The commentors also express concern that cyanotoxins may accumulate in the
tissues of oysters and other shellfish that are frequently consumed by humans and wildlife and
reference a study titled Evidence of freshwater algal toxins in marine shellfish: Implications for
human and aquatic health as supporting information. The commentors request that the EMC
examine whether a special cyanotoxin standard based on shellfish consumption is needed for Class
SA waters.
Comment: The EMC should adopt the EPA Recommended Human Health Recreational Ambient
Water Quality Criteria or Swimming Advisories for Microcystins and Cylindrospermopsin.
Response: The NCDEQ is currently evaluating how to best incorporate the EPA guidance to protect
recreators from cyanotoxins in surface waters. The recommended microcystin and
cylindrospermopsin criteria are being considered for adoption as part of future surface water quality
standards triennial reviews and are also included in the discussions of nutrient criteria as part of the
NCDEQ Nutrient Criteria Development Plan57. The NCDEQ does not currently have the authority to
establish and implement a Harmful Algal Bloom recreational swimming advisory program. However,
the Department does have an established algal bloom response plan that involves networking with a
57 NC DEQ. Nutrient Criteria Development Plan. May 16, 2019. download (nc.gov)
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variety of state and local government officials and the public to document blooms, collect samples,
identify algal species, enumerate algal density, and analyze samples for the presence of microcystin.
NCDEQ works closely with the North Carolina Department of Health and Human Services to share
this information so that local health departments and local governments that choose to do so can
issue swimming advisories.
Comment: the EMC should examine whether a special cyanotoxin standard based on shellfish
consumption is needed for Class SA waters.
Response: The NCDEQ thanks the commentors for this comment and the referenced scientific study.
NCDEQ will investigate this issue and return to it during a future triennial review.
Drinking water protection (general comments)
Approximately 2 comments were received that discussed drinking water protection in a general
manner.
One comment was received from Damien Fernandez supporting the Haw River Assembly and
protecting drinking water sources such as Jordan Lake and the Cape Fear River.
One comment was received from Diane Tolly expressing concern about water quality at their new
home in North Carolina and the need for them to install a filtration system. Diane urges the EMC to
take action to protect water quality in North Carolina.
Response: The NCDEQ greatly appreciates the submission of these comments that support the
protection of drinking water and surface drinking water supplies. The 15A NCAC 02B .0212, .0214,
.0215, .0216, and .021858 rules establish narrative and numeric surface water quality standards that
apply to watersheds that are classified as water supplies. These standards are designed to protect
people through exposure to contaminants from the consumption of both drinking water and fish
and shellfish tissue obtained from these waters. With respect to drinking water, these standards are
meant to complement the protections established for finished drinking water through the Federal
Safe Drinking Water Act by ensuring that surface water supplies provide water of a quality that
allows for federal Maximum Contaminant Levels (MCLs) to be met through appropriate treatment
processes.
Establishing adequately protective water quality standards
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. This comment
58 See footnote 22.
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requests the EMC to update North Carolina's surface water standards to reflect the growing depth
of peer-reviewed science on toxicological mechanisms, ecological relationships, and the fate and
transport of pollutants in our rivers and estuaries. Specific concerns related to human health surface
water quality standards were provided including: (1) the need protect vulnerable subpopulations
(especially children and infants), (2) the need for the EMC to investigate how to incorporate the
regulation of chemical mixtures into rulemaking, (3) the need to establish water supply standards to
avoid the displacement of drinking water treatment costs to the public, (4) the need to consider the
potential for adverse impacts to communities of color or low income when developing standards.
Specific concerns related to aquatic life were also provided including: (1) the need to update 15A
NCAC 02B .0202 references for the development of aquatic life criteria to more recent EPA guidance
documents and (2) the need to address the effects of chemical mixtures on the health of aquatic
organisms.
Finally, specific concerns related to contaminants of emerging concern (CECs) were provided
including: (1) the need to update the state’s regulatory structure to support effective responses to
CECs when they are found, (2) the need to enforce existing laws, (3) the need for a narrative
standard to disallow the discharge of persistent, bioaccumulative, and mobile toxic substances
Comment: Vulnerable subpopulations, especially children and infants, need to be protected.
Response: NCDEQ thanks the commentors for their concern for children and other vulnerable
populations. It can be difficult to establish water quality standards for vulnerable populations as
specific information regarding the toxic effects of exposures to these groups is often not available.
Rule 15A NCAC 02B .020859 does provide for the use of child-specific exposure factors (body weight
and drinking water intake) to calculate standards for non-carcinogenic substances when children are
specifically at risk, however, the rule does not specify this as an option for carcinogenic substances.
Instead, water quality standards for carcinogenic substances consider a lifetime of exposure to that
substance. This does not mean, however, that carcinogenic effects on children or other vulnerable
populations have been ignored as the EPA Integrated Risk Information System (IRIS)60 risk
assessments that provide the carcinogenic toxicity factors used to calculate standards are conducted
using EPA guidelines, such as the Guidelines for Developmental Toxicity Risk Assessment61 (U.S. EPA,
1991a)4 and the Supplemental Guidance for Assessing Susceptibility from Early-Life Exposure to
Carcinogens62 (U.S. EPA, 2005b)5, that focus specifically on determining hazards to children and
other vulnerable populations.
Comment: Environmental justice concerns need to be advanced; impacts to communities of color or
low-income must be considered when developing standards.
59 See footnote 16.
60 US EPA Integrated Risk Information System
61 US EPA. Guidelines for Developmental Toxicity Risk Assessment. EPA/600/FR-91/001, Dec 1991
62 US EPA. Supplemental Guidance for Assessing Susceptibility from Early-Life Exposure to Carcinogens.
EPA/630/R-03/003F, March 2005
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Response: NCDEQ appreciates the comments regarding the consideration of environmental justice
in standards development and rulemaking. This is an area that NCDEQ in currently working to
improve upon as it directly supports our mission to provide stewardship for all North Carolinian’s.
Comment: NCDEQ continuously fails to support water quality standards during the permitting
process; the EMC’s water quality standards cannot work if they are not implemented; the EMC must
direct DEQ staff to enforce existing disclosure requirements for all dischargers as it did with
Chemours.
Response: The NCDEQ thanks the joint commentors for their comments, however, the
implementation of surface water quality standards in NPDES permitting falls outside of the scope of
this rulemaking.
Comment: The EMC should update the definition of acute toxicity in 15A NCAC 02B .0202(1)(a)63 to
incorporate EPA’s 1998 Guidelines for Ecological Risk Assessment64 which complements EPA’s 1985
Guidelines for Deriving Numerical National Water Quality Criteria for the Protection of Aquatic
Organisms and Their Uses65 guidance by addressing advancements made in aquatic toxicology and
risk assessment. Recommended language is included in the comment.
Response: The NCDEQ thanks the joint commentors for their comments and will investigate the
incorporation of these additional EPA guidelines into the 15A NCAC 02B .0202(1)(a) definition of
acute toxicity in a future triennial review.
Comment: the EMC should adopt a new narrative standard that calls for no increase in persistent
toxics - bioaccumulating or mobile - in North Carolina waters.
Response: NCDEQ thanks the joint commentors for their comment and will review and consider the
recommended changes to the 15A NCAC 02B .0202 and .0208 rules proposed in the comment letter.
Comment: The EMC needs to investigate how to incorporate the regulation of chemical mixtures
into rulemaking for the protection of both human health and aquatic life.
Response: NCDEQ thanks the joint commentors for their comment. The regulation of chemical
mixtures is challenging as there is often very limited toxicological information to use as the basis for
the development of numeric regulatory standards for combinations of chemicals. There is also a lack
of EPA guidance for how the regulation of chemical mixtures should be handled within the context
of the Clean Water Act. NCDEQ does, however, appreciate the significance of the potential effects
63 North Carolina Administrative Code. Title 15A, Subchapter 02B, Part .0202 (15A NCAC 02B .0202) – Definitions.
15a ncac 02b .0202.pdf (state.nc.us)
64 US EPA. Guidelines for Ecological Risk Assessment. EPA/630/R-95/002F. April 1998. Guidelines for Ecological Risk
Assessment (epa.gov)
65 US EPA. Guidelines for Deriving Numerical National Water Quality Criteria for the Protection of Aquatic
Organisms and Their Uses. PB85-227149. 1985. Guidelines for Deriving Numerical National Water Quality Criteria
for the Protection of Aquatic Organisms and Their Uses (epa.gov)
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that combining chemicals may have for increasing, and decreasing, the potential for toxicity to
humans and aquatic organisms and will continue to investigate this topic.
Comment: the need to establish water supply standards to avoid the displacement of drinking water
treatment costs to the public
Response: NCDEQ thanks the joint commentors for their comment. The proposed water supply
standard for 1,4-dioxane has been developed to be protective for the consumption of water and fish
tissue in surface waters classified as water supplies (Class WS) per the narrative standard for toxic
substances in 15A NCAC 02B .020866.
Flow
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation was received. The
commentors encourage the EMC to adopt flow standards developed using a ‘natural flow paradigm”
that recognizes the importance of seasonal, intra-annual, and inter-annual variable flow patterns
necessary to sustain designated uses during a wide range of annual precipitation patterns.
References are provided and include EPA’s “Final Technical Report: Protecting Aquatic Life from
Effects of Hydrologic Alteration” and scientific papers including “The natural flow regime: A
paradigm for river conservation and restoration” and “Short communication: A presumptive
standard for environmental flow protection”. The commentors also mention that other southeastern
states, including Kentucky, Tennessee, and Virginia have adopted flow protection standards.
Response: The NCDEQ thanks the commentors for their comments regarding the establishing of a
flow standard. Existing statutes, however, provide regulatory authority to protect instream flows.
The NCDEQ has adopted a river basin approach for the long-range planning that is necessary to
guide the use of North Carolina's water resources in a sustainable manner. Put simply, this means
that for planning purposes DWR will evaluate the current and projected uses of surface waters
against the amount of water available in each of the 17 major river basins in North Carolina. The
analysis of this information, and whether there is enough water to meet instream needs and
support existing and projected stream uses, is regularly presented in individual plans specifically
prepared for each of the major river basins. See the NCDEQ Basin Planning Branch webpage for
more information.
66 See footnote 16.
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Methylmercury
EPA’s 2001 Water Quality Criterion for the Protection of Human Health: Methylmercury67
established NRWQC for the protection of human based on exposure to methylmercury through
consumption of fish tissue. These criteria were not proposed for adoption as surface water quality
standards as part of this triennial review.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. The commentors
urge the EMC to adopt a methylmercury standard that is at least as protective as what is
recommended by EPA in their “Water Quality Criterion for the Protection of Human Health:
Methylmercury”, which was issued in 2001.
Response: The NCDEQ had reviewed the EPA 2001 NRWQC for methylmercury and the follow up
2010 EPA implementation guidance. During this review period the NCDEQ was concurrently
developing a statewide TMDL for mercury that was based on the 2001 NRWQC for methylmercury.
This statewide TMDL was approved by EPA on October 12, 2012 and is designed to protect for the
concentration of 0.3 mg/kg methylmercury in fish tissue as proposed in the US EPA criterion.
Therefore, NC did not propose any modifications to the current standards as protective mechanisms
are already established by an approved NPDES monitoring strategy as well as an approved TMDL. NC
will reevaluate this consideration in future Triennial Reviews. Additional supporting information for
this statewide mercury TMDL can be viewed here: https://deq.nc.gov/media/4665/download
Nutrient water quality standards
Numeric nutrient criteria and nutrient-related criteria have not been proposed as part of this
triennial review, however, a separate rulemaking action that proposes the adoption of site-specific
nutrient criteria for the High Rock Lake Reservoir is currently underway. One comment was received
from the North Carolina Farm Bureau Federation recommending that NCDEQ and the EMC allow for
the work of the Nutrient Criteria Development Plan Science Advisory Council to continue to proceed
and that numeric nutrient criteria for nitrogen and phosphorous not be considered during this
triennial review.
Response: NCDEQ thanks the North Carolina Farm Bureau Federation for their comment. Numeric
nutrient criteria for nitrogen and phosphorous are not being proposed as part of this triennial
review and the NCDP Science Advisory Council is continuing to advise NCDEQ on the development of
67 US EPA. Water Quality Criterion for the Protection of Human Health: Methylmercury. EPA 823-R-01-001. January
2001. January 2001. [Final] Water Quality Criterion for the Protection of Human Health: Methylmercury (epa.gov)
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nutrient related criteria as part of the State agreement with EPA to develop nutrient standards
under the Nutrient Criteria Development Plan68.
Pesticides
NC has existing surface water quality standards for some chemicals used as pesticides, though they
are mostly associated with legacy pesticides. No additional pesticides are proposed for adoption as
part of this triennial review.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. This comment
expresses concern over the need for updating existing pesticide standards and establishing new
standards to be protective of aquatic life and human health. The following individual pesticides and
pesticide groups were discussed: atrazine, chlorpyrifos, and neonicotinoids.
Comment: Recommendation that the EMC adopt a standard for atrazine for Class C waters of 5 ug/L
based on the NOEL identified by EPA.
Response: NCDEQ thanks the commentors for their recommendation and will investigate the
development of a surface water standard for atrazine and consider it for inclusion in a future
triennial review.
Comment: Recommendation that the EMC adopt the EPA’s recommended aquatic life criteria for
chlorpyrifos for all fresh- and salt-waters in the state to protect invertebrates.
Response: NCDEQ thanks the commentors for their recommendation and will investigate the EPA
National Recommended Water Quality Criteria for chlorpyrifos as published in the USEPA Quality
Criteria for Water 198669 document and consider it for inclusion in the next triennial review.
Comment: Recommendation for the EMC to adopt the existing EPA aquatic life benchmark values
for neonicotinoid pesticides as shown in Table 5 per EPA Aquatic Life Benchmarks and Ecological
Risk Assessments for Registered Pesticides (multiple dates), available at:
https://www.epa.gov/pesticide-science-and-assessing-pesticide-risks/aquatic-life-benchmarks-and-
ecological-risk
Table 5 - Recommended aquatic life standards for neonicotinoids
Neonicotinoid Year updated Acute Chronic
Imidacloprid 2017 0.385 ug/L 0.01 ug/L
Thiamethoxam 2017 17.5 ug/L 0.74 ug/l
68 See footnote 57.
69 See footnote 41.
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Clothianidin 2016 11 ug/L 0.05 ug/L
Response: NCDEQ thanks the commentors for their recommendation and will investigate the EPA
Aquatic Life Benchmarks and Ecological Risk Assessments for Registered Pesticides for the
neonicotinoids imidacloprid, thiamethoxam, and clothianidin and consider them for inclusion in the
next triennial review.
PFAS
Approximately 2523 comments were received regarding PFAS compounds.
911 individuals signed a petition submitted by Clean Cape Fear, 125 comments were received as
part of a form letter titled “Surface Water Triennial Review” and 19 comments were received as part
of a form letter titled “It’s Time to Add Stronger Protections for Water in North Carolina”. All of
these comments expressed concern that standards for PFAS compounds are not included as part of
this triennial review. These comments all request the adoption of standards to regulate PFAS
compounds as a class rather than individually. Recommendations for the surface water quality
standard included a standard be set to 1 part per trillion (ppt), 10 ppt or 20 ppt for all PFAS as a class
of compounds.
One comment was received from Marlene Barney requesting that health protective standards be set
for surface waters.
One comment was received from Heather Barsallo expressing concern over levels of PFAS in the
Haw River. Heather requests that a standard be adopted for PFAS as a class at zero parts per trillion
for all PFAS included in the EPA 537.170 testing method.
One comment was received from Clean Haw River expressing concern that surface water standards
for PFAS are not proposed as part of this triennial review and recommending PFAS be regulated as a
class at a level not to exceed 10 parts per trillion.
One comment was received from Clean Water for the Citizens of Pittsboro urging the EMC to place
strict, enforceable guidelines that prohibit PFAS from being released into any water supply.
One comment was received from Holly Douthitt expressing concern over industrial chemicals that
are being discharged into the Haw River. Holly states that their family has had to install an expensive
filtration system to treat the water in their home and is concerned that there may be a link between
these industrial chemicals and incidents of prostate cancer. Holly urges the EMC to take action.
One comment was received from Adrienne Ferriss, MD, MPH. This comment states that ASDWA and
NIH have stressed the need for PFAs to be classified as a group rather than setting limits for
individual compounds and that other states have set combined limits for all PFAS. The comment also
70 US EPA. Method 537.1: Determination of Selected Per- and Polyfluorinated Alkyl Substances in Drinking Water
by Solid Phase Extraction and Liquid Chromatography/Tandem Mass Spectrometry (LC/MS/MS). EPA/600/R-
18/352. November 2018. https://cfpub.epa.gov/si/si_public_record_Report.cfm?Lab=NERL&dirEntryId=343042
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states that the 2019 consent decree71 with Chemours set limits that can be used to set standards for
the state.
One comment was received from Ashley Garrison, a mother of two autistic children, who expresses
concern over the levels of PFAS in the Haw River. Ashely requests that a standard be adopted for
PFAS as a class at 20 parts per trillion for all PFAS included in the EPA 537.172 testing method.
One comment was received from the Haw River Assembly expressing concern that the
contamination of PFAS in surface waters is largely the result of wastewater discharges that include
industrial waste and landfill leachate and that biosolids generated from these wastewater plants
further contributes to surface water contamination following land application. Haw River Assembly
recommends that the EMC set a surface water standard that reflects the best available science,
which is a standard of no more than 20 parts per trillion for the sum of all PFAS.
One comment was received from NC Child expressing concern for the health and well-being of
children that are exposed to PFAS. NC Child notes that a growing body of research indicates that
many child-related health issues are associated with even low levels of PFAS exposure. NC Child
strongly recommends adopting a surface water quality standard for PFAS as a class and that this
standard be set as low as is technically possible or at 1 part per trillion as recommended by some
scientific studies.
1,406 individuals signed a petition submitted by the NC Conservation Network expressing concern
that the proposed standards fail to address PFAS. The petition states that too many NC communities
are forced to take on the burden of removing PFAS from their drinking water and express that the
EMC should ensure that this burden rests on the polluters,
One comment was received from Jennifer Platt, DrPH expressing concern over levels of PFAS in the
Town of Pittsboro’s drinking water supply. Jennifer expresses concern that a standard for PFAS has
not been proposed as part of this triennial review especially since blood serum levels from Pittsboro
residents have shown PFAS levels that are higher than the nation average. Jennifer requests that
standards be set with the most vulnerable community members in mind and that a standard be
adopted for PFAS as a class at a level not to exceed 10 parts per trillion.
One comment was received from the North Carolina Sierra Club expresses concern that the
proposed updates do not adequately address toxic chemicals like PFAS. The NC Sierra Club request
that the EMC begin regulating PFAS by setting a protective class standard and states that other
states have set maximum contaminant levels for PFAS as a class, including Massachusetts which
regulate PFAS as a class with a MCL of 20 parts per trillion, and that affordable treatment options
exist.
A comment was received from Irene Webber expressing concern over the possible health effects
associated with and PFAS. Irene requests that a standard be proposed to regulate PFAS at no greater
than 20 parts per trillion as a class and no greater than 10 parts per trillion for any individual PFAS,
71 NC DEQ. Chemours Consent Order https://deq.nc.gov/news/key-issues/genx-investigation/chemours-consent-
order
72 See footnote 70.
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that significant financial penalties be included to deter chemical dumping, and that it be made a
crime for those whose choose to violate water quality standards and jeopardize human health.
One comment was received from Yadkin Riverkeeper expressing concern that surface water
standards for PFAS are not proposed as part of this triennial review and supporting a 20 ppt ambient
water quality standard for the total of all PFAS.
One comment was received from 22 environmental groups including Advance Carolina, American
Rivers, Cape Fear River Watch, Carolina Wetlands Association, Catawba Riverkeeper Foundation,
Clean Water for North Carolina, Coastal Carolina Riverwatch, Democracy Green, Haw River
Assembly, Good Stewards of Rockingham, Mountain True, North Carolina Coastal Federation, North
Carolina Conservation Network, North Carolina Environmental Justice Network, River Guardian
Foundation, NC Sierra Club, Sound Rivers, Southern Environmental Law Center, Toxic Free NC,
Waterkeeper Alliance, Winyah Rivers Alliance, and Yadkin Riverkeeper Foundation. This comment
expresses concern over the statewide occurrence of PFAS substances in surface and drinking water
and provides information related to monitoring efforts and results, overviews of exposed
communities, and details regarding measured effects in aquatic organisms. The environmental
groups signed on this comment demand the EMC act to curb public and environmental exposures to
PFAS compounds by setting a single numeric standard for all measurable discharges of PFAS, using
the modified method 537.1 for wastewater effluent, that the sum of their concentrations in effluent
should not exceed 20 ppt.
Comment: (1) Protective standards should be set for PFAS as a class. (2) The EMC should
immediately create a surface water standard for PFAS as a class of compounds equal to zero, 1 ng/L
(part per trillion), or 20 ng/L for the sum of all PFAS. (3) Other states have adopted maximum
contaminant levels (MCLs) for PFAS in drinking water.
Response: The NCDEQ is engaged in efforts to monitor surface waters for PFAS compounds,
identify PFAS sources, and to work with dischargers to limit PFAS in surface waters. NCDEQ staff also
continue to evaluate PFAS toxicology information as is becomes available and to collaborate with
other states and EPA on this topic. The NCDEQ is particularly awaiting information regarding efforts
underway as part of the EPA’s PFAS Strategic Roadmap73 to determine if EPA will publish National
Recommended Water Quality Criteria74 for PFAS compounds. These National Recommended Water
Quality Criteria are developed specifically for the purpose of establishing scientifically defensible
surface water quality standards under the Clean Water Act75.
The development of surface water quality standards for PFAS substances is challenging as there is a
lack of the specific information that is necessary to calculate standards as directed by the narrative
standard for toxic substances in 15A NCAC 02B .020876 and by EPA guidance for developing human
health and aquatic life criteria. These compounds also differ greatly in their chemical structure and
73 US EPA. PFAS Strategic Roadmap PFAS Strategic Roadmap: EPA's Commitments to Action 2021-2024 | US EPA
74 US EPA. National Recommended Water Quality Criteria Water Quality Criteria | US EPA
75 See footnote 1.
76 See footnote 16.
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behavior in natural surface waters making it difficult to group them in ways that accurately
represent their potential toxicity and impacts to designated uses in surface water.
The rule language in 15A NCAC 02B .0208 provides instructions to calculate standards for individual
substances for the protection of fish tissue consumption and waters designated as water supplies
but does not provide direct guidance for calculating numeric standards for groups of substances.
Calculating numeric standards for individual PFAS compounds requires: (1) scientifically defensible
and peer-reviewed toxicity values such as reference doses (RfD) or cancer slope factors (CSF) and (2)
bioaccumulation factors (BAF) or bioconcentration factors (BCF) developed from either field studies
of PFAS concentrations in water and fish tissues or laboratory studies of the same.
To further complicate this issue, while there have been arguments posed for regulating these
chemicals as a class, a definitive system for grouping has not been decided upon by the scientific
community. Lacking the necessary toxicology information mentioned above and without clear
scientific consensus on class groupings for PFAS compounds, the NCDEQ cannot develop
scientifically defensible water quality standards that are certain to protect the designated uses of
surface waters in NC.
Maximum contaminant levels (MCLs) and other regulatory and non-regulatory values used by other
states, as well as the limits set in the 2019 consent order with Chemours77, are not necessarily
transferable to North Carolina’s surface water quality standards. The main reason for this is that
surface water quality standards must be developed in a specific manner in order to be compliant
with state law and the federal Clean Water Act. As mentioned above, state surface water quality
standards must be protective of both human consumption of fish tissue and drinking water sourced
from waters classified as water supplies. This requires the use of specific toxicological information,
and the calculations and exposure factors established the 15A NCAC .0208 rule78. MCLs established
by other states apply specifically to the regulation of treated drinking water in those states under
the authority of the Safe Drinking Water Act79 and/or state rules. The regulation of treated drinking
water is beyond the scope of the surface water quality standards, though MCLs, when provided by
the US EPA, may be used as surface water standards for waters classified as water supplies as
described in the 15A NCAC 02B .0214-.021880 rules when available. The US EPA does not currently
have Safe Drinking Water Act MCLs for PFAS substances.
Regulatory protections (general comments)
Approximately two comments were received that discussed regulatory protection goals in a general
manner.
One comment was received from Buddy Henderson who expressed concern that the main goal of
the proposed regulatory changes in this triennial review are to increase deregulation and economic
gains that trump human health.
77 See footnote 71.
78 See footnote 16.
79 US EPA Safe Drinking Water Act https://www.epa.gov/sdwa
80 See footnote 22.
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Response: North Carolina is delegated the authority, under the Federal Clean Water Act81, to
administer a surface water quality standards program with oversight from the US EPA. The North
Carolina Administrative Code82 establishes the rules associated with this program and it is through
these rules that surface water quality standards are developed, adopted, and implemented. The
goal of these rules is to protect the designated uses assigned to the surface waters of the state from
the deleterious effects of pollution. This is accomplished by establishing scientifically defensible
water quality standards and implementing those standards through Clean Water Act water quality
protection programs such as the National Pollutant Discharge Elimination System83 and the 303(d)
Integrated Reporting84. As surface water standards are revisited with each triennial review, their
numeric values may increase or decrease as the supporting science changes. These changes,
however, are based on the scientific understanding, regulatory guidelines, and state rules of the
time and seek to satisfy the goal of the surface water quality standards program as stated above.
One comment was received from the North Carolina Sierra Club that water quality standards should
be more strictly enforced to hold polluters accountable, industries that produce Dioxane should be
required to notify DEQ and the public of their releases so that people can make informed decisions
for their health and, the EMC should require industries to treat their wastewater for PFAS and
Dioxane before releasing it.
Response: NCDEQ thanks the North Carolina Sierra Club for their comments. NCDEQ is actively
working with dischargers to identify sources of 1,4-dioxane and PFAS and to limit discharges of these
substances into surface waters. Adoption of the proposed 1,4-dioxane standards discussed above
will help to solidify regulatory authority over this substance and NCDEQ’s continued research into
the development of PFAS standards will help inform future rulemaking efforts.
Submerged Aquatic Vegetation
One comment was received from the Pew Charitable Trust and the North Carolina Coastal
Federation regarding protection for submerged aquatic vegetation (SAV).
Comment: The EMC should examine the Coastal Habitat Protection Plan issue paper on submerged
aquatic vegetation (SAV) and any data submitted by third parties and evaluate its progress in
adopting new nutrient criteria as laid out in its 2014 [NCDP] agreement with EPA. The comments
express concern that despite aggressive action taken by the Coastal Resources Commission (CRC)
and Marine Fisheries Commission (MFC) to reduce physical threats (dredging & fishing practices)
SAV continue to decline, and that current scientific consensus indicates that the declines that are
occurring now are due to water quality impairments, primarily increased turbidity and water clarity
due to sediment and nutrient loading, which prevents sunlight from reaching the SAV.
81 See footnote 1.
82 North Carolina Administrative Code. Title 15A Environmental Management. OAH - NCAC > Title 15A -
Environmental Quality > Chapter 02 - Environmental Management - Browsing (state.nc.us)
83 NC DEQ NPDES Water Quality Permitting Section
84 See footnote 51
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Response: The NCDEQ is currently working on developing nutrient criteria as part of the Nutrient
Criteria Development Plan (NCDP)85 which was developed in agreement with EPA. Work is currently
being done to develop nutrient criteria to protect the designated uses of the Albemarle Sound
estuary. One of the designated uses being considered is the protection of SAV. This work is ongoing
and includes input from a panel of government and academic experts that are part of the NCDP
Scientific Advisory Council. Nutrient related parameters currently being examined include water
clarity, nitrogen and phosphorous.
85 See footnote 57.
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Hearing Officer’s Recommendations
It is the recommendation of the Environmental Management Commission-appointed Hearing Officer,
Pat Harris, that the public-noticed revisions to rules 15A NCAC 02B .0100, .0200 and .0300, as
necessitated by the State’s Triennial Review of Surface Water Quality Standards mandated by the Clean
Water Act be approved by the EMC with modifications noted below and shown in the attached updated
rule drafts. In making this recommendation, the Hearing Officer has considered the requirements of
applicable general statutes and rules. All written and oral comments received by NC were considered. In
taking this action, the Hearing Officer’s recommendations are detailed below.
1,4-Dioxane
The recommendation for the proposed 1,4-Dioxane standard is to (1) adopt the proposed standard of 80
ug/L in 15A NCAC 02B .0208 for the protection of fish consumption in all NC surface waters and (2) adopt
the proposed standard of 0.35 ug/L in 15A NCAC 02B .0212, .0214, .0215, .0216, and .0218 for the
protection of water consumption in all NC Class WS water supplies.
Cadmium
The recommendation for the proposed cadmium standard is to adopt the proposed amendments to the
cadmium surface water quality standards in 15A NCAC 02B .0211 and .0220 with the exception of the
acute, non-trout standard for cadmium in 15A NCAC 02B .0211. The recommendation for the acute
standard is to adopt the corrected version of the calculation discussed in this report. This is being
recommended as a result of an error that was identified in the proposed acute standard that resulted in
an incorrectly calculated acute standard.
Cyanide
The recommendation for the proposed cyanide standard is to adopt a modified version of the proposed
amendments to the cyanide surface water quality standard in 15A NCAC 02B .0211 Fresh Surface Water
Quality Standards for Class C Waters. The cyanide standard will now be proposed as “Cyanide, total or
available = 5 ug” and a definition of available cyanide will be added to 15A NCAC 02B .0202 and will
read: Available cyanide refers to inorganic cyanides that are free (HCN and CN-) and metal-cyanide
complexes that are dissociated into free cyanide ions under mildly acidic conditions (pH 3 to 6)86,87.
Definitions
The recommendation is to add definitions to Rule 15A NCAC 02B .0202 for lentic, lotic, and available
cyanide, and to change the existing definition for Industrial Dischargers to provide clarity. These changes
appear in Appendix B – Proposed Rule Amendments.
86 ASTM International. Standard Guide for Understanding Cyanide Species. ASTM D6696-16,2016. www.astm.org
87 OI Analytical. Cyanide Analysis Guide. Publication # 29680212. www.oico.com
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Eastern Band of Cherokee Indians
The recommendation is to adopt the amendments to 15A NCAC 02B .0301 that recognize water quality
standards programs for tribes approved for treatment as a state. This currently only applies to the
Eastern band of Cherokee Indians88.
E. coli recreational criteria
In consideration of the many public comments received, including those from EPA, that E. coli should be
established as the recreational criteria throughout the state, the recommendation is to not proceed with
the proposed site-specific standard for E. coli in the primary recreation waters in the Asheville Regional
Office area, but rather commit to proposing a statewide E. coli standard for primary recreation (Class B)
waters. NC DEQ further commits to considering different statistical threshold values, rates of
exceedance, and magnitudes as provided in the the EPA 2012 Recreational Water Quality Criteria for
Bacterial Indicators of Fecal Contamination89 as well as various timelines for statewide implementation
such as phasing in an E. coli standard and phasing out the existing fecal coliform standard.
To propose this standard, further evaluation of the impact of changing from fecal coliform indicator to
an E. coli indicator for all primary recreation (Class B) waters must be assessed. To move forward, NCDEQ
will complete the following actions in support of an expeditious return to rulemaking with a revised
proposal to adopt a statewide E. coli standard for primary recreation (Class B) waters:
o Conduct a statewide fecal coliform and E. coli comparison study to document the potential
impacts of switching to an E. coli standard for all primary recreation (Class B) waters. This study,
informed by stakeholder input, will provide information necessary to allow NCDEQ to evaluate
the financial impacts of switching to an E. coli standard for all primary recreation (Class B)
waters for the Regulatory Impact Analysis/Fiscal Note as part of the rulemaking package, as well
as the scientific implications to existing TMDLs that address current fecal coliform impairments.
o Engage with stakeholders to communicate estimated timelines for the evaluation and
rulemaking process associated with the adoption of a statewide E. coli standard for all primary
recreation (Class B) waters. This communication will include sharing any fecal coliform and E. coli
comparison data obtained as part of the study mentioned above.
o Create a “crosswalk” for existing TMDLs addressing fecal coliform impairments to switch to E.
coli as necessary.
The modified language showing this hearing officer recommendation appears in Appendix B – Proposed
Rule Amendments.
Selenium
The recommendation is to adopt the proposed selenium standard with the following modifications:
1. Add language defining instantaneous as it pertains to the duration for fish tissue criteria (see
Table 1 in the EPA NRWQC document)
2. Add language to clarify that fish whole body or muscle tissue supersedes water column element
when both fish tissue and water concentrations are measured. Egg-ovary tissue results, where
88 See footnote 15
89 See footnote 11
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available, supersede all other tissue elements and water concentrations. (See Table 1 in the EPA
NRWQC document)
3. Add language to clarify that fish tissue data provide instantaneous point measurements that
reflect integrative accumulation of selenium over time and space in fish populations at a given
site. (See Table 1 in the EPA NRWQC document)
The modified language appears in Appendix B – Proposed Rule Amendments.
Technical changes
The recommendation is to adopt the following technical changes:
• Rule 02B .0215(2)(f) -- Correction to the reference to Water Supply classification from “WS-II” to
“WS-III.”
• Rule 02B .0216(2)(f) -- Correction to the reference to Water Supply classification from “WS-IV” to
“WS-II or WS-III.”
• Rule 02B .0311(o)(4) -- Correction to the classification of Weymouth Woods Sandhill Seep near
Mill Creek from “Class UWL” to “Class WL UWL.”
• Rule 02B .0311(u) -- Correction to the effective date of the reclassification of Sandy Creek from
“September 1, 2019” to “November 1, 2019.”
• Rule 02B .0311(m) -- Correction to the reference to Water Supply development requirements
from “Rule .0215(3)(b)(i)(E) of this Subchapter” to “Rule .0624 of this Subchapter.”
• Rule 02B .0311(m)(2) -- Correction to the reference to the Stormwater: High Quality Water rule
from “15A NCAC 02H .1006” to “15A NCAC 02H .1021.”
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Appendix A – Supporting Documents
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1,4-Dioxane
CAS # 123-91-1
1,4- Dioxane CAS # 123-91-1
Carcinogen
Water Supply Std.=0.35 ug/L
Human Health Std.=80 ug/L
WS WQS = (RL x WT) / (q1* x [WI + (FC x BAF)])
VALUES FOR THE EQUATION
where:
70 kg Source:
1.00E-01 mg/kg/day IRIS 8/10
2 L/day
0.0175 kg/person-day
5.00E-01 L/kg RAIS 8/10
WQS =0.0003485 mg/l =0.3485 ug/l
Integrated Risk Information System (IRIS) http://www.epa.gov/iris/
Risk Assessment Information System (RAIS) http://risk.lsd.ornl.gov/index.shtml
Not WS WQS = (RL x WT) / (q1* x (FC x BAF))
WQS =0.0800000 mg/l
80 ug/l
IRIS CSF unchanged 9/20/2013. C. Ventaloro
IRIS CSF unchanged 6/20/2017. C. Ventaloro
1.00E-06
WT = Weight 70 kg
q1* = carcinogenic potency factor
WI = average human water intake 2L/day
FC = Fish consumption rate
BAF = bioaccumulation rate
RL = risk level
IRIS CSF unchanged 5/31/2017. C. Ventaloro
Printed on 1/19/2022 Page 1
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2020-2022 Surface Water Standards Triennial Review - Cadmium Calculations
Acute Calculations CMC Calculation Breakdown
CMC= e^(0.9789*ln(hardness) - 3.866) * Conversion Factor CMC =e^(V[ln hardness] + ln A - V[ln Z])
where,
Conversion Factor = 1.136672 - [(ln(hardness) * (0.041838))]A =2.9 CMC (FAV/2) via ranking (FAV = 5.733 ug/L; page 43)
Hardness =25 <-- enter V =0.9789 pooled acute slope (acute tox & hardness; page 34)
CMC=0.490 Z =100 selected (normalized) hardness value (mg/L)
variable hardness =100
CMC=e^(0.9789*ln(hardness) - 3.443) * Conversion Factor
where,ln A - V[ln Z] =-3.443 See Stephen et al, Part V
Conversion Factor = 1.136672 - [(ln(hardness) * (0.041838))]
Hardness =2.5 <-- enter
CMC= 0.09 CCC Calculation Breakdown
CCC = e^(L[ln hardness] + ln S - L[ln Z])
Chronic Calculation S = 0.79 Final Chronic Value (FCV) via ranking
CCC=e^(0.7977*ln(hardness) - 3.909) * Conversion Factor L =0.7977 pooled chronic slope (acute tox & hardness)
where,Z =100 selected hardness value (mg/L)
Conversion Factor = 1.101672 - [(ln(hardness) * (0.041838))]variable hardness =100
Hardness =25 <-- enter
CCC=0.252875 ln A - V[ln Z] =-3.90927 See Stephen et al, Part V
Class C
Based on CMC = 1.9 for rainbow trout @ 100 mg/L
hardness
Class C
Trout
Based on FCV = 0.79 @ 100 mg/L hardness
Based on CMC = 2.9 @ 100 mg/L hardness - CMC
based on EPA 2016 not lowered to specifically protect
rainbow trout
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NORTH CAROLINA
REGISTER
VOLUME 35 ● ISSUE 22 ● Pages 2400 – 2464
May 17, 2021
I. EXECUTIVE ORDERS Executive Order No. 208 ................................................................................ 2400 – 2402 II. IN ADDITION Environmental Management Commission-Public Notice ............................... 2403 III. PROPOSED RULES Commerce, Department of Credit Union Division ..................................................................................... 2404 – 2405 Natural and Cultural Resources, Department of Department...................................................................................................... 2405 – 2407 Environmental Quality, Department of Environmental Management Commission ...................................................... 2407 – 2433 Wildlife Resources Commission ..................................................................... 2433 – 2440 Occupational Licensing Boards and Commissions
Pharmacy, Board of ......................................................................................... 2440 – 2450 IV. TEMPORARY RULES Insurance, Department of Code Officials Qualifications Board ............................................................... 2451 – 2453 V. RULES REVIEW COMMISSION ................................................................. 2454 – 2461 VI. CONTESTED CASE DECISIONS Index to ALJ Decisions ................................................................................... 2462 – 2464
PUBLISHED BY
The Office of Administrative Hearings Rules Division Julian Mann III, Director
6714 Mail Service Center Dana McGhee, Publications Coordinator Raleigh, NC 27699-6714 Lindsay Silvester, Editorial Assistant
Telephone 984-236-1850 Cathy Matthews-Thayer, Editorial Assistant Fax 984-236-1947
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PROPOSED RULES
35:22 NORTH CAROLINA REGISTER MAY 17, 2021
2407
SECTION .0600 - COMMERCIAL ENTERPRISES:
ADVERTISING: MEETINGS: EXHIBITIONS: ETC. 07 NCAC 14B .0602 PHOTOGRAPHS
Authority G.S. 113-264(a); 143B 10(j); 143B-135.204(a). 07 NCAC 14B .0605 MEETINGS AND EXHIBITIONS USE OF FACILITIES AND GROUNDS
A person shall not hold any meeting or exhibition, perform any ceremony or make any speech unless he has written authorization
from the director. (a) Any person or group requesting to rent; commercially photograph, film or make other recordings; or otherwise use any of the Zoo's buildings or grounds for a private purpose shall obtain
prior written permission from the Zoo Director, or his or her designee, for use of the building or grounds. For the purposes of
this Rule, "a private purpose" includes activities which are outside of the daily operations of the Zoo. Prior to the approved use, the user shall enter into a written agreement setting forth the terms of the use of the requested facility or grounds.
(b) In determining whether to approve the use, the Zoo Director, or his or her designee, shall consider the following factors: (1) the reason for the use; (2) the availability of the requested facilities or grounds, or portion thereof; (3) the impact of the use on the operations of the
Zoo, including the impact to public access and animal safety and health; (4) the impact of the use on the Zoo's resources, facilities and grounds; and (5) whether the use would be detrimental to the purposes or mission of the Zoo.
(c) Violation of the terms and conditions of the agreement issued in accordance with this Rule is prohibited and shall result in revocation by the Director or his or her designee. Authority G.S. 131F; 143B-10(j); 143B-135.204(a). 07 NCAC 14B .0606 ALMS AND CONTRIBUTIONS A No person and/or organization shall not solicit alms, donations, or contributions, contributions; distribute literature or other objects; or proselytize within the Park, except that persons soliciting for a religious organization of which they are a member or a charitable purpose, and persons engaged in fundraising
activities sponsored by the Zoological Society for the purpose of supporting the Zoo or Society shall not be subject to this prohibition. In order to solicit for charitable purposes under this Rule, a person must be in compliance with the provisions of the North Carolina Charitable Solicitations Licensure Act, G.S. Chapter 131C. in accordance with a signed agreement issued pursuant to Rule .0605 of this Section or any persons engaged in fundraising activities sponsored by the North Carolina Zoological Society for the purpose of supporting the Zoo and in accordance with any agreements mutually approved by the Zoo and the North
Carolina Zoological Society. Authority G.S. 131F; 143B-10(j); 143B-135.204(a).
07 NCAC 14B .0607 SOLICITING DONATIONS:
DISTRIBUTING LITERATURE: GIFTS Authority G.S. 131F; 143B-10(j); 143B-135.204(a). SECTION .0700 - MISCELLANEOUS 07 NCAC 14B .0706 NORTH CAROLINA ZOOLOGICAL PARK: ADMISSION FEES
(a) Information concerning admission fees for the North Carolina Zoological Park may be found at
http://www.nczoo.org/tickets.aspx?CID=211&pageid=12634. https://tickets.nczoo.org/welcome.aspx. (b) Admission fees are subject to dynamic pricing and may change from time to time.
Authority G.S. 143B-135.205; 143B-135.213; 143B-135.204(a).
TITLE 15A – DEPARTMENT OF ENVIRONMENTAL QUALITY Notice is hereby given in accordance with G.S. 150B-21.2 that the Environmental Management Commission intends to amend the
rules cited as 15A NCAC 02B .0202, .0208, .0211, .0212, .0214-.0216, .0218-.0220, .0301, and .0311.
Link to agency website pursuant to G.S. 150B-19.1(c):
https://deq.nc.gov/news/events/public-notices-hearings Proposed Effective Date: January 1, 2022 Public Hearing: Date: July 20, 2021 Time: 6:00 p.m. Location:
In the abundance of caution, and to address protective measures to help prevent the spread of COVID-19, the NC Division of Water
Resources is holding an online public hearing.
Date and time: Tuesday, July 20, 2021 6:00 pm This public hearing can be joined starting at 5:45 pm via WebEx
link: https://ncdenrits.webex.com/ncdenrits/onstage/g.php?MTID=e8f
d0fdb064ce3b192a655956a9565f35 Event number: 185 803 7435
Event password: ncdwr Audio conference number: +1-415-655-0003
Audio conference access code: 185 803 7435
To register for the hearing and provide your preference regarding speaking at the hearing, please visit:
https://forms.office.com/Pages/ResponsePage.aspx?id=3IF2etC
5mkSFw-zCbNftGRcM2xmuszROiks3JDQp2_RURU8xVVk5Sk45N0xDVE
VWTkFKQUtPVTVIOC4u Or scan the following QR code with your phone:
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PROPOSED RULES
35:22 NORTH CAROLINA REGISTER MAY 17, 2021
2408
Registration must be completed by 12:00 pm on July 20, 2021. If you have any problems registering online, please call 919-707-
9011 by the registration deadline of 12:00 pm on July 20, 2021.
The Division of Water Resources highly recommends testing your computer's WebEx capabilities prior to the hearing at
https://www.webex.com/test-meeting.html. For instructions about digital ways to join the public hearing, please refer to the WebEx
Help Center online at https://help.webex.com/en-us/.
To comment during the hearing after your name is called as a registered speaker and/or after the hearing officer asks if any
people wish to comment following the registered speakers:
- If you join the hearing by phone, press *3 to “raise your hand,” speak once called upon to do so, and press *3 again to “lower
your hand.”
- If you join the hearing online, press the hand icon to “raise your hand,” speak once called upon to do so, and press the hand icon
again to “lower your hand.”
- The Hearing Officer may limit the length of time that you may speak, so that all those who wish to speak may do so. Reason for Proposed Action: The Environmental Management
Commission (EMC) will conduct a public hearing to consider proposed permanent amendments to select rules in 15A NCAC
02B .0200 and .0300 that establish the surface water quality standards and classifications for North Carolina.
Every three years the State is required by the Clean Water Act to
review its surface water quality classifications and standards to determine if amendments are needed and, if necessary, to enact
those changes. This process is known as the “Triennial Review.” These proposed amendments comprise the state’s 2020-2022
Triennial Review of Surface Water Quality Standards.
The rules being proposed for amendment are 15A NCAC 02B .0202, .0208, .0211, .0212, .0214, .0215, .0216, .0218, .0219,
.0220, .0301, and .0311. The Proposed changes include: • The codification of the 1,4-Dioxane In-stream Target
Value of 80 ug/L in 15A NCAC 02B .0208 for the protection of fish consumption in all waters,
• The codification of the 1,4-Dioxane In-stream Target Value of 0.35 ug/L in 15A NCAC 02B .0212, .0214,
.0215, .0216, and .0218 for the protection of water and fish consumption in surface waters classified as Water
Supplies, • Updating the existing Cadmium freshwater dissolved,
hardness-dependent acute, acute (trout), and chronic calculations for determination of standards for the
protection of aquatic life in 15A NCAC 02B .0211. This
action is based on updated toxicology information from
EPA’s Aquatic Life Ambient Water Quality Criteria for Cadmium – 2016 (EPA-820-R-16-002) • Updating the existing Cadmium saltwater dissolved acute and chronic standards for the protection of aquatic
life in 15A NCAC 02B .0220 based on updated toxicology information from EPA’s Aquatic Life Ambient Water Quality Criteria for Cadmium – 2016 (EPA-820-R-16-002)
• Updating the existing freshwater Cyanide (total) standard for the protection of aquatic life in 15A NCAC
02B .0211 to include Free Cyanide based on the recommended Cyanide criteria in EPA’s 1984 Ambient Water Quality Criteria for Cyanide (EPA 440/5-84-028; January 1985). The inclusion of free cyanide reflects that
40 CFR Part 136 now lists approved analytical methods for analysis of free cyanide.
• Adoption of a site-specific standard for the protection of Primary Recreation in Class B waters in the 19 counties that comprise the Asheville Regional Office territory of the North Carolina Department of Environmental
Quality. This site-specific standard will appear in 15A NCAC 02B .0219. Escherichia coli (E. coli) shall replace fecal coliforms as the pathogenic indicator in these waters. • Updating the existing Selenium freshwater chronic standard for the protection of aquatic life in 15A NCAC
02B .0211 based on updated toxicology information from EPA’s Aquatic Life Ambient Water Quality Criteria for Selenium (Freshwater) – 2016 (EPA 822-R-16-006). The proposed criteria include both fish tissue and water column concentrations that more accurately relate the adverse impacts to fish reproduction to the
bioaccumulation of Selenium. • Amend language in 15A NCAC 02B .0301 to address unnamed tributaries entering Eastern Band of Cherokee Indian boundaries. • Add new definitions in 15A NCAC 02B .0202 for the terms "Lentic" and "Lotic" (these terms define the
different flow rates associated with the proposed Selenium standard). • Provide clarification for the existing "Industrial discharge" definition in 15A NCAC 02B .0202 to better match how this term is used in practice. • Include technical corrections to existing language in the
following rules: o 15A NCAC 02B .0215 o 15A NCAC 02B .0216 o 15A NCAC 02B .0311 The Division of Water Resources will also accept comments on Variances to the water quality standards, the Fiscal Note prepared for this proposal, and other topics including, but not limited to: • EPA’s Aquatic Life Ambient Water Quality Criteria for Ammonia – Freshwater 2013 (EPA 820-F-13-013)
• EPA’s 2015 Human Health Criteria updates (including updated exposure factors and updated criteria for 94 individual substances)
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• EPA’s 2018 Final Aquatic Life Ambient Water Quality
Criteria for Aluminum (EPA 822-R-18-001) • Statewide adoption of EPA’s 2012 Recreational Water Quality Criteria using E. Coli as the pathogenic indicator organism for Class B waters
• Contaminants of emerging concern (PFAS, pesticides, etc.) Comments may be submitted to: Christopher Ventaloro, NC
DEQ-DWR Planning Section, 1611 Mail Service Center, Raleigh, NC 27699-1611; email
15ANCAC02B_SWTriRev_Comments_2021@ncdenr.gov Comment period ends: August 3, 2021 Procedure for Subjecting a Proposed Rule to Legislative Review: If an objection is not resolved prior to the adoption of the
rule, a person may also submit written objections to the Rules Review Commission after the adoption of the Rule. If the Rules Review Commission receives written and signed objections after the adoption of the Rule in accordance with G.S. 150B-21.3(b2)
from 10 or more persons clearly requesting review by the legislature and the Rules Review Commission approves the rule, the rule will become effective as provided in G.S. 150B-21.3(b1). The Commission will receive written objections until 5:00 p.m. on the day following the day the Commission approves the rule. The Commission will receive those objections by mail, delivery
service, hand delivery, or facsimile transmission. If you have any further questions concerning the submission of objections to the Commission, please call a Commission staff attorney at 919-431-3000. Fiscal impact. Does any rule or combination of rules in this notice create an economic impact? Check all that apply. State funds affected Local funds affected Substantial economic impact (>= $1,000,000) Approved by OSBM No fiscal note required
CHAPTER 02 - ENVIRONMENTAL MANAGEMENT SUBCHAPTER 02B - SURFACE WATER AND WETLAND STANDARDS SECTION .0200 - CLASSIFICATIONS AND WATER QUALITY STANDARDS APPLICABLE TO SURFACE WATERS AND WETLANDS OF NORTH CAROLINA 15A NCAC 02B .0202 DEFINITIONS The definition of any word or phrase used in this Section shall be the same as given in G.S. 143, Article 21. The following words and phrases, which are not defined in this article, shall be interpreted as follows: (1) "Acute toxicity to aquatic life" means lethality
or other harmful effects sustained by either resident aquatic populations or indicator species used as test organisms in a controlled toxicity test due to a short-term exposure
(relative to the life cycle of the organism) of 96
hours or less to a specific chemical or mixture of chemicals (as in an effluent). Acute toxicity shall be determined using the following procedures:
(a) for specific chemical constituents or compounds, acceptable levels shall be equivalent to a concentration of one-half or less of the Final Acute
Value (FAV) as determined according to "Guidelines for Deriving Numerical
Water Quality Criteria for the Protection of Aquatic Life and its Uses" published by the Environmental Protection Agency and referenced in
the Federal Register (50 FR 30784, July 29, 1985) which is incorporated
by reference including subsequent amendments and editions. (b) for specific chemical constituents or compounds for which values
described under Sub-Item (a) of this Item cannot be determined, acceptable levels shall be equivalent to a concentration of one-third or less of the lowest available LC50 value. (c) for effluents, acceptable levels shall be
defined as no statistically measurable lethality (99 percent confidence level using Student's t-test) during a specified exposure period. Concentrations of exposure shall be based on permit requirements and
procedures in accordance with 15A NCAC 02H .1110. (d) in instances where detailed dose response data indicate that levels of acute toxicity are different from those defined in this Rule, the Director may
determine on a case-by-case basis an alternate acceptable level through statistical analyses of the dose response in accordance with 15A NCAC 02H .1110. (2) "Acute to Chronic Ratio" or "ACR" means the
ratio of acute toxicity expressed as an LC50 for a specific toxicant or an effluent to the chronic value for the same toxicant or effluent. (3) "Agricultural uses" means the use of waters for stock watering, irrigation, and other farm purposes. (4) "Applicator" means any person, firm, corporation, wholesaler, retailer, or distributor; any local, State, or federal governmental agency; or any other person who applies
fertilizer to the land of a consumer or client or to land that they own, lease, or otherwise hold rights.
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(5) "Approved treatment," as applied to water
supplies, means treatment approved by the Division in accordance with 15A NCAC 18C .0301 through .0309, as authorized by G.S. 130A-315 and G.S. 130A-317.
(6) "Attainable water uses" means uses that can be achieved by the imposition of effluent limits and cost effective and reasonable best management practices (BMP) for nonpoint
source control. (7) "Average" means the arithmetical average of
the analytical results of all representative samples taken under prevailing environmental conditions during a specified period (for example: daily, weekly, or monthly).
(8) "Best Management Practice" or "BMP" means a structural or nonstructural management-based
practice used singularly or in combination to reduce point source or nonpoint source inputs to receiving waters in order to achieve water quality protection goals.
(9) "Best usage" or "Best use" of waters, as specified for each class, means those uses as determined by the Environmental Management Commission in accordance with the provisions of G.S. 143-214.1. (10) "Bioaccumulation factor" or "BAF" means a
unitless value that describes the degree to which substances are taken up or accumulated into tissues of aquatic organisms from water directly and from food or other ingested materials containing the accumulated substances, and is measured as a ratio of a substance's
concentration in tissue versus its concentration in water in situations where exposure to the substance occurs from both water and the food chain. (11) "Bioconcentration factor" or "BCF" means a unitless value that describes the degree to which
substances are absorbed or concentrated into tissues of aquatic organisms from water directly and is measured as a ratio of substance's concentration in tissue versus its concentration in water in situations where exposure to the substance occurs from water only.
(12) "Biological integrity" means the ability of an aquatic ecosystem to support and maintain a balanced and indigenous community of organisms having species composition, diversity, population densities, and functional organization similar to that of reference conditions. (13) "Buffer" means a natural or vegetated area through which stormwater runoff flows in a diffuse manner so that the runoff does not
become channelized and which provides for infiltration of the runoff and filtering of pollutants.
(14) "Chronic toxicity to aquatic life" means any
harmful effect sustained by either resident aquatic populations or indicator species used as test organisms in a controlled toxicity test due to long-term exposure (relative to the life cycle
of the organism) or exposure during a substantial portion of the duration of a sensitive period of the life cycle to a specific chemical substance or mixture of chemicals (as in an
effluent). In absence of extended periods of exposure, early life stage or reproductive
toxicity tests may be used to define chronic impacts. (15) "Chronic value for aquatic life" means the geometric mean of two concentrations
identified in a controlled toxicity test as the No Observable Effect Concentration (NOEC) and
the Lowest Observable Effect Concentration (LOEC). (16) "Commercial applicator" means any person, firm, corporation, wholesaler, retailer,
distributor, or any other person who for hire or compensation applies fertilizer to the land of a consumer or client. (17) "Concentration" means the mass of a substance per volume of water and, for the purposes of this Section, shall be expressed as milligrams
per liter (mg/l), micrograms per liter (ug/l), or nanograms per liter (ng/l). (18) "Contiguous" means those wetlands landward of the mean high water line or normal water level and within 575 feet of classified surface waters that appear as solid blue lines on the
most recently published versions of U.S.G.S. 1:24,000 (7.5 minute) scale topographic maps, which are available at no cost at http://www.usgs.gov/pubprod/. (19) "Critical area" means the area adjacent to a water supply intake or reservoir where risk
associated with pollution is greater than risk associated with pollution from the remaining portions of the watershed. The boundary of a critical area is defined as: (a) extending either 1/2 mile in a straight line fashion upstream from and
draining to the normal pool elevation of the reservoir in which the intake is located or to the ridge line of the watershed, whichever is nearest the normal pool elevation of the reservoir; (b) extending either 1/2 mile in a straight line fashion upstream from and draining to the intake (or other appropriate downstream location associated with the water supply)
located directly in the stream or river (run-of-the-river) or to the ridge line of the watershed, whichever is nearest the intake; or
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(c) extending a different distance from the
reservoir or intake as adopted by the Commission during the reclassification process pursuant to Rule .0104 of this Subchapter.
Since WS-I watersheds are essentially undeveloped, establishment of a critical area is not required. (20) "Cropland" means agricultural land that is not
covered by a certified animal waste management plan and is used for growing corn,
grains, oilseed crops, cotton, forages, tobacco, beans, or other vegetables or fruits. (21) "Designated Nonpoint Source Agency" means an agency specified by the Governor in the
North Carolina Nonpoint Source Management Program, as approved by the Environmental
Protection Agency pursuant to the 1987 amendments to the federal Clean Water Act 33 U.S.C. 1329 that established Section 319 Nonpoint source management programs.
(22) "Director" means the Director of the Division. (23) "Discharge" means the addition of any man-induced waste effluent either directly or indirectly to State surface waters. (24) "Division" means the Division of Water Resources or its successors.
(25) "Domestic wastewater discharge" means the discharge of sewage, non-process industrial wastewater, other domestic wastewater, or any combination of these items. Domestic wastewater includes, but is not limited to, liquid waste generated by domestic water using
fixtures and appliances from any residence, place of business, or place of public assembly, even if it contains no sewage. Examples of domestic wastewater include once-through non-contact cooling water, seafood packing facility discharges, and wastewater from
restaurants. (26) "Effluent channel" means a discernable confined and discrete conveyance that is used for transporting treated wastewater to a receiving stream or other body of water, as provided in Rule .0228 of this Section.
(27) "Existing uses" mean uses actually attained in the water body on or after November 28, 1975, whether or not they are included in the water quality standards. (28) "Fertilizer" means any substance containing nitrogen or phosphorus that is used primarily as plant food. (29) "Fishing" means the taking of fish by recreational or commercial methods, the consumption of fish or shellfish, the
propagation of fish, or the propagation of other aquatic life as is necessary to protect the biological integrity of the environment for fish.
(30) "Forest vegetation" means the plants of an area
that grow in disturbed or undisturbed conditions in wooded plant communities in any combination of trees, saplings, shrubs, vines, and herbaceous plants, including mature and
successional forests and cutover stands. (31) "Freshwater" means all waters that under natural conditions have a chloride ion content of 500 mg/l or less.
(32) "Industrial discharge" means the discharge of industrial process treated wastewater or
wastewater other than sewage. Stormwater shall not be considered to be an industrial wastewater unless it is contaminated with industrial wastewater. Industrial discharge
includes: (a) wastewater resulting from any process
of industry or manufacture or from the development of any natural resource; (b) wastewater resulting from processes of trade or business, including
wastewater from laundromats and car washes, but not wastewater from restaurants; and (c) for the purpose of prohibiting discharges to waters classified as Water Supply (WS) in accordance
with Rules .0212, .0214, .0215, .0216, and .0218 of this Section, wastewater discharged from a municipal wastewater treatment plant requiring required to administer a pretreatment program. program pursuant to 15A
NCAC 02H .0904. (33) "Land-disturbing activity" means any use of the land that results in a change in the natural cover or topography that may cause or contribute to sedimentation. (34) "LC50" means that concentration of a toxic
substance that is lethal or immobilizing to 50 percent of the sensitive aquatic toxicity testing species tested during a specified exposure period, as required by NPDES permit, under aquatic conditions characteristic of the receiving waters. Sensitive species for aquatic
toxicity testing is defined by Subparagraph Item (50) of this Rule. (35) "Lentic" means an aquatic ecosystem with standing or slow flowing water such as a lake, pond, or reservoir. (35)(36) "Local government" means a city or county in singular or plural as defined in G.S. 160A-1(2) and G.S. 158A-10. (37) "Lotic" means an aquatic ecosystem with rapidly flowing water such as a stream or river.
(36)(38) "Lower piedmont and coastal plain waters" means those waters of the Catawba River Basin below Lookout Shoals Dam; the Yadkin River Basin below the junction of the Forsyth,
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Yadkin, and Davie County lines; and all of the
waters of Cape Fear, Lumber, Roanoke, Neuse, Tar-Pamlico, Chowan, Pasquotank, and White Oak River Basins; except tidal salt waters which are assigned S classifications.
(37)(39) "MF" means the membrane filter procedure for bacteriological analysis. (38)(40) "Mixing zone" means a region of the receiving water in the vicinity of a discharge within which
dispersion and dilution of constituents in the discharge occurs. Zones shall be subject to
conditions established in accordance with Rule .0204(b) of this Section. (39)(41) "Mountain and upper piedmont waters" means all of the waters of the Hiwassee; Little
Tennessee, including the Savannah River drainage area; French Broad; Broad; New; and
Watauga River Basins; and those portions of the Catawba River Basin above Lookout Shoals Dam and the Yadkin River Basin above the junction of the Forsyth, Yadkin, and Davie
County lines. (40)(42) "Nonpoint source pollution" means pollution that enters waters mainly as a result of precipitation and subsequent runoff from lands that have been disturbed by man's activities and includes all sources of water pollution that are
not required to have a permit in accordance with G.S. 143-215.1(c). (41)(43) "Non-process discharge" means industrial effluent not directly resulting from the manufacturing process. An example is non-contact cooling water from a compressor.
(42)(44) "Offensive condition" means any condition or conditions resulting from the presence of sewage, industrial wastes, or other wastes within the waters of the State or along the shorelines thereof that shall either directly or indirectly cause foul or noxious odors,
unsightly conditions, or breeding of abnormally large quantities of mosquitoes or other insect pests; damage private or public water supplies or other structures; result in the development of gases which destroy or damage surrounding property, herbage or grasses; cause the
impairment of taste such as from fish flesh tainting; or affect the health of any person residing or working in the area. (43)(45) "Primary contact recreation" means swimming, diving, skiing, and similar uses involving human body contact with water where such activities take place in an organized or on a frequent basis. (44)(46) "Primary nursery area" or "PNA" means tidal saltwaters that provide essential habitat for the
early development of commercially important fish and shellfish and are so designated by the Marine Fisheries Commission.
(45)(47) "Protected area" means the area adjoining and
upstream of the critical area in a WS-IV water supply in which protection measures are required. The boundary of a protected area is defined as:
(a) extending either five miles in an as-the-river-runs manner upstream from and draining to the normal pool elevation of the reservoir in which the
intake is located or to the ridge line of the watershed, whichever is nearest
the normal pool elevation of the reservoir; (b) extending either 10 miles in an as-the-river-runs manner upstream from and
draining to the intake located directly in the stream or river run-of-the-river
or to the ridge line of the watershed, whichever is nearest the intake. In some cases the protected area shall encompass the entire watershed; or
(c) extending a different distance from the reservoir or intake as adopted by the Commission during the reclassification process pursuant to Rule .0104 of this Subchapter. (46)(48) "Residential development" means buildings for
residence such as attached and detached single family dwellings, apartment complexes, condominiums, townhouses, cottages, and their associated outbuildings such as garages, storage buildings, and gazebos. (47)(49) "Residuals" has the same meaning as in 15A
NCAC 02T .0103. (48)(50) "Riparian area" means an area that is adjacent to a body of water. (49)(51) "Secondary contact recreation" means wading, boating, other uses not involving human body contact with water, and activities involving
human body contact with water where such activities take place on an infrequent, unorganized, or incidental basis. (50)(52) "Sensitive species for aquatic toxicity testing" means any species utilized in procedures accepted by the Commission or its designee in
accordance with Rule .0103 of this Subchapter, and the following genera: (a) Daphnia; (b) Ceriodaphnia; (c) Salmo; (d) Pimephales; (e) Mysidopsis; (f) Champia; (g) Cyprinodon; (h) Arbacia;
(i) Penaeus; (j) Menidia; (k) Notropis; (l) Salvelinus;
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(m) Oncorhynchus;
(n) Selenastrum; (o) Chironomus; (p) Hyalella; (q) Lumbriculus.
(51)(53) "Shellfish culture" means the use of waters for the propagation, storage, and gathering of oysters, clams, and other shellfish for market purposes.
(52)(54) "Swamp waters" means those waters that are classified as such by the Environmental
Management Commission, pursuant to Rule .0101 of this Subchapter, and that have natural characteristics due to topography, such as low velocity, dissolved oxygen, or pH, that are
different from streams draining steeper topography.
(53)(55) "Tidal salt waters" means all waters that have a natural chloride ion content in excess of 500 parts per million. (54)(56) "Toxic substance" or "Toxicant" means any
substance or combination of substances (including disease-causing agents) that, after discharge and upon exposure, ingestion, inhalation, or assimilation into any organism, either directly from the environment or indirectly by ingestion through food chains, has
the potential to cause death, disease, behavioral abnormalities, cancer, genetic mutations, physiological malfunctions (including malfunctions or suppression in reproduction or growth), or physical deformities in such organisms or their offspring.
(55)(57) "Trout waters" means those waters that are classified as such by the Environmental Management Commission, pursuant to Rule .0101 of this Subchapter, and have conditions that sustain and allow for natural trout propagation and survival and for year-round
maintenance of stocked trout. (56)(58) "Water dependent structures" means those structures that require access or proximity to or siting within surface waters to fulfill its purpose, such as boat ramps, boat houses, docks, and bulkheads. Ancillary facilities such
as restaurants, outlets for boat supplies, parking lots, and commercial boat storage areas are not water dependent structures. (57)(59) "Water quality based effluent limits (or limitations) and management practices" mean limits and practices developed by the Division to protect water quality standards and best uses of surface waters, consistent with the requirements of G.S. 143-214.1 and the federal Water Pollution Control Act, as amended.
(58)(60) "Waters with quality higher than the standards" means waters that the Director determines (pursuant to Rule .0206 of this Section) have the capacity to receive additional pollutant
loading and continue to meet applicable water
quality standards. (59)(61) "Watershed" means a natural area of drainage, including all tributaries contributing to the supply of at least one major waterway within
the State, the specific limits of each separate watershed to be designated by the Commission as defined by G.S. 143-213(21). (60)(62) "WER" or "Water effect ratio" expresses the
difference between the measures of the toxicity of a substance in laboratory waters and the
toxicity in site water. (61)(63) "Wetlands" are "waters" as defined by G.S. 143-212(6) that are inundated or saturated by an accumulation of surface or ground water at a
frequency and duration sufficient to support, and that under normal circumstances do
support, a prevalence of vegetation typically adapted for life in saturated soil conditions. Wetlands do not include prior converted cropland as defined in the National Food
Security Act Manual, Fifth Edition, which is hereby incorporated by reference, not including subsequent amendments and editions, and is available free of charge at https://directives.sc.egov.usda.gov/RollupViewer.aspx?hid=29340.
Authority G.S. 143-213; 143-214.1; 143-215.3(a)(1). 15A NCAC 02B .0208 STANDARDS FOR TOXIC SUBSTANCES AND TEMPERATURE (a) Toxic Substances: the concentration of toxic substances,
either alone or in combination with other wastes, in surface waters shall not render waters injurious to aquatic life or wildlife, recreational activities, or public health, nor shall it impair the waters for any designated uses. Specific standards for toxic substances to protect freshwater and tidal saltwater uses are listed in Rules .0211 and .0220 of this Section, respectively. The
narrative standard for toxic substances and numerical standards applicable to all waters shall be interpreted as follows: (1) The concentration of toxic substances shall not result in chronic toxicity to aquatic life. Any levels in excess of the chronic value for aquatic life shall be considered to result in chronic
toxicity. In the absence of direct measurements of chronic toxicity, the concentration of toxic substances shall not exceed the concentration specified by the fraction of the lowest LC50 value that predicts a no effect chronic level as determined by the use of an acceptable Acute to Chronic Ratio (ACR) in accordance with U.S. Environmental Protection Agency (EPA) "Guidelines for Deriving Numerical Water Quality Criteria for the Protection of Aquatic
Life and its Uses." In the absence of an ACR, that toxic substance shall not exceed one-one hundredth (0.01) of the lowest LC50 or, if it is demonstrated that a toxic substance has a
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half-life of less than 96 hours, the maximum
concentration shall not exceed one-twentieth (0.05) of the lowest LC50. (2) The concentration of toxic substances shall not exceed the level necessary to protect human
health through exposure routes of fish tissue consumption, water consumption, recreation, or other route identified for the water body. Fish tissue consumption shall include the
consumption of shellfish. These concentrations of toxic substances shall be determined as
follows: (A) For non-carcinogens, these concentrations shall be determined using a Reference Dose (RfD) as
published by the EPA pursuant to Section 304(a) of the Federal Water
Pollution Control Act as amended, a RfD issued by the EPA as listed in the Integrated Risk Information System (IRIS) file, or a RfD approved by the
Director after consultation with the State Health director. Water quality standards or criteria used to calculate water quality based effluent limitations to protect human health through the different exposure routes
shall be determined as follows: (i) Fish tissue consumption: WQS = (RfD x RSC) x Body Weight / (FCR x BCF) where: WQS = water quality
standard or criteria; RfD = reference dose; RSC = Relative Source Contribution; FCR = fish
consumption rate (based upon 17.5 gm/person-day); BCF = bioconcentration factor or
bioaccumulation factor (BAF), as appropriate. Pursuant to Section 304(a) of the Federal Water Pollution Control Act as amended, BCF or BAF values, literature values, or site specific bioconcentration data shall be based on EPA publications; FCR values shall be average consumption rates for
a 70 Kg adult for the lifetime of the population; alternative FCR values may be used when it is considered necessary to protect localized
populations that may be consuming
fish at a higher rate; RSC values, when made available through EPA publications pursuant to Section 304(a) of the Federal Clean Water
Pollution Control Act to account for non-water sources of exposure may be either a percentage (multiplied) or amount subtracted, depending on
whether multiple criteria are relevant to the chemical;
(ii) Water consumption (including a correction for fish consumption): WQS = (RfD x RSC) x Body
Weight / [WCR + (FCR x BCF)]
where: WQS = water quality standard or criteria; RfD = reference
dose; RSC = Relative Source Contribution; FCR = fish consumption rate (based upon 17.5
gm/person-day); BCF = bioconcentration factor or bioaccumulation factor (BAF), as
appropriate; WCR = water consumption rate (assumed to be two liters per day for adults).
To protect sensitive groups, exposure shall be based on a 10 Kg child drinking one liter of water per day. Standards may also be based on drinking water standards based on the requirements of the Federal Safe
Drinking Water Act, 42 U.S.C. 300(f)(g)-1. For non-carcinogens, specific numerical water quality standards have not been included in this Rule because water quality standards to protect aquatic life for all toxic substances for which standards have been considered are more stringent than numerical standards to protect human health from
non-carcinogens through consumption of fish. Standards to protect human health from non-carcinogens through water consumption are listed under the
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water supply classification standards
in Rule .0211 of this Section. The equations listed in this Subparagraph shall be used to develop water quality based effluent limitations on a
case-by-case basis for toxic substances that are not presently included in the water quality standards. Alternative FCR values may be used when it is
necessary to protect localized populations that may be consuming
fish at a higher rate; (B) For carcinogens, the concentrations of toxic substances shall not result in unacceptable health risks and shall be
based on a Carcinogenic Potency Factor (CPF). An unacceptable health
risk for cancer shall be more than one case of cancer per one million people exposed (10-6 risk level). The CPF is a measure of the cancer-causing potency
of a substance estimated by the upper 95 percent confidence limit of the slope of a straight line calculated by the Linearized Multistage Model or other appropriate model according to U.S. Environmental Protection
Agency Guidelines, FR 51 (185): 33992-34003; and FR 45 (231 Part V): 79318-79379. Water quality standards or criteria for water quality based effluent limitations shall be calculated using the procedures given in this Part
and in Part (A) of this Subparagraph. Standards to protect human health from carcinogens through water consumption are listed under the water supply classification standards in Rules .0212, .0214, .0215, .0216, and
.0218 of this Section. Standards to protect human health from carcinogens through the consumption of fish (and shellfish) only shall be applicable to all waters as follows: (i) Aldrin: 0.05 ng/l;
(ii) Arsenic: 10 ug/l; (iii) Benzene: 51 ug/l; (iv) Carbon tetrachloride: 1.6 ug/l; (v) Chlordane: 0.8 ng/l; (vi) DDT: 0.2 ng/l; (vii) Dieldrin: 0.05 ng/l; (viii) Dioxin: 0.000005 ng/l; (ix) Heptachlor: 0.08 ng/l; (x) Hexachlorobutadiene: 18
ug/l; (xi) Polychlorinated biphenyls (total of all identified PCBs and congeners): 0.064 ng/l;
(xii) Polynuclear aromatic
hydrocarbons (total of all PAHs): 31.1 ng/l; (xiii) Tetrachloroethane (1,1,2,2): 4 ug/l;
(xiv) Tetrachloroethylene: 3.3 ug/L; ug/l; (xvi) Trichloroethylene: 30 ug/l; (xvii) Vinyl chloride: 2.4 ug/l. ug/l;
(xviii) 1,4-Dioxane: 80 ug/l. The values listed in Subparts (i)
through (xvii)(xviii) of this Part may be adjusted by the Commission or its designee on a case-by-case basis to account for site-specific or
chemical-specific information pertaining to the assumed BCF, FCR,
or CPF values or other data. (b) Temperature: the Commission may establish a water quality standard for temperature for specific water bodies other than the standards specified in Rules .0211 and .0220 of this Section upon
a case-by-case determination that thermal discharges to these waters that serve or may serve as a source or receptor of industrial cooling water provide for the maintenance of the designated best use throughout a portion of the water body. Such revisions of the temperature standard shall be consistent with the provisions of Section 316(a) of the Federal Water Pollution Control Act, as
amended. A list of such revisions shall be maintained and made available to the public by the Division. Authority G.S. 143-214.1; 143-215.3(a)(1). 15A NCAC 02B .0211 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS C WATERS In addition to the standards set forth in Rule .0208 of this Section, the following water quality standards shall apply to all Class C waters. Additional standards applicable to other freshwater classifications are specified in Rules .0212, .0214, .0215, .0216, .0218, .0219, .0223, .0224, .0225, and .0231 of this Section.
(1) The best usage of waters shall be aquatic life propagation, survival, and maintenance of biological integrity (including fishing and fish); wildlife; secondary contact recreation as defined in Rule .0202 of this Section; agriculture; and any other usage except for
primary contact recreation or as a source of water supply for drinking, culinary, and food processing purposes. All freshwaters shall be classified to protect these uses at a minimum. (2) The conditions of waters shall be such that waters are suitable for all best uses specified in this Rule. Sources of water pollution that preclude any of these uses on either a short-term or long-term basis shall be deemed to violate a water quality standard;
(3) Chlorine, total residual: 17 ug/l; (4) Chlorophyll a (corrected): not greater than 40 ug/l for lakes, reservoirs, and other waters subject to growths of macroscopic or
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microscopic vegetation not designated as trout
waters, and not greater than 15 ug/l for lakes, reservoirs, and other waters subject to growths of macroscopic or microscopic vegetation designated as trout waters (not applicable to
lakes or reservoirs less than 10 acres in surface area). The Commission or its designee may prohibit or limit any discharge of waste into surface waters if the surface waters experience
or the discharge would result in growths of microscopic or macroscopic vegetation such
that the standards established pursuant to this Rule would be violated or the intended best usage of the waters would be impaired; (5) Cyanide, free or total: 5.0 ug/l;
(6) Dissolved oxygen: not less than 6.0 mg/l for trout waters; for non-trout waters, not less than
a daily average of 5.0 mg/l with an instantaneous value of not less than 4.0 mg/l; swamp waters, lake coves, or backwaters, and lake bottom waters may have lower values if
caused by natural conditions; (7) Fecal coliform: shall not exceed a geometric mean of 200/100ml (MF count) based upon at least five samples taken over a 30-day period, nor exceed 400/100ml in more than 20 percent of the samples examined during such period.
Violations of this Item are expected during rainfall events and may be caused by uncontrollable nonpoint source pollution. All coliform concentrations shall be analyzed using the membrane filter technique. If high turbidity or other conditions would cause the membrane
filter technique to produce inaccurate data, the most probable number (MPN) 5-tube multiple dilution method shall be used. (8) Floating solids, settleable solids, or sludge deposits: only such amounts attributable to sewage, industrial wastes, or other wastes as
shall not make the water unsafe or unsuitable for aquatic life and wildlife or impair the waters for any designated uses; (9) Fluoride: 1.8 mg/l; (10) Gases, total dissolved: not greater than 110 percent of saturation;
(11) Metals: (a) With the exception of mercury and selenium, mercury, acute and chronic freshwater aquatic life standards for metals shall be based upon measurement of the dissolved fraction of the metal. Mercury and selenium water quality standards shall be based upon measurement of the total recoverable metal;
(b) With the exception of mercury and selenium, mercury, aquatic life standards for metals listed in this Sub-Item shall apply as a function of the
pollutant's water effect ratio (WER).
The WER shall be assigned a value equal to one unless any person demonstrates to the Division's satisfaction in a permit proceeding that
another value is developed in accordance with the "Water Quality Standards Handbook: Second Edition" published by the US Environmental
Protection Agency (EPA-823-B-12-002), which is hereby incorporated by
reference, including subsequent amendments and editions, and can be obtained free of charge at http://water.epa.gov/scitech/swguidan
ce/standards/handbook/. Alternative site-specific standards may also be
developed when any person submits values that demonstrate to the Commission that they were derived in accordance with the "Water Quality
Standards Handbook: Second Edition, Recalculation Procedure or the Resident Species Procedure", which is hereby incorporated by reference including subsequent amendments and can be obtained free of charge at
http://water.epa.gov/scitech/swguidance/standards/handbook/. (c) Freshwater metals standards that are not hardness-dependent shall be as follows: (i) Arsenic, dissolved, acute:
WER∙ 340 ug/l; (ii) Arsenic, dissolved, chronic: WER∙ 150 ug/l; (iii) Beryllium, dissolved, acute: WER∙ 65 ug/l; (iv) Beryllium, dissolved,
chronic: WER∙ 6.5 ug/l; (v) Chromium VI, dissolved, acute: WER∙ 16 ug/l; (vi) Chromium VI, dissolved, chronic: WER∙ 11 ug/l; (vii) Mercury, total recoverable,
chronic: 0.012 ug/l; (viii) Selenium, total recoverable, chronic: 5 ug/l; (ix)(viii) Silver, dissolved, chronic: WER∙ 0.06 ug/l; (d) Selenium, chronic: The standard for chronic selenium has the following components: fish egg/ovary tissue, fish whole body or muscle tissue, and water column (lentic and lotic). These
components shall be used in the following order of preference provided data is available: (i) Fish egg/ovary tissue;
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(ii) Fish whole body or muscle
tissue; (iii) Water column. Fish tissue concentrations are determined as dry weight and water
column concentrations are based on
the dissolved fraction of selenium. The chronic selenium standards are as follows:
Component Magnitude Duration
Fish tissue
Fish egg/ovary tissue
15.1 mg/kg Instantaneous
Fish whole body or muscle tissue
8.5 mg/kg whole body Instantaneous
11.3 mg/kg
muscle
Instantaneous
Water column Lentic or Lotic 1.5 ug/l lentic 30-day average
3.1 ug/l lotic 30-day average
(d)(e) Hardness-dependent freshwater
metals standards shall be derived using the equations specified in Table A: Dissolved Freshwater Standards for Hardness-Dependent Metals. If the
actual instream hardness (expressed as CaCO3 or Ca+Mg) is less than 400 mg/l, standards shall be calculated based upon the actual instream hardness. If the instream hardness is
greater than 400 mg/l, the maximum
applicable hardness shall be 400 mg/l. Table A: Dissolved Freshwater Standards for Hardness-Dependent Metals
Numeric standards calculated at 25 mg/l hardness are listed below for illustrative purposes. The Water Effects Ratio (WER) is equal to one unless determined otherwise under Sub-Item (11)(b) of this Rule.
Metal Equations for Hardness-Dependent Freshwater Metals (ug/l) Standard at 25 mg/l hardness (ug/l) Cadmium, Acute WER∙ [{1.136672-[ln hardness](0.041838)} ∙ e^{0.9151 [ln hardness]-3.1485}] WER∙[{1.136672-[ln hardness](0.041838)} ∙ e^{0.9789 [ln hardness]-3.345}]
0.82 0.83
Cadmium,
Acute, Trout waters
WER∙ [{1.136672-[ln hardness](0.041838)} ∙ e^{0.9151[ln
hardness]-3.6236}] WER∙[{1.136672-[ln hardness](0.041838)} ∙ e^{0.9789 [ln hardness]-3.866}]
0.51 0.49
Cadmium, Chronic WER∙ [{1.101672-[ln hardness](0.041838)} ∙ e^{0.7998[ln hardness]-4.4451}] WER∙[{1.101672-[ln hardness](0.041838)} ∙ e^{0.7977[ln hardness]-3.909}]
0.15 0.25
Chromium III, Acute WER∙ [0.316 ∙ e^{0.8190[ln hardness]+3.7256}] 180
Chromium III, Chronic WER∙ [0.860 ∙ e^{0.8190[ln hardness]+0.6848}] 24
Copper, Acute WER∙ [0.960 ∙ e^{0.9422[ln hardness]-1.700}]
Or, Aquatic Life Ambient Freshwater Quality Criteria-Copper 2007 Revision (EPA-822-R-07-001)
3.6
NA
Copper, Chronic WER∙ [0.960 ∙ e^{0.8545[ln hardness]-1.702}] Or, Aquatic Life Ambient Freshwater Quality Criteria-Copper 2007 Revision (EPA-822-R-07-001)
2.7 NA
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Lead, Acute WER∙ [{1.46203-[ln hardness](0.145712)} ∙ e^{1.273[ln hardness]-1.460}] 14
Lead, Chronic WER∙ [{1.46203-[ln hardness](0.145712)} ∙ e^{1.273[ln hardness]-
4.705}]
0.54
Nickel, Acute WER∙ [0.998 ∙ e^{0.8460[ln hardness]+2.255}] 140
Nickel, Chronic WER∙ 0.997 ∙ e^{0.8460[ln hardness]+0.0584}] 16
Silver, Acute WER∙ 0.85 ∙ e^{1.72[ln hardness]-6.59}] 0.30 Zinc, Acute WER∙ [0.978 ∙ e^{0.8473[ln hardness]+0.884}] 36
Zinc, Chronic WER∙ 0.986 ∙ e^{0.8473[ln hardness]+0.884}] 36
(e)(f) Compliance with acute instream metals standards shall only be
evaluated using an average of two or more samples collected within one hour. Compliance with chronic instream metals standards, except for
selenium shall only be evaluated using an average of a minimum of four samples taken on consecutive days or as a 96-hour average; (12) Oils, deleterious substances, or colored or other wastes: only such amounts as shall not render
the waters injurious to public health, secondary recreation, or to aquatic life and wildlife, or adversely affect the palatability of fish, aesthetic quality, or impair the waters for any designated uses. For the purpose of implementing this Rule, oils, deleterious
substances, or colored or other wastes shall include substances that cause a film or sheen upon or discoloration of the surface of the water or adjoining shorelines, as described in 40 CFR 110.3(a)-(b), incorporated by reference including subsequent amendments and editions.
This material is available, free of charge, at: http://www.ecfr.gov/; (13) Pesticides: (a) Aldrin: 0.002 ug/l; (b) Chlordane: 0.004 ug/l; (c) DDT: 0.001 ug/l;
(d) Demeton: 0.1 ug/l; (e) Dieldrin: 0.002 ug/l; (f) Endosulfan: 0.05 ug/l; (g) Endrin: 0.002 ug/l; (h) Guthion: 0.01 ug/l; (i) Heptachlor: 0.004 ug/l;
(j) Lindane: 0.01 ug/l; (k) Methoxychlor: 0.03 ug/l; (l) Mirex: 0.001 ug/l; (m) Parathion: 0.013 ug/l; and
(n) Toxaphene: 0.0002 ug/l; (14) pH: shall be between 6.0 and 9.0 except that swamp waters may have a pH as low as 4.3 if it is the result of natural conditions; (15) Phenolic compounds: only such levels as shall not result in fish-flesh tainting or impairment of
other best usage;
(16) Polychlorinated biphenyls (total of all PCBs and congeners identified): 0.001 ug/l;
(17) Radioactive substances, based on at least one sample collected per quarter: (a) Combined radium-226 and radium-228: the average annual
activity level for combined radium-226 and radium-228 shall not exceed five picoCuries per liter; (b) Alpha Emitters: the average annual gross alpha particle activity (including radium-226, but excluding radon and
uranium) shall not exceed 15 picoCuries per liter; (c) Beta Emitters: the average annual activity level for strontium-90 shall not exceed eight picoCuries per liter, nor shall the average annual gross beta
particle activity (excluding potassium-40 and other naturally occurring radionuclides) exceed 50 picoCuries per liter, nor shall the average annual activity level for tritium exceed 20,000 picoCuries per
liter; (18) Temperature: not to exceed 2.8 degrees C (5.04 degrees F) above the natural water temperature, and in no case to exceed 29 degrees C (84.2 degrees F) for mountain and upper piedmont waters and 32 degrees C (89.6 degrees F) for
lower piedmont and coastal plain Waters; the temperature for trout waters shall not be increased by more than 0.5 degrees C (0.9 degrees F) due to the discharge of heated liquids, but in no case to exceed 20 degrees C (68 degrees F);
(19) Toluene: 0.36 ug/l in trout classified waters or 11 ug/l in all other waters; (20) Trialkyltin compounds: 0.07 ug/l expressed as tributyltin;
(21) Turbidity: the turbidity in the receiving water shall not exceed 50 Nephelometric Turbidity Units (NTU) in streams not designated as trout waters and 10 NTU in streams, lakes, or reservoirs designated as trout waters; for lakes and reservoirs not designated as trout waters,
the turbidity shall not exceed 25 NTU; if turbidity exceeds these levels due to natural
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background conditions, the existing turbidity
level shall not be increased. Compliance with this turbidity standard shall be deemed met when land management activities employ Best Management Practices (BMPs), as defined by
Rule .0202 of this Section, recommended by the Designated Nonpoint Source Agency, as defined by Rule .0202 of this Section. (22) Toxic Substance Level Applicable to NPDES
Permits: Chloride: 230 mg/l. If chloride is determined by the waste load allocation to be
exceeded in a receiving water by a discharge under the specified 7Q10 criterion for toxic substances, the discharger shall monitor the chemical or biological effects of the discharge.
Efforts shall be made by all dischargers to reduce or eliminate chloride from their
effluents. Chloride shall be limited as appropriate in the NPDES permit if sufficient information exists to indicate that it may be a causative factor resulting in toxicity of the
effluent. Authority G.S. 143-214.1; 143-215.3(a)(1). 15A NCAC 02B .0212 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-I WATERS
The following water quality standards shall apply to surface waters within water supply watersheds classified as WS-I. Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also apply to Class WS-I waters. (1) The best usage of waters classified as WS-I shall be as a source of water supply for
drinking, culinary, or food processing purposes for those users desiring maximum protection of their water supplies in the form of the most stringent WS classification, and any best usage specified for Class C waters. Class WS-I waters are waters located on land in public ownership
and waters located in undeveloped watersheds. (2) The best usage of waters classified as WS-I shall be maintained as follows: (a) Water quality standards in a WS-I watershed shall meet the requirements as specified in Item (3) of this Rule.
(b) Wastewater and stormwater point source discharges in a WS-I watershed shall meet the requirements as specified in Item (4) of this Rule. (c) Nonpoint source pollution in a WS-I watershed shall meet the requirements as specified in Item (5) of this Rule. (d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall meet the Maximum
Contaminant Level concentrations considered safe for drinking, culinary, and food-processing purposes that are specified in 40 CFR Part 141 National
Primary Drinking Water Regulations
and in the North Carolina Rules Governing Public Water Supplies, 15A NCAC 18C .1500, incorporated by reference including subsequent
amendments and editions. (e) Sources of water pollution that preclude any of the best uses on either a short-term or long-term basis shall
be deemed to violate a water quality standard.
(f) The Class WS-I classification may be used to protect portions of Class WS-II, WS-III, and WS-IV water supplies. For reclassifications
occurring after the July 1, 1992 statewide reclassification, a WS-I
classification that is requested by local governments shall be considered by the Commission if all local governments having jurisdiction in the
affected areas have adopted a resolution and the appropriate ordinances as required by G.S. 143-214.5(d) to protect the watershed or if the Commission acts to protect a watershed when one or more local
governments has failed to adopt protective measures as required by this Sub-Item. (3) Water quality standards applicable to Class WS-I Waters shall be as follows: (a) MBAS (Methylene-Blue Active
Substances): not greater than 0.5 mg/l to protect the aesthetic qualities of water supplies and to prevent foaming; (b) Total coliforms shall not exceed 50/100 ml (MF count) as a monthly geometric mean value in watersheds
serving as unfiltered water supplies; (c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from taste and odor problems from chlorinated phenols; (d) Solids, total dissolved: not greater than
exceed 500 mg/l; (e) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); (f) Toxic and other deleterious substances that are non-carcinogens: (i) Barium: 1.0 mg/l; (ii) Chloride: 250 mg/l; (iii) Nickel: 25 ug/l; (iv) Nitrate nitrogen: 10.0 mg/l;
(v) 2,4-D: 70 ug/l; (vi) 2,4,5-TP (Silvex): 10 ug/l; and (vii) Sulfates: 250 mg/l;
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(g) Toxic and other deleterious substances
that are carcinogens: (i) Aldrin: 0.05 ng/1; (ii) Arsenic: 10 ug/l; (iii) Benzene: 1.19 ug/1;
(iv) Carbon tetrachloride: 0.254 ug/l; (v) Chlordane: 0.8 ng/1; (vi) Chlorinated benzenes: 488
ug/l; (vii) DDT: 0.2 ng/1;
(viii) Dieldrin: 0.05 ng/1; (ix) Dioxin: 0.000005 ng/l; (x) Heptachlor: 0.08 ng/1; (xi) Hexachlorobutadiene: 0.44
ug/l; (xii) Polynuclear aromatic
hydrocarbons (total of all PAHs): 2.8 ng/l; (xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l;
(xiv) Tetrachloroethylene: 0.7 ug/l; (xv) Trichloroethylene: 2.5 ug/l; and (xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and
(xvii) 1,4-Dioxane: 0.35 ug/l. (4) Wastewater and stormwater point source discharges in a WS-I watershed shall be permitted pursuant to 15A NCAC 02B .0104. (5) Nonpoint source pollution in a WS-I watershed shall not have an adverse impact, as defined in
15A NCAC 02H .1002, on use as a water supply or any other designated use. Authority G.S. 143-214.1; 143-215.3(a)(1). 15A NCAC 02B .0214 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-II WATERS The following water quality standards shall apply to surface waters within water supply watersheds classified as WS-II. Water quality standards applicable to Class C waters as described in Rule .0211of this Section shall also apply to Class WS-II waters. (1) The best usage of waters classified as WS-II
shall be as a source of water supply for drinking, culinary, or food-processing purposes for those users desiring maximum protection for their water supplies where a WS-I classification is not feasible as determined by the Commission in accordance with Rule .0212 of this Section and any best usage specified for Class C waters. (2) The best usage of waters classified as WS-II shall be maintained as follows:
(a) Water quality standards in a WS-II watershed shall meet the requirements as specified in Item (3) of this Rule.
(b) Wastewater and stormwater point
source discharges in a WS-II watershed shall meet the requirements as specified in Item (4) of this Rule. (c) Nonpoint source pollution in a WS-II
watershed shall meet the requirements as specified in Item (5) of this Rule. (d) Following approved treatment, as defined in Rule .0202 of this Section,
the waters shall meet the Maximum Contaminant Level concentrations
considered safe for drinking, culinary, and food-processing purposes that are specified in 40 CFR Part 141 National Primary Drinking Water Regulations
and in the North Carolina Rules Governing Public Water Supplies,
15A NCAC 18C .1500. (e) Sources of water pollution that preclude any of the best uses on either a short-term or long-term basis shall
be deemed to violate a water quality standard. (f) The Class WS-II classification may be used to protect portions of Class WS-III and WS-IV water supplies. For reclassifications of these portions of
Class WS-III and WS-IV water supplies occurring after the July 1, 1992 statewide reclassification, a WS-II classification that is requested by local governments shall be considered by the Commission if all local
governments having jurisdiction in the affected areas have adopted a resolution and the appropriate ordinances as required by G.S. 143-214.5(d) to protect the watershed or if the Commission acts to protect a
watershed when one or more local governments has failed to adopt protective measures as required by this Sub-Item. (3) Water quality standards applicable to Class WS-II Waters shall be as follows:
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the aesthetic qualities of water supplies and to prevent foaming; (b) Odor producing substances contained in sewage or other wastes: only such amounts, whether alone or in combination with other substances or wastes, as shall not cause organoleptic effects in water supplies that cannot be
corrected by treatment, impair the palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H
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.1002, on any best usage established
for waters of this class; (c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from taste and odor problems
from chlorinated phenols; (d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg);
(e) Solids, total dissolved: not greater than 500 mg/l;
(f) Toxic and other deleterious substances that are non-carcinogens: (i) Barium: 1.0 mg/l; (ii) Chloride: 250 mg/l;
(iii) Nickel: 25 ug/l; (iv) Nitrate nitrogen: 10.0 mg/l;
(v) 2,4-D: 70 ug/l; (vi) 2,4,5-TP (Silvex): 10 ug/l; and (vii) Sulfates: 250 mg/l;
(g) Toxic and other deleterious substances that are carcinogens: (i) Aldrin: 0.05 ng/1; (ii) Arsenic: 10 ug/l; (iii) Benzene: 1.19 ug/1; (iv) Carbon tetrachloride: 0.254
ug/l; (v) Chlordane: 0.8 ng/1; (vi) Chlorinated benzenes: 488 ug/l; (vii) DDT: 0.2 ng/1; (viii) Dieldrin: 0.05 ng/1;
(ix) Dioxin: 0.000005 ng/l; (x) Heptachlor: 0.08 ng/1; (xi) Hexachlorobutadiene: 0.44 ug/l; (xii) Polynuclear aromatic hydrocarbons (total of all
PAHs): 2.8 ng/l; (xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; (xiv) Tetrachloroethylene: 0.7 ug/l; (xv) Trichloroethylene: 2.5 ug/l;
and (xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and (xvii) 1,4-Dioxane: 0.35 ug/l. (4) Wastewater and stormwater point source discharges in a WS-II watershed shall meet the following requirements: (a) Discharges that qualify for a General NPDES Permit pursuant to 15A NCAC 02H .0127 shall be allowed in
the entire watershed. (b) Discharges from trout farms that are subject to Individual NPDES Permits
shall be allowed in the entire
watershed. (c) Stormwater discharges that qualify for an Individual NPDES Permit pursuant to 15A NCAC 02H .0126 shall be
allowed in the entire watershed. (d) No discharge of sewage, industrial, or other wastes shall be allowed in the entire watershed except for those
allowed by Sub-Items (a) through (c) of this Item or Rule .0104 of this
Subchapter, and none shall be allowed that have an adverse effect on human health or that are not treated in accordance with the permit or other
requirements established by the Division pursuant to G.S. 143-215.1.
Upon request by the Commission, a discharger shall disclose all chemical constituents present or potentially present in their wastes and chemicals
that could be spilled or be present in runoff from their facility that may have an adverse impact on downstream water quality. These facilities may be required to have spill and treatment failure control plans as
well as perform special monitoring for toxic substances. (e) New domestic and industrial discharges of treated wastewater that are subject to Individual NPDES Permits shall not be allowed in the
entire watershed. (f) No new landfills shall be allowed in the Critical Area, and no NPDES permits shall be issued for landfills that discharge treated leachate in the remainder of the watershed.
(g) No new permitted sites for land application of residuals or petroleum contaminated soils shall be allowed in the Critical Area. (5) Nonpoint source pollution in a WS-II watershed shall meet the following requirements:
(a) Nonpoint source pollution shall not have an adverse impact on waters for use as a water supply or any other designated use. (b) Class WS-II waters shall be protected as water supplies that are located in watersheds that meet average watershed development density levels specified for Class WS-II waters in Rule .0624 of this Subchapter.
Authority G.S. 143-214.1; 143-215.3(a)(1).
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15A NCAC 02B .0215 FRESH SURFACE WATER
QUALITY STANDARDS FOR CLASS WS-III WATERS The following water quality standards shall apply to surface waters within water supply watersheds classified as WS-III. Water quality standards applicable to Class C waters as described
in Rule .0211 of this Section shall also apply to Class WS-III waters. (1) The best usage of waters classified as WS-III shall be as a source of water supply for
drinking, culinary, or food-processing purposes for those users where a more protective WS-I or
WS-II classification is not feasible as determined by the Commission in accordance with Rules .0212 and .0214 of this Section and any other best usage specified for Class C
waters. (2) The best usage of waters classified as WS-III
shall be maintained as follows: (a) Water quality standards in a WS-III watershed shall meet the requirements as specified in Item (3) of this Rule.
(b) Wastewater and stormwater point source discharges in a WS-III watershed shall meet the requirements as specified in Item (4) of this Rule. (c) Nonpoint source pollution in a WS-III watershed shall meet the requirements
as specified in Item (5) of this Rule. (d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall meet the Maximum Contaminant Level concentrations considered safe for drinking, culinary,
or food-processing purposes that are specified in 40 CFR Part 141 National Primary Drinking Water Regulations and in the North Carolina Rules Governing Public Water Supplies, 15A NCAC 18C .1500.
(e) Sources of water pollution that preclude any of the best uses on either a short-term or long-term basis shall be deemed to violate a water quality standard. (f) The Class WS-III classification may
be used to protect portions of Class WS-IV water supplies. For reclassifications of these portions of WS-IV water supplies occurring after the July 1, 1992 statewide reclassification, a WS-II classification more protective classification, such as WS-III, that is requested by local governments shall be considered by the Commission if all local
governments having jurisdiction in the affected areas have adopted a resolution and the appropriate ordinances as required by G.S. 143-
214.5(d) to protect the watershed or if
the Commission acts to protect a watershed when one or more local governments has failed to adopt protective measures as required by this
Sub-Item. (3) Water quality standards applicable to Class WS-III Waters shall be as follows: (a) MBAS (Methylene-Blue Active
Substances): not greater than 0.5 mg/l to protect the aesthetic qualities of
water supplies and to prevent foaming; (b) Odor producing substances contained in sewage, industrial wastes, or other wastes: only such amounts, whether
alone or in combination with other substances or wastes, as shall not
cause organoleptic effects in water supplies that cannot be corrected by treatment, impair the palatability of fish, or have an adverse impact, as
defined in 15A NCAC 02H .1002, on any best usage established for waters of this class; (c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from taste and odor problems
from chlorinated phenols; (d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); (e) Solids, total dissolved: not greater than 500 mg/l;
(f) Toxic and other deleterious substances that are non-carcinogens: (i) Barium: 1.0 mg/l; (ii) Chloride: 250 mg/l; (iii) Nickel: 25 ug/l; (iv) Nitrate nitrogen: 10.0 mg/l;
(v) 2,4-D: 70 ug/l; (vi) 2,4,5-TP (Silvex): 10 ug/l; and (vii) Sulfates: 250 mg/l; (g) Toxic and other deleterious substances that are carcinogens:
(i) Aldrin: 0.05 ng/1; (ii) Arsenic: 10 ug/l; (iii) Benzene: 1.19 ug/1; (iv) Carbon tetrachloride: 0.254 ug/l; (v) Chlordane: 0.8 ng/1; (vi) Chlorinated benzenes: 488 ug/l; (vii) DDT: 0.2 ng/1; (viii) Dieldrin: 0.05 ng/1;
(ix) Dioxin: 0.000005 ng/l; (x) Heptachlor: 0.08 ng/1; (xi) Hexachlorobutadiene: 0.44 ug/l;
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(xii) Polynuclear aromatic
hydrocarbons (total of all PAHs): 2.8 ng/l; (xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l;
(xiv) Tetrachloroethylene: 0.7 ug/l; (xv) Trichloroethylene: 2.5 ug/l; and
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and
(xvii) 1,4-Dioxane; 0.35 ug/l. (4) Wastewater and stormwater point source discharges in a WS-III watershed shall meet the following requirements:
(a) Discharges that qualify for a General NPDES Permit pursuant to 15A
NCAC 02H .0127 shall be allowed in the entire watershed. (b) Discharges from trout farms that are subject to Individual NPDES Permits
shall be allowed in the entire watershed. (c) Stormwater discharges that qualify for an Individual NPDES Permit pursuant to 15A NCAC 02H .0126 shall be allowed in the entire watershed.
(d) New domestic wastewater discharges that are subject to Individual NPDES Permits shall not be allowed in the Critical Area and are allowed in the remainder of the watershed. (e) New industrial wastewater discharges
that are subject to Individual NPDES Permits except non-process industrial discharges shall not be allowed in the entire watershed. (f) No discharge of sewage, industrial, or other wastes shall be allowed in the
entire watershed except for those allowed by Sub-Items (a) through (e) of this Item or Rule .0104 of this Subchapter, and none shall be allowed that have an adverse effect on human health or that are not treated in
accordance with the permit or other requirements established by the Division pursuant to G.S. 143-215.1. Upon request by the Commission, a discharger shall disclose all chemical constituents present or potentially present in their wastes and chemicals that could be spilled or be present in runoff from their facility that may have an adverse impact on
downstream water quality. These facilities may be required to have spill and treatment failure control plans as
well as perform special monitoring for
toxic substances. (g) No new landfills shall be allowed in the Critical Area, and no NPDES permits shall be issued for landfills to
discharge treated leachate in the remainder of the watershed. (h) No new permitted sites for land application of residuals or petroleum
contaminated soils shall be allowed in the Critical Area.
(5) Nonpoint source pollution in a WS-III watershed shall meet the following requirements: (a) Nonpoint source pollution shall not
have an adverse impact on waters for use as a water supply or any other
designated use. (b) Class WS-III waters shall be protected as water supplies that are located in watersheds that meet average
watershed development density levels specified Class WS-III waters in Rule .0624 of this Subchapter. Authority G.S. 143-214.1; 143-215.3(a)(1). 15A NCAC 02B .0216 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-IV WATERS The following water quality standards shall apply to surface waters within water supply watersheds classified as WS-IV. Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also apply to Class WS-IV
waters. (1) The best usage of waters classified as WS-IV shall be as a source of water supply for drinking, culinary, or food-processing purposes for those users where a more protective WS-I, WS-II or WS-III classification is not feasible as
determined by the Commission in accordance with Rules .0212 through .0215 of this Section and any other best usage specified for Class C waters. (2) The best usage of waters classified as WS-IV shall be maintained as follows:
(a) Water quality standards in a WS-IV watershed shall meet the requirements as specified in Item (3) of this Rule. (b) Wastewater and stormwater point source discharges in a WS-IV watershed shall meet the requirements as specified in Item (4) of this Rule. (c) Nonpoint source pollution in a WS-IV watershed shall meet the requirements as specified in Item (5) of this Rule.
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall meet the Maximum Contaminant Level concentrations
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considered safe for drinking, culinary,
or food-processing purposes that are specified in 40 CFR Part 141 National Primary Drinking Water Regulations and in the North Carolina Rules
Governing Public Water Supplies, 15A NCAC 18C .1500. (e) Sources of water pollution that preclude any of the best uses on either
a short-term or long-term basis shall be deemed to violate a water quality
standard. (f) The Class WS-II or WS-III classifications may be used to protect portions of Class WS-IV water
supplies. For reclassifications of these portions of WS-IV water supplies
occurring after the July 1, 1992 statewide reclassification, a WS-IV classification more protective classification, such as a WS-II or WS-
III, that is requested by local governments shall be considered by the Commission if all local governments having jurisdiction in the affected areas have adopted a resolution and the appropriate
ordinances as required by G.S. 143-214.5(d) to protect the watershed or if the Commission acts to protect a watershed when one or more local governments has failed to adopt protective measures as required by this
Sub-Item. (3) Water quality standards applicable to Class WS-IV Waters shall be as follows: (a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the aesthetic qualities of
water supplies and to prevent foaming; (b) Odor producing substances contained in sewage, industrial wastes, or other wastes: only such amounts, whether alone or in combination with other substances or waste, as will not cause
organoleptic effects in water supplies that cannot be corrected by treatment, impair the palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H .1002, on any best usage established for waters of this class; (c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from taste and odor problems due to chlorinated phenols shall be
allowed. Specific phenolic compounds may be given a different limit if it is demonstrated not to cause
taste and odor problems and not to be
detrimental to other best usage; (d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg);
(e) Solids, total dissolved: not greater than 500 mg/l; (f) Toxic and other deleterious substances that are non-carcinogens:
(i) Barium: 1.0 mg/l; (ii) Chloride: 250 mg/l;
(iii) Nickel: 25 ug/l; (iv) Nitrate nitrogen: 10.0 mg/l; (v) 2,4-D: 70 ug/l; (vi) 2,4,5-TP (Silvex): 10 ug/l;
and (vii) Sulfates: 250 mg/l;
(g) Toxic and other deleterious substances that are carcinogens: (i) Aldrin: 0.05 ng/1; (ii) Arsenic: 10 ug/l;
(iii) Benzene: 1.19 ug/1; (iv) Carbon tetrachloride: 0.254 ug/l; (v) Chlordane: 0.8 ng/1; (vi) Chlorinated benzenes: 488 ug/l;
(vii) DDT: 0.2 ng/1; (viii) Dieldrin: 0.05 ng/1; (ix) Dioxin: 0.000005 ng/l; (x) Heptachlor: 0.08 ng/1; (xi) Hexachlorobutadiene: 0.44 ug/l;
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; (xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; (xiv) Tetrachloroethylene: 0.7
ug/l; (xv) Trichloroethylene: 2.5 ug/l; and (xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and (xvii) 1,4-Dioxane: 0.35 ug/l.
(4) Wastewater and stormwater point source discharges in a WS-IV watershed shall meet the following requirements: (a) Discharges that qualify for a General NPDES Permit pursuant to 15A NCAC 02H .0127 shall be allowed in the entire watershed. (b) Discharges from domestic facilities, industrial facilities and trout farms that are subject to Individual NPDES
Permits shall be allowed in the entire watershed. (c) Stormwater discharges that qualify for an Individual NPDES Permit pursuant
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to 15A NCAC 02H .0126 shall be
allowed in the entire watershed. (d) No discharge of sewage, industrial wastes, or other wastes shall be allowed in the entire watershed except
for those allowed by Sub-Items (a) through (c) of this Item or Rule .0104 of this Subchapter, and none shall be allowed that have an adverse effect on
human health or that are not treated in accordance with the permit or other
requirements established by the Division pursuant to G.S. 143-215.1. Upon request by the Commission, dischargers or industrial users subject
to pretreatment standards shall disclose all chemical constituents
present or potentially present in their wastes and chemicals that could be spilled or be present in runoff from their facility which may have an
adverse impact on downstream water supplies. These facilities may be required to have spill and treatment failure control plans as well as perform special monitoring for toxic substances.
(e) New industrial discharges of treated wastewater in the critical area shall meet the provisions of Rule .0224(c)(2)(D), (E), and (G) of this Section and Rule .0203 of this Section. (f) New industrial connections and
expansions to existing municipal discharges with a pretreatment program pursuant to 15A NCAC 02H .0904 shall be allowed in the entire watershed. (g) No new landfills shall be allowed in
the Critical Area. (h) No new permitted sites for land application residuals or petroleum contaminated soils shall be allowed in the Critical Area. (5) Nonpoint source pollution in a WS-IV
watershed shall meet the following requirements: (a) Nonpoint source pollution shall not have an adverse impact on waters for use as a water supply or any other designated use. (b) Class WS-IV waters shall be protected as water supplies that are located in watersheds that meet average watershed development density levels
specified for Class WS-IV waters in Rule .0624 of this Subchapter. Authority G.S. 143-214.1; 143-215.3(a)(1).
15A NCAC 02B .0218 FRESH SURFACE WATER
QUALITY STANDARDS FOR CLASS WS-V WATERS The following water quality standards shall apply to surface waters within water supply watersheds classified as WS-V. Water quality standards applicable to Class C waters as described in Rule
.0211 of this Section shall also apply to Class WS-V waters. (1) The best usage of waters classified as WS-V shall be as waters that are protected as water supplies which are generally upstream and
draining to Class WS-IV waters; waters previously used for drinking water supply
purposes; or waters used by industry to supply their employees, but not municipalities or counties, with a raw drinking water supply source, although this type of use is not restricted
to WS-V classification; and all Class C uses. (2) The best usage of waters classified as WS-V
shall be maintained as follows: (a) Water quality standards in a WS-V water shall meet the requirements as specified in Item (3) of this Rule.
(b) Wastewater and stormwater point source discharges in a WS-V water shall meet the requirements as specified in Item (4) of this Rule. (c) Nonpoint source pollution in a WS-V water shall meet the requirements as
specified in Item (5) of this Rule. (d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall meet the Maximum Contaminant Level concentrations considered safe for drinking, culinary,
or food-processing purposes that are specified in 40 CFR Part 141 National Primary Drinking Water Regulations and in the North Carolina Rules Governing Public Water Supplies, 15A NCAC 18C .1500.
(e) The Commission or its designee may apply management requirements for the protection of waters downstream of receiving waters provided in Rule .0203 of this Section. (f) The Commission shall consider a
more protective classification for the water supply if a resolution requesting a more protective classification is submitted from all local governments having land use jurisdiction within the affected watershed. (g) Sources of water pollution that preclude any of the best uses on either a short-term or long-term basis shall be deemed to violate a water quality
standard; (3) Water quality standards applicable to Class WS-V Waters shall be as follows:
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(a) MBAS (Methylene-Blue Active
Substances): not greater than 0.5 mg/l to protect the aesthetic qualities of water supplies and to prevent foaming; (b) Odor producing substances contained
in sewage, industrial wastes, or other wastes: only such amounts, whether alone or in combination with other substances or waste, as will not cause
organoleptic effects in water supplies that can not be corrected by treatment,
impair the palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H .1002, on any best usage established for waters of this class;
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water
supplies from taste and odor problems due to chlorinated phenols. Specific phenolic compounds may be given a different limit if it is demonstrated not
to cause taste and odor problems and not to be detrimental to other best usage; (d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg);
(e) Solids, total dissolved: not greater than 500 mg/l; (f) Toxic and other deleterious substances that are non-carcinogens: (i) Barium: 1.0 mg/l; (ii) Chloride: 250 mg/l;
(iii) Nickel: 25 ug/l; (iv) Nitrate nitrogen: 10.0 mg/l; (v) 2,4-D: 70 ug/l; (vi) 2,4,5-TP (Silvex): 10 ug/l; and (vii) Sulfates: 250 mg/l;
(g) Toxic and other deleterious substances that are carcinogens: (i) Aldrin: 0.05 ng/1; (ii) Arsenic: 10 ug/l; (iii) Benzene: 1.19 ug/1; (iv) Carbon tetrachloride: 0.254
ug/l; (v) Chlordane: 0.8 ng/1; (vi) Chlorinated benzenes: 488 ug/l; (vii) DDT: 0.2 ng/1; (viii) Dieldrin: 0.05 ng/1; (ix) Dioxin: 0.000005 ng/l; (x) Heptachlor: 0.08 ng/1; (xi) Hexachlorobutadiene: 0.44 ug/l;
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l;
(xiii) Tetrachloroethane (1,1,2,2):
0.17 ug/l; (xiv) Tetrachloroethylene: 0.7 ug/l; (xv) Trichloroethylene: 2.5 ug/l;
and (xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and (xvii) 1,4-Dioxane: 0.35 ug/l.
(4) No discharge of sewage, industrial wastes, or other wastes shall be allowed that have an
adverse effect on human health or that are not treated in accordance with the permit or other requirements established by the Division pursuant to G.S. 143-215.1. Upon request by
the Commission, dischargers or industrial users subject to pretreatment standards shall disclose
all chemical constituents present or potentially present in their wastes and chemicals that could be spilled or be present in runoff from their facility which may have an adverse impact on
downstream water quality. These facilities may be required to have spill and treatment failure control plans as well as perform special monitoring for toxic substances. (5) Nonpoint Source pollution in a WS-V water shall not have an adverse impact on waters for
use as water supply or any other designated use. Authority G.S. 143-214.1; 143-215.3(a)(1). 15A NCAC 02B .0219 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS B WATERS
The following water quality standards shall apply to surface waters that are for primary contact recreation as defined in Rule .0202 of this Section, and are classified as Class B waters. Water quality standards applicable to Class C waters as described in Rule .0211 of this Section also apply to Class B waters. (1) The best usage of Class B waters shall be
primary contact recreation and any other best usage specified for Class C waters. (2) Class B waters shall meet the standards of water quality for outdoor bathing places as specified in Item (3) of this Rule and shall be of sufficient size and depth for primary contact recreation. In
assigning the B classification to waters intended for primary contact recreation, the Commission shall consider the relative proximity of sources of water pollution and the potential hazards involved in locating swimming areas close to sources of water pollution and shall not assign this classification to waters in which such water pollution could result in a hazard to public health. Sources of water pollution that preclude any of these uses on either a short-term or
long-term basis shall be deemed to violate a water quality standard. (3) Quality standards applicable to Class B waters:
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(a) Sewage, industrial wastes, or other
wastes: none shall be allowed that are not treated to the satisfaction of the Commission. In determining the degree of treatment required for such
waste when discharged into waters to be used for bathing, the Commission shall consider the quality and quantity of the sewage and wastes involved and
the proximity of such discharges to waters in this class. Discharges in the
immediate vicinity of bathing areas shall not be allowed if the Director determines that the waste cannot be treated to ensure the protection of
primary contact recreation; (b) Fecal coliforms shall not exceed a
geometric mean of 200/100 ml (MF count) based on at least five samples taken over a 30 day period, nor exceed 400/100 ml in more than 20 percent of
the samples examined during such period. period; (c) For the counties listed in this Sub-Item, Escherichia coli (E. coli) shall be used as the bacterial indicator in lieu of Sub-Item (b) of this Item. E. coli
shall not exceed a geometric mean of 100 colony forming units (cfu) per 100 ml (MF count) or a most probable number value (MPN) of 100 per 100 ml based upon a minimum of five samples taken over a 30 day period,
and E. coli shall not exceed 320 cfu/100 ml or 320 MPN/100 ml in more than 20 percent of the samples examined during the same 30-day period. The counties subject to this site-specific standard are:
(i) Avery; (ii) Buncombe; (iii) Burke; (iv) Caldwell; (v) Cherokee; (vi) Clay;
(vii) Graham; (viii) Haywood; (ix) Henderson; (x) Jackson; (xi) Macon; (xii) Madison; (xiii) McDowell; (xiv) Mitchell; (xv) Polk; (xvi) Rutherford;
(xvii) Swain; (xviii) Transylvania; and (xix) Yancey.
(4) Wastewater discharges to waters classified as B
shall meet the reliability requirements specified in 15A NCAC 02H .0124. Discharges to waters where a primary contact recreational use is determined by the Director to be attainable shall
be required to meet water quality standards and reliability requirements to protect this use concurrently with reclassification efforts.
Authority G.S. 143-214.1; 143-215.3(a)(1). 15A NCAC 02B .0220 TIDAL SALT WATER QUALITY STANDARDS FOR CLASS SC WATERS In addition to the standards set forth in Rule .0208 of this Section, the following water quality standards shall apply to all Class SC
waters. Additional standards applicable to other tidal salt water classifications are specified in Rules .0221 and .0222 of this
Section. (1) The best usage of waters classified as SC shall be aquatic life propagation, survival, and maintenance of biological integrity (including
fishing, fish, and Primary Nursery Areas (PNAs)); wildlife; secondary contact recreation as defined in Rule .0202 in this Section; and any usage except primary contact recreation or shellfishing for market purposes. All saltwaters shall be classified to protect these uses at a
minimum. (2) The best usage of waters classified as SC shall be maintained as specified in this Rule. Any source of water pollution that precludes any of these uses on either a short-term or a long-term basis shall be deemed to violate a water quality
standard; (3) Chlorophyll a (corrected): not greater than 40 ug/l in sounds, estuaries, and other waters subject to growths of macroscopic or microscopic vegetation. The Commission or its designee may prohibit or limit any discharge of
waste into surface waters if the Director determines that the surface waters experience or the discharge would result in growths of microscopic or macroscopic vegetation such that the standards established pursuant to this Rule would be violated or the intended best
usage of the waters would be impaired; (4) Cyanide: 1 ug/l; (5) Dissolved oxygen: not less than 5.0 mg/l, except that swamp waters, poorly flushed tidally influenced streams or embayments, or estuarine bottom waters may have lower values if caused by natural conditions; (6) Enterococcus, including Enterococcus faecalis, Enterococcus faecium, Enterococcus avium and Enterococcus gallinarium: not exceed a
geometric mean of 35 enterococci per 100 ml based upon a minimum of five samples taken over a 30-day period. For the purposes of beach monitoring and notification, "Coastal
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Recreational Waters Monitoring, Evaluation
and Notification" regulations (15A NCAC 18A .3400), available free of charge at: http://www.ncoah.com/, are incorporated by reference including subsequent amendments
and editions; (7) Floating solids, settleable solids, or sludge deposits: only such amounts attributable to sewage, industrial wastes, or other wastes as
shall not make the waters unsafe or unsuitable for aquatic life and wildlife, or impair the
waters for any designated uses; (8) Gases, total dissolved: not greater than 110 percent of saturation; (9) Metals:
(a) With the exception of mercury and selenium, acute and chronic tidal salt
water quality standards for metals shall be based upon measurement of the dissolved fraction of the metals. Mercury and selenium shall be based
upon measurement of the total recoverable metal; (b) With the exception of mercury and selenium, acute and chronic tidal saltwater quality aquatic life standards for metals listed in this Sub-Item shall
apply as a function of the pollutant's water effect ratio (WER). The WER shall be assigned a value equal to one unless any person demonstrates to the Division in a permit proceeding that another value is developed in
accordance with the "Water Quality Standards Handbook: Second Edition" published by the US Environmental Protection Agency (EPA-823-B-12-002). Alternative site-specific standards may also be developed when
any person submits values that demonstrate to the Commission that they were derived in accordance with the "Water Quality Standards Handbook: Second Edition, Recalculation Procedure or the
Resident Species Procedure." (c) Acute and chronic tidal salt water quality metals standards shall be as follows: (i) Arsenic, acute: WER∙ 69 ug/l; (ii) Arsenic, chronic: WER∙ 36 ug/l; (iii) Cadmium, acute: WER∙ 40 33 ug/l;
(iv) Cadmium, chronic: WER∙ 8.8 7.9 ug/l; (v) Chromium VI, acute: WER∙ 1100 ug/l;
(vi) Chromium VI, chronic:
WER∙ 50 ug/l; (vii) Copper, acute: WER∙ 4.8 ug/l; (viii) Copper, chronic: WER∙ 3.1
ug/l; (ix) Lead, acute: WER∙ 210 ug/l; (x) Lead, chronic: WER∙ 8.1 ug/l;
(xi) Mercury, total recoverable, chronic: 0.025 ug/l;
(xii) Nickel, acute: WER∙ 74 ug/l; (xiii) Nickel, chronic: WER∙ 8.2 ug/l; (xiv) Selenium, total recoverable,
chronic: 71 ug/l; (xv) Silver, acute: WER∙ 1.9 ug/l;
(xvi) Silver, chronic: WER∙ 0.1 ug/l; (xvii) Zinc, acute: WER∙ 90 ug/l; and
(xviii) Zinc, chronic: WER∙ 81 ug/l; (d) Compliance with acute instream metals standards shall only be evaluated using an average of two or more samples collected within one hour. Compliance with chronic
instream metals standards shall only be evaluated using averages of a minimum of four samples taken on consecutive days, or as a 96-hour average; (10) Oils, deleterious substances, or colored or other
wastes: only such amounts as shall not render the waters injurious to public health, secondary recreation, aquatic life, and wildlife or adversely affect the palatability of fish, aesthetic quality, or impair the waters for any designated uses. For the purpose of
implementing this Rule, oils, deleterious substances, or colored or other wastes shall include substances that cause a film or sheen upon or discoloration of the surface of the water or adjoining shorelines, as described in 40 CFR 110.3, incorporated by reference including any
subsequent amendments and editions. This material is available free of charge at https://www.govinfo.gov. (11) Pesticides: (a) Aldrin: 0.003 ug/l; (b) Chlordane: 0.004 ug/l; (c) DDT: 0.001 ug/l; (d) Demeton: 0.1 ug/l; (e) Dieldrin: 0.002 ug/l; (f) Endosulfan: 0.009 ug/l;
(g) Endrin: 0.002 ug/l; (h) Guthion: 0.01 ug/l; (i) Heptachlor: 0.004 ug/l; (j) Lindane: 0.004 ug/l;
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(k) Methoxychlor: 0.03 ug/l;
(l) Mirex: 0.001 ug/l; (m) Parathion: 0.178 ug/l; and (n) Toxaphene: 0.0002 ug/l; (12) pH: shall be between 6.8 and 8.5, except that
swamp waters may have a pH as low as 4.3 if it is the result of natural conditions; (13) Phenolic compounds: only such levels as shall not result in fish-flesh tainting or impairment of
other best usage; (14) Polychlorinated biphenyls: (total of all PCBs
and congeners identified) 0.001 ug/l; (15) Radioactive substances, based on at least one sample collected per quarter: (a) Combined radium-226 and
radium-228: the average annual activity level for combined
radium-226, and radium-228 shall not exceed five picoCuries per liter; (b) Alpha Emitters: the average annual gross alpha particle activity (including
radium-226, but excluding radon and uranium) shall not exceed 15 picoCuries per liter; (c) Beta Emitters: the average annual activity level for strontium-90 shall not exceed eight picoCuries per liter,
nor shall the average annual gross beta particle activity (excluding potassium-40 and other naturally occurring radionuclides exceed 50 picoCuries per liter, nor shall the average annual activity level for
tritium exceed 20,000 picoCuries per liter; (16) Salinity: changes in salinity due to hydrological modifications shall not result in removal of the functions of a PNA. Projects that are determined by the Director to result in
modifications of salinity such that functions of a PNA are impaired shall employ water management practices to mitigate salinity impacts; (17) Temperature: shall not be increased above the natural water temperature by more than 0.8
degrees C (1.44 degrees F) during the months of June, July, and August, shall not be increased by more than 2.2 degrees C (3.96 degrees F) during other months, and shall in no case exceed 32 degrees C (89.6 degrees F) due to the discharge of heated liquids; (18) Trialkyltin compounds: 0.007 ug/l expressed as tributyltin; (19) Turbidity: the turbidity in the receiving water shall not exceed 25 Nephelometric Turbidity
Units (NTU); if turbidity exceeds this level due to natural background conditions, the existing turbidity level shall not be increased. Compliance with this turbidity standard shall be
deemed met when land management activities
employ Best Management Practices (BMPs), defined by Rule .0202 of this Section, recommended by the Designated Nonpoint Source Agency, as defined by Rule .0202 of this
Section. Authority G.S. 143-214.1; 143-215.3(a)(1). SECTION .0300 - ASSIGNMENT OF STREAM CLASSIFICATIONS
15A NCAC 02B .0301 CLASSIFICATIONS: GENERAL (a) The classifications assigned to the waters of the State of North Carolina are set forth in river basin classification schedules
provided at https://deq.nc.gov/about/divisions/water-resources/water-planning/classification-standards/river-basin-
classification and in Rules .0302 to .0317 of this Section. These classifications are based upon procedures described in Rule .0101 of this Subchapter. (b) Classifications. The classifications assigned to the waters of
North Carolina are denoted by the letters C, B, WS-I, WS-II, WS-III, WS-IV, WS-V, WL, SC, SB, SA, SWL, Tr, Sw, NSW, ORW, HQW, and UWL. The "best usage", as defined in Rule .0202 of this Subchapter, for each classification is defined in the rules as follows: (1) Fresh Waters Classifications:
(A) Class C: Rule .0211 of this Subchapter; (B) Class B: Rule .0219 of this Subchapter; (C) Class WS-I (Water Supply): Rule .0212 of this Subchapter;
(D) Class WS-II (Water Supply): Rule .0214 of this Subchapter; (E) Class WS-III (Water Supply): Rule .0215 of this Subchapter; (F) Class WS-IV (Water Supply): Rule .0216 of this Subchapter;
(G) Class WS-V (Water Supply): Rule .0218 of this Subchapter; and (H) Class WL (Wetlands): Rule .0231 of this Subchapter. (2) Tidal Salt Waters Classifications: (A) Class SC: Rule .0220 of this
Subchapter; (B) Class SB: Rule .0222 of this Subchapter; (C) Class SA: Rule .0221 of this Subchapter; and (D) Class SWL: Rule .0231 of this Subchapter. (3) Supplemental Classifications: (A) Class Tr (Trout Waters): Rule .0202 of this Subchapter;
(B) Class Sw (Swamp): Rule .0202 of this Subchapter;
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(C) Class NSW (Nutrient Sensitive
Waters): Rule .0223 of this Subchapter; (D) Class ORW (Outstanding Resource Waters): Rule .0225 of this
Subchapter; (E) Class HQW (High Quality Waters): Rule .0224 of this Subchapter; and (F) Class UWL (Unique Wetlands): Rule
.0231 of this Subchapter. (c) Water Quality Standards. The water quality standards
applicable to each classification assigned are those established in the rules of Section .0200 of this Subchapter. (d) Index Number. The index number is an identification number assigned to each stream or segment of a stream, indicating the
specific tributary progression between the main stem stream and tributary stream. The index number can be referenced to the
Division's river basin classification schedules (hydrologic and alphabetic) for each river basin. (e) Classification Date. The classification date indicates the date on which enforcement of the provisions of General Statutes 143-
215.1 became effective with reference to the classification assigned to the various streams in North Carolina. (f) Unnamed Streams. (1) Any stream that is not listed in a river basin classification schedule carries the same classification as that assigned to the stream
segment to which it is tributary except: (A) unnamed freshwaters tributary to tidal saltwaters will be classified "C"; or (B) after November 1, 1986, any areas of tidal saltwater created by dredging projects approved in accordance with
15A NCAC 07H .0208 and connected to Class SA waters shall be classified "SC" unless case-by-case reclassification proceedings are conducted per Rule .0101 of this Subchapter.
(2) In addition to Subparagraph (f)(1)(1) of this Rule, Paragraph, for unnamed streams entering other states states, tribes approved for treatment as a state and administering a U.S. Environmental Protection Agency approved water quality standards program, or for specific
areas of a river basin, the following Rules shall apply: (A) Hiwassee River Basin (Rule .0302 of this Section); (B) Little Tennessee River Basin and Savannah River Drainage Area (Rule .0303 of this Section); (C) French Broad River Basin (Rule .0304 of this Section); (D) Watauga River Basin (Rule .0305 of
this Section); (E) Broad River Basin (Rule .0306 of this Section);
(F) New River Basin (Rule .0307 of this
Section); (G) Catawba River Basin (Rule .0308 of this Section); (H) Yadkin-Pee Dee River Basin (Rule
.0309 of this Section); (I) Lumber River Basin (Rule .0310 of this Section); (J) Roanoke River Basin (Rule .0313 of
this Section); (K) Tar-Pamlico River Basin (Rule .0316
of this Section); and (L) Pasquotank River Basin (Rule .0317 of this Section).
Authority G.S. 143-214.1; 143-214.5; 143-215.1; 143-215.3(a)(1).
15A NCAC 02B .0311 CAPE FEAR RIVER BASIN (a) Classifications assigned to the waters within the Cape Fear River Basin are set forth in the Cape Fear River Basin
Classification Schedule, which may be inspected at the following places: (1) the Internet at https://deq.nc.gov/about/divisions/water-resources/water-planning/classification-standards/river-basin-classification; and
(2) the following offices of the North Carolina Department of Environmental Quality: (A) Winston-Salem Regional Office 450 West Hanes Mill Road Winston-Salem, North Carolina; (B) Fayetteville Regional Office
225 Green Street Systel Building Suite 714 Fayetteville, North Carolina; (C) Raleigh Regional Office 3800 Barrett Drive Raleigh, North Carolina;
(D) Washington Regional Office 943 Washington Square Mall Washington, North Carolina; (E) Wilmington Regional Office 127 Cardinal Drive Extension Wilmington, North Carolina; and
(F) Division of Water Resources Central Office 512 North Salisbury Street Raleigh, North Carolina. (b) The Cape Fear River Basin Classification Schedule was amended effective: (1) March 1, 1977; (2) December 13, 1979; (3) December 14, 1980; (4) August 9, 1981;
(5) April 1, 1982; (6) December 1, 1983; (7) January 1, 1985; (8) August 1, 1985;
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(9) December 1, 1985;
(10) February 1, 1986; (11) July 1, 1987; (12) October 1, 1987; (13) March 1, 1988;
(14) August 1, 1990. (c) The Cape Fear River Basin Classification Schedule was amended effective June 1, 1988 as follows: (1) Cane Creek [Index No. 16-21-(1)] from source
to a point 0.5 mile north of N.C. Hwy. 54 (Cane Reservoir Dam) including the Cane Creek
Reservoir and all tributaries has been reclassified from Class WS-III to WS-I. (2) Morgan Creek [Index No. 16-41-1-(1)] to the University Lake dam including University Lake
and all tributaries has been reclassified from Class WS-III to WS-I.
(d) The Cape Fear River Basin Classification Schedule was amended effective July 1, 1988 by the reclassification of Crane Creek (Crains Creek) [Index No. 18-23-16-(1)] from source to mouth of Beaver Creek including all tributaries from C to WS-III.
(e) The Cape Fear River Basin Classification Schedule was amended effective January 1, 1990 as follows: (1) Intracoastal Waterway (Index No. 18-87) from southern edge of White Oak River Basin to western end of Permuda Island (a line from Morris Landing to Atlantic Ocean), from the
eastern mouth of Old Topsail Creek to the southwestern shore of Howe Creek and from the southwest mouth of Shinn Creek to channel marker No. 153 including all tributaries except the King Creek Restricted Area, Hardison Creek, Old Topsail Creek, Mill Creek, Futch
Creek and Pages Creek were reclassified from Class SA to Class SA ORW. (2) Topsail Sound and Middle Sound ORW Area which includes all waters between the Barrier Islands and the Intracoastal Waterway located between a line running from the western most
shore of Mason Inlet to the southwestern shore of Howe Creek and a line running from the western shore of New Topsail Inlet to the eastern mouth of Old Topsail Creek was reclassified from Class SA to Class SA ORW. (3) Masonboro Sound ORW Area which includes
all waters between the Barrier Islands and the mainland from a line running from the southwest mouth of Shinn Creek at the Intracoastal Waterway to the southern shore of Masonboro Inlet and a line running from the Intracoastal Waterway Channel marker No. 153 to the southside of the Carolina Beach Inlet was reclassified from Class SA to Class SA ORW. (f) The Cape Fear River Basin Classification Schedule was amended effective January 1, 1990 as follows: Big Alamance
Creek [Index No. 16-19-(1)] from source to Lake Mackintosh Dam including all tributaries has been reclassified from Class WS-III NSW to Class WS-II NSW.
(g) The Cape Fear River Basin Classification Schedule was
amended effective August 3, 1992 with the reclassification of all water supply waters (waters with a primary classification of WS-I, WS-II or WS-III). These waters were reclassified to WS-I, WS-II, WS-III, WS-IV or WS-V as defined in the revised water supply
protection rules (15A NCAC 02B .0100, .0200 and .0300), which became effective on August 3, 1992. In some cases, streams with primary classifications other than WS were reclassified to a WS classification due to their proximity and linkage to water supply
waters. In other cases, waters were reclassified from a WS classification to an alternate appropriate primary classification
after being identified as downstream of a water supply intake or identified as not being used for water supply purposes. (h) The Cape Fear River Basin Classification Schedule was amended effective June 1, 1994 as follows:
(1) The Black River from its source to the Cape Fear River [Index Nos. 18-68-(0.5), 18-68-(3.5)
and 18-65-(11.5)] was reclassified from Classes C Sw and C Sw HQW to Class C Sw ORW. (2) The South River from Big Swamp to the Black River [Index Nos. 18-68-12-(0.5) and 18-68-
12(11.5)] was reclassified from Classes C Sw and C Sw HQW to Class C Sw ORW. (3) Six Runs Creek from Quewhiffle Swamp to the Black River [Index No. 18-68-2] was reclassified from Class C Sw to Class C Sw ORW.
(i) The Cape Fear River Basin Classification Schedule was amended effective September 1, 1994 with the reclassification of the Deep River [Index No. 17-(36.5)] from the Town of Gulf-Goldston water supply intake to US highway 421 including associated tributaries from Class C to Classes C, WS-IV and WS-IV CA.
(j) The Cape Fear River Basin Classification Schedule was amended effective August 1, 1998 with the revision to the primary classification for portions of the Deep River [Index No. 17-(28.5)] from Class WS-IV to Class WS-V, Deep River [Index No. 17-(41.5)] from Class WS-IV to Class C, and the Cape Fear River [Index 18-(10.5)] from Class WS-IV to Class WS-V.
(k) The Cape Fear River Basin Classification Schedule was amended effective April 1, 1999 with the reclassification of Buckhorn Creek (Harris Lake)[Index No. 18-7-(3)] from the backwaters of Harris Lake to the Dam at Harris Lake from Class C to Class WS-V. (l) The Cape Fear River Basin Classification Schedule was
amended effective April 1, 1999 with the reclassification of the Deep River [Index No. 17-(4)] from the dam at Oakdale-Cotton Mills, Inc. to the dam at Randleman Reservoir (located 1.6 mile upstream of U.S. Hwy 220 Business), and including tributaries from Class C and Class B to Class WS-IV and Class WS-IV & B. Streams within the Randleman Reservoir Critical Area have been reclassified to WS-IV CA. The Critical Area for a WS-IV reservoir is defined as 0.5 mile and draining to the normal pool elevation of the reservoir. All waters within the Randleman Reservoir Water Supply Watershed are within a designated
Critical Water Supply Watershed and are subject to a special management strategy specified in Rule .0248 of this Subchapter. (m) The Cape Fear River Basin Classification Schedule was amended effective August 1, 2002 as follows:
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(1) Mill Creek [Index Nos. 18-23-11-(1), 18-23-
11-(2), 18-23-11-3, 18-23-11-(5)] from its source to the Little River, including all tributaries was reclassified from Class WS-III NSW and Class WS-III B NSW to Class WS-
III NSW HQW@ and Class WS-III B NSW HQW@. (2) McDeed's Creek [Index Nos. 18-23-11-4, 18-23-11-4-1] from its source to Mill Creek,
including all tributaries was reclassified from Class WS III NSW and Class WS-III B NSW to
Class WS-III NSW HQW@ and Class WS-III B NSW HQW@. The "@" symbol as used in this Paragraph means that if the governing municipality has deemed that a development is covered
under a "5/70 provision" as described in Rule .0215(3)(b)(i)(E) of this Subchapter, then that development is not subject to the
stormwater requirements as described in 15A NCAC 02H .1006. (n) The Cape Fear River Basin Classification Schedule was amended effective November 1, 2004 as follows: (1) the portion of Rocky River [Index Number 17-
43-(1)] from a point 0.3 mile upstream of Town of Siler City upper reservoir dam to a point 0.3 mile downstream of Lacy Creek from WS-III to WS-III CA. (2) the portion of Rocky River [Index Number 17-43-(8)] from dam at lower water supply
reservoir for Town of Siler City to a point 65 feet below dam (site of proposed dam) from C to WS-III CA. (3) the portion of Mud Lick Creek (Index No. 17-43-6) from a point 0.4 mile upstream of Chatham County SR 1355 to Town of Siler City
lower water supply reservoir from WS-III to WS-III CA. (4) the portion of Lacy Creek (17-43-7) from a point 0.6 mile downstream of Chatham County SR 1362 to Town of Siler City lower water supply reservoir from WS-III to WS-III CA.
(o) The Cape Fear River Basin Classification Schedule was amended effective November 1, 2007 with the reclassifications listed below, and the North Carolina Division of Water Resources maintains a Geographic Information Systems data layer of these UWLs. (1) Military Ocean Terminal Sunny Point Pools, all
on the eastern shore of the Cape Fear River [Index No. 18-(71)] were reclassified to Class WL UWL. (2) Salters Lake Bay near Salters Lake [Index No. 18-44-4] was reclassified to Class WL UWL. (3) Jones Lake Bay near Jones Lake [Index No. 18-46-7-1] was reclassified to Class WL UWL. (4) Weymouth Woods Sandhill Seep near Mill Creek [18-23-11-(1)] was reclassified to Class WL UWL.
(5) Fly Trap Savanna near Cape Fear River [Index No. 18-(71)] was reclassified to Class WL UWL.
(6) Lily Pond near Cape Fear River [Index No. 18-
(71)] was reclassified to Class WL UWL. (7) Grassy Pond near Cape Fear River [Index No. 18-(71)] was reclassified to Class WL UWL. (8) The Neck Savanna near Sandy Run Swamp
[Index No. 18-74-33-2] was reclassified to Class WL UWL. (9) Bower's Bog near Mill Creek [Index No. 18-23-11-(1)] was reclassified to Class WL UWL.
(10) Bushy Lake near Turnbull Creek [Index No. 18-46] was reclassified to Class WL UWL.
(p) The Cape Fear River Basin Classification Schedule was amended effective January 1, 2009 as follows: (1) the portion of Cape Fear River [Index No. 18-(26)] (including tributaries) from Smithfield
Packing Company's intake, located approximately 2 miles upstream of County
Road 1316, to a point 0.5 miles upstream of Smithfield Packing Company's intake from Class C to Class WS-IV CA. (2) the portion of Cape Fear River [Index No.18-
(26)] (including tributaries) from a point 0.5 miles upstream of Smithfield Packing Company's intake to a point 1 mile upstream of Grays Creek from Class C to Class WS-IV. (q) The Cape Fear River Basin Classification Schedule was amended effective August 11, 2009 with the reclassification of all
Class C NSW waters and all Class B NSW waters upstream of the dam at B. Everett Jordan Reservoir from Class C NSW and Class B NSW to Class WS-V NSW and Class WS-V & B NSW, respectively. All waters within the B. Everett Jordan Reservoir Watershed are within a designated Critical Water Supply Watershed and are subject to a special management strategy
specified in Rules .0262 through .0273 of this Subchapter. (r) The Cape Fear River Basin Classification Schedule was amended effective September 1, 2009 with the reclassification of a portion of the Haw River [Index No. 16-(28.5)] from the Town of Pittsboro water supply intake, which is located approximately 0.15 mile west of U.S. 15/501, to a point 0.5 mile upstream of the
Town of Pittsboro water supply intake from Class WS-IV to Class WS-IV CA. (s) The Cape Fear River Basin Classification Schedule was amended effective March 1, 2012 with the reclassification of the portion of the Haw River [Index No. 16-(1)] from the City of Greensboro's intake, located approximately 650 feet upstream of
Guilford County 2712, to a point 0.5 miles upstream of the intake from Class WS-V NSW to Class WS-IV CA NSW, and the portion of the Haw River [Index No. 16-(1)] from a point 0.5 miles upstream of the intake to a point 0.6 miles downstream of U.S. Route 29 from Class WS-V NSW to Class WS-IV NSW. (t) The Cape Fear River Basin Classification Schedule was amended effective June 30, 2017 with the reclassification of a section of 18-(71) from upstream mouth of Toomers Creek to a line across the river between Lilliput Creek and Snows Cut from Class SC to Class SC Sw. A site-specific management strategy is
outlined in 15A NCAC 02B .0227. (u) The Cape Fear River Basin Classification Schedule was amended effective September 1, 2019 with the reclassification of a portion of Sandy Creek [Index No. 17-16-(1)] (including
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tributaries) from a point 0.4 mile upstream of SR-2481 to a point
0.6 mile upstream of N.C. Hwy 22 from WS-III to WS-III CA. The reclassification resulted in an updated representation of the water supply watershed for the Sandy Creek reservoir.
Authority G.S. 143-214.1; 143-215.1; 143-215.3(a)(1). * * * * * * * * * * * * * * * * * * * *
Notice is hereby given in accordance with G.S. 150B-21.2 and G.S. 150B-21.3A(c)(2)g. that the Wildlife Resources Commission
intends to amend the rules cited as 15A NCAC 10F .0317, .0327, .0329, readopt with substantive changes the rules cited as 15A NCAC 10C .0315; 10I .0103-.0105, and readopt without substantive changes the rules cited as 15A NCAC 10C .0302,
.0307, .0309-.0312, .0317, .0319, .0320, .0501-.0503, and .0601-.0603.
Pursuant to G.S. 150B-21.2(c)(1), the text of the rule(s) proposed for readoption without substantive changes are not required to be published. The text of the rules are available on the OAH website:
http://reports.oah.state.nc.us/ncac.asp. Link to agency website pursuant to G.S. 150B-19.1(c): https://www.ncwildlife.org/Proposed-Regulations Proposed Effective Date: September 1, 2021
Public Hearing: Date: June 7, 2021 Time: 2:00 p.m. Location: 10F Rules - Register online here: https://ncwildlife-
org.zoomgov.com/webinar/register/WN_acrgv_qBTEWKZldCke0lsA Join by phone toll free (888-788-0099 or 877-853-5247) using Webinar ID: 161 266 7187 Date: June 9, 2021 Time: 2:00 PM Location: 10C Rules - Register online here: https://ncwildlife-org.zoomgov.com/webinar/register/WN_FwROKUUYQr-iEh6tQNJeIw Join by phone toll free (888-788-0099 or 877-853-5247) using Webinar ID: 160 845 1127 Date: June 2, 2021 Time: 2:00 PM Location: 10I Rules - Register online here: https://ncwildlife-org.zoomgov.com/webinar/register/WN_f0ZX3M7-Qm-rjY9unppijg Join by phone toll free (888-788-0099 or 877-853-5247) using Webinar ID: 160 898 5231 Reason for Proposed Action: Pursuant to 150B-21.3A, the agency is required to readopt 10C and 10I rules as part of the
periodic review process. Changes to the 10F rules were requested by counties for no wake zones to enhance public safety.
Comments may be submitted to: Rulemaking Coordinator,
1701 Mail Service Center, Raleigh, NC 27699; email regulations@ncwildlife.org Comment period ends: July 16, 2021
Procedure for Subjecting a Proposed Rule to Legislative Review: If an objection is not resolved prior to the adoption of the rule, a person may also submit written objections to the Rules
Review Commission after the adoption of the Rule. If the Rules Review Commission receives written and signed objections after
the adoption of the Rule in accordance with G.S. 150B-21.3(b2) from 10 or more persons clearly requesting review by the legislature and the Rules Review Commission approves the rule, the rule will become effective as provided in G.S. 150B-21.3(b1).
The Commission will receive written objections until 5:00 p.m. on the day following the day the Commission approves the rule.
The Commission will receive those objections by mail, delivery service, hand delivery, or facsimile transmission. If you have any further questions concerning the submission of objections to the Commission, please call a Commission staff attorney at 919-431-
3000. Fiscal impact. Does any rule or combination of rules in this notice create an economic impact? Check all that apply. State funds affected Local funds affected Substantial economic impact (>= $1,000,000) Approved by OSBM No fiscal note required CHAPTER 10 - WILDLIFE RESOURCES AND WATER SAFETY
SUBCHAPTER 10C - INLAND FISHING REGULATIONS SECTION .0300 - GAME FISH 15A NCAC 10C .0302 MANNER OF TAKING INLAND GAME FISHES (READOPTION WITHOUT SUBSTANTIVE CHANGES) 15A NCAC 10C .0307 FLOUNDER, SEA TROUT, AND RED DRUM (READOPTION WITHOUT SUBSTANTIVE CHANGES)
15A NCAC 10C .0309 MUSKELLUNGE (READOPTION WITHOUT SUBSTANTIVE CHANGES) 15A NCAC 10C .0310 PICKEREL (READOPTION WITHOUT SUBSTANTIVE CHANGES) 15A NCAC 10C .0311 ROANOKE AND ROCK BASS (READOPTION WITHOUT SUBSTANTIVE CHANGES) 15A NCAC 10C .0312 SAUGER (READOPTION WITHOUT SUBSTANTIVE CHANGES)
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Regulatory Impact Analysis
Rule Topic: 2020-2022 Triennial Review -- Surface Water Quality Standards Rule Citations: 15A NCAC 02B .0202 – Definitions 15A NCAC 02B .0208 – Standards for Toxic Substances and Temperature 15A NCAC 02B .0211 – Fresh Surface Water Quality Standards for Class C Waters
15A NCAC 02B .0212 – Fresh Surface Water Quality Standards for Class WS-I Waters 15A NCAC 02B .0214 – Fresh Surface Water Quality Standards for Class WS-II Waters 15A NCAC 02B .0215 – Fresh Surface Water Quality Standards for Class WS-III
Waters 15A NCAC 02B .0216 – Fresh Surface Water Quality Standards for Class WS-IV Waters 15A NCAC 02B .0218 – Fresh Surface Water Quality Standards for Class WS-V
Waters
15A NCAC 02B .0219 – Fresh Surface Water Quality Standards for Class B Waters 15A NCAC 02B .0220 – Tidal Salt Water Quality Standards for Class SC Waters 15A NCAC 02B .0301 – Classifications: General
15A NCAC 02B .0311 – Cape Fear River Basin
DEQ Division: Division of Water Resources (DWR) Staff Contacts: Connie Brower, Water Quality Standards Coordinator, DWR
Connie.Brower@ncdenr.gov
(919) 707-3686 Chris Ventaloro, Water Quality Standards Co-coordinator, DWR Christopher.Ventaloro@ncdenr.gov
(919) 707-9016
Julie Ventaloro, Economist, DWR Julie.Ventaloro@ncdenr.gov (919) 707-9117
Impact Summary: State government: Net benefits to DEQ due to switch from Fecal Coliform (FC) to E. Coli pathogen indicator (02B .0219). Local government: Net benefits due to revised Cadmium and Cyanide
standards; potential zero to minimal costs due to revised
Selenium standard (02B .0211; 02B .0220). Federal government: No impact.
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Private entities: Net benefits due to revised Cadmium and Cyanide
standards; potential zero to minimal costs due to revised
Selenium standard (02B .0211; 02B .0220). Substantial Impact: Total annual economic impact (costs + benefits) is not projected to exceed > $1,000,000.
Authority: N.C.G.S. 143-214.1 and 215.3(a) Necessity: To comply with the Clean Water Act (CWA) which requires that states and tribes evaluate and revise, as necessary, water quality standards at least once every three
years. This process is known as the “Triennial Review.” Appendices: References Lists of NPDES wastewater permits with limits Proposed rule text 1. EXECUTIVE SUMMARY The purpose of this document is to provide an analysis of the fiscal impacts associated with proposed amendments to the surface water quality standards (or “the standards”) in Rules 15A NCAC 02B .0200 and .0300. The amendments are in compliance with Section 303(c)(1) of the Clean Water Act which
requires that states and tribes evaluate and revise, as necessary, water quality standards at least once
every three years. This process is known as the “Triennial Review.” Revision of the subject rules is required by the Clean Water Act to ensure that the standards reflect the current state of the science with regard to protective health and toxicological information. The proposed
revisions will allow North Carolina to better protect human health and aquatic life, thereby continuing
to meet the objectives of the Clean Water Act. In addition to several minor technical changes and rule language updates, DWR is proposing revisions and additions to numeric and narrative standards for the following substances:
• 1,4-dioxane: Codify existing “in-stream target values” (ITVs) as standards for freshwater fish consumption and water supply waters;
• Selenium: Revise aquatic life freshwater standard;
• Cadmium: Revise aquatic life freshwater and saltwater standards;
• Cyanide: Revise aquatic life freshwater standard;
• E. coli: Replace FC bacterial indicator with E. coli for Class B waters in the Asheville
Regional Office area. In accordance with the Clean Water Act, the proposed amendments to 15A NCAC 02B .0200 and .0300 comprise the state’s 2020-2022 Triennial Review of surface water quality standards.
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As part of the North Carolina rulemaking process, North Carolina General Statute 150B-19.1 requires
agencies to quantify to the “greatest extent possible” the costs and benefits to affected parties of a
proposed rule. The agency anticipates that if the surface water quality standards are adopted as proposed, the changes would result in the following direct, near-term economic impacts:
• The changes to the cadmium and cyanide standards are likely to result in significant benefits to a
small number of local government and private entities in the form of avoided costs due to reduced wastewater treatment and discharge monitoring requirements. Cost savings to additional permitted NPDES wastewater facilities are possible for either of these parameters but are less likely for cyanide;
• The addition of the E. coli standard is likely to result in modest net benefits to the DEQ laboratory in Asheville in the form of opportunity cost savings, despite the higher cost of the preferred Colilert® test method as compared to fecal coliform by membrane filtration method. Although we did not attempt to monetize cost savings to commercial laboratories, they could see
similar cost savings if they choose to use the Colilert® method; and
• Minimal costs to a small number of NPDES wastewater dischargers are possible, but unlikely, due to the change to the selenium standard. Due to data limitations, there is uncertainty about
whether additional permittees will be impacted, but we are reasonably certain that unanticipated
impacts will be small. These estimates were based on the best available data and reasonable assumptions. The Division was not able to analyze all potentially impacted permits due to staff and time constraints. For the permits for
which we were able to perform more in-depth analyses, there are unknown variables that could result in
different outcomes at the time of permit renewal. Based on our best available information and acknowledging the limitations of our analyses, we estimate that the quantified net economic impact (benefits minus costs) to regulated parties, local government and state government is approximately $3.96 million Net Present Value (NPV) over a 10-year period using 2021 dollars discounted at a rate
of 7%.
In addition to the quantified impacts to regulated parties and state government, we anticipate the following indirect, long-term unquantified impacts to human health and the environment:
• Positive impacts to aquatic life are possible from potential, but unlikely, reductions (or avoided increases) in selenium concentrations in wastewater discharges. Reductions (or avoided increases) in selenium could also positively impact aquatic habitat which supports commercial and recreational fisheries. These potential impacts are unlikely due to the fact that the facilities most likely to receive new treatment requirements (based on reasonable potential analyses) are
planning to retire their operations before permit renewal or anticipated schedules of compliance would go into effect;
• Positive impacts to aquatic life are possible from more accurate assessment of waterbodies for
impairment for selenium based on the new fish tissue standard and the lower water column
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standard. It is reasonable to expect that the revised selenium standard will be a factor in future
assessments and possible TMDL development;
• Positive impacts to aquatic life are possible, but unlikely, as a result of more accurate assessment of waterbodies for impairment for pathogenic indicators using E. coli. This potential impact is unlikely because the adoption of the E. coli standard is not expected to increase the potential for development of TMDLs as compared to the fecal coliform standard;
• It is reasonable to expect future positive impacts to human health as a result of assessment of waterbodies for impairment and possible TMDL development for 1,4-dioxane;
• There are likely substantial ongoing human health benefits due to implementation of the 1,4-dioxane ITVs, which will be unchanged by codifying the existing ITVs into rule. Since these impacts from regulating 1,4-dioxane are ongoing and are not the result of the proposed rulemaking, we have not included benefit/cost estimates for 1,4-dioxane in this analysis;
• The higher (less stringent) freshwater cadmium standard will not result in unacceptable toxicity effects to aquatic organisms; and
• The change to the cyanide standard will provide at least equivalent environmental protection.
2. BACKGROUND 2.1 Purpose
The purpose of the water quality standards is to protect surface waters from the deleterious effects of pollution. Surface waters are protected based on their established "uses." Each surface water in the State receives a classification that defines the uses that apply and the water quality standards established to protect those uses. The classifications and standards are codified in the subject rules. 2.2 What are “water quality standards”? Water quality standards are “provisions of state, territorial, authorized tribal or federal law approved by the U.S. Environmental Protection Agency (EPA) that describe the desired condition of a water body and the means by which that condition will be protected or achieved.”1 The
standards consist of three required components:
• designated uses of a water body such as “aquatic life propagation and survival,” “recreation,” “shellfishing,” and “drinking water;”
• water quality criteria necessary to protect the designated uses; and
• antidegradation requirements.
1 https://www.epa.gov/standards-water-body-health/what-are-water-quality-standards
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The North Carolina Environmental Management Commission (EMC) assigns classifications to all
surface waters in North Carolina to protect the waterbodies for their designated uses. Existing
rules establish the human and environmental health protection levels (e.g., cancer risk level from water consumption or fish mortality rate) that correspond with the most sensitive designated use of a water body. These use-based protection levels set the “goal posts” for the water quality criteria and remain unchanged.
The criteria (or “standards”) are established as numeric values or narrative statements. Numeric standards establish a pollutant concentration value, or range of values, that are deemed to provide the level of protection defined by those pre-established “goal posts” (e.g., the proposed standard for cadmium in tidal waters is 7.9 ug/L for a chronic exposure for aquatic life). Narrative
standards establish a broader descriptive protection, usually to address more complex scenarios
where a numeric value is not feasible (e.g., “oils, deleterious substances, or colored or other wastes: only such amounts as shall not . . . impair the uses”). In addition to the required components, the Clean Water Act allows states and tribes to include additional components within the standards such as variances and mixing zones. Also, the
narrative standard for toxics, as described in 15A NCAC 02B .0208, provides instructions for calculating numeric values, referred to here as In-stream Target Values (ITVs), for circumstances where regulatory values are required for substances that do not have existing surface water quality standards. ITVs are an important component of this analysis; they are discussed in Section 6 of this document.
Water quality standards are adopted into rule through the Triennial Review process. 2.3 Triennial Review Process
Under Section 303(c)(1) of the Clean Water Act, North Carolina is delegated the authority to establish water quality standards to protect human health and the aquatic environment. Under the federal delegation, North Carolina is expected to adopt water quality standards to protect all uses of the waters of the State. The requirements to develop and adopt appropriate classifications and standards are delegated to the EMC under North Carolina General Statutes 143-214.1 and
215.3(a). In accordance with these statutes, the EMC must consider the same designated uses and protections as directed by the federal government. The Triennial Review process itself typically takes three years to complete and consists of the following steps:
(1) development of scientifically defensible criteria for specific chemicals or water quality characteristics (e.g., pH, DO, turbidity, etc.). This includes a review of EPA National Recommended Water Quality Criteria (NRWQC)2. The NRWQC are criteria published by EPA to assist states in establishing water quality standards for substances of national concern.
Criteria are expressed as concentrations, levels, or narrative statements representing a quality
2 https://www.epa.gov/wqc/national-recommended-water-quality-criteria-tables
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of water that protects a particular use. When criteria are met, water quality will generally
protect the designated use. For purposes of this document, we use the terms “criteria” and
“standards” interchangeably. In addition to reviewing the NRWQC and associated scientific information, DEQ considers other topics of interest to North Carolina, such as 1,4-dioxane. DEQ-DWR staff consult with
various programs within DEQ as well as with other North Carolina state agencies (such as
DHHS), universities, federal agencies (such as U.S. Fish and Wildlife Service and EPA), other states’ environmental agencies, non-profit organizations and other stakeholder groups to gauge the needs of, or impacts to, various water quality protection programs. (2) development of a Regulatory Impact Analysis to examine potential costs and benefits to the
environment, regulated parties, and resource users;
(3) public hearing and comment period; (4) review and response to public comment; (5) adoption of the proposed criteria and standards into rule by the EMC; (6) review and approval of the rule amendments by the NC Rules Review Commission (RRC); and
(7) review and approval of the adopted standards by the EPA. DEQ anticipates holding public hearings for this proposed rulemaking no earlier than July 2021 and adoption into state rule no earlier than January 2022. We expect submittal to EPA no earlier than February 2022.
2.4 National Recommended Water Quality Criteria (NRWQC) The proposed rule revisions, which include updates to standards for two metals (cadmium and selenium), the addition of an optional analysis method for cyanide, and the replacement of the fecal
coliform recreational bacterial indicator with E. coli for Class B waters in the Asheville Regional Office area, will bring North Carolina into alignment with the substances’ respective EPA National Recommended Water Quality (NRWQC). Note that there is not currently a NRWQC for 1,4-dioxane -- the proposed codification of NC’s existing ITV for 1,4-dioxane will address a contaminant of emerging concern in North Carolina waters.
The NRWQC are based on toxicity data and risk analysis (scientific judgments about the relationship between the pollutant concentrations and environmental and human health effects). As the scientific body of knowledge evolves and new toxicity data become available for inclusion into the assessment, the EPA revises its NRWQC to reflect the most current scientifically defensible
information. Changes to NRWQC are peer reviewed and go through a public review process. These criteria are published by the EPA under the requirements of Clean Water Act Section 304(a). EPA NRWQC do not reflect consideration of economic impacts nor the technological feasibility of meeting the chemical concentrations in ambient water.
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2.5 Regulatory Programs that use the Surface Water Quality Standards
The standards are the foundation for various state water quality protection programs required by the Clean Water Act. They “establish the environmental baselines used for measuring the success of Clean Water Act programs” 3 and serve different purposes depending on the program, as follows:
2.5.1 NPDES Wastewater (direct and indirect dischargers)
The standards provide the regulatory basis for calculating water quality-based effluent limits for National Pollutant Discharge Elimination System (NPDES) wastewater permitting (including the Pretreatment Program). Water-quality based effluent limits, or
“WQBELs,” are permit limits that are based on surface water quality standards as opposed
to limits based on treatment performance standards (technology-based effluent limits or “TBELS”). WQBELs are specific to each discharge and its receiving stream. To determine the appropriate WQBELs for a given permit, the Division performs a Reasonable Potential Analysis (RPA) for each parameter of concern. An RPA helps the
Division determine if a discharge has a reasonable potential to cause an exceedance of water quality standards in its receiving stream. RPAs are conducted at issuance and at each permit renewal, using the then-current characteristics of the discharger’s effluent and the receiving stream. The RPA calculations are repeated for each parameter of concern and its respective standard. Each RPA consists of calculating the maximum predicted effluent
concentration for the metal of concern, based on actual effluent data from the facility, and the maximum allowable effluent concentration based on the surface water standard and the dilution available in the stream under low-flow conditions. Each RPA results in one of three determinations: 1) that a permit limit is warranted to
protect water quality; 2) that a limit is not warranted but the substance is present in such concentrations that monitoring, but no limit, is advised; or 3) that no limit or monitoring is necessary. If a discharge is subject to both technology-based limits and one or more water quality-based limits for the same substance, the most stringent limitation is included in the facility’s NPDES permit.
Effluent limits based on chronic standards (long-term impacts) are set as monthly average limits in the permit. Those based on acute standards (short-term impacts) are generally set as weekly average limits for publicly owned facilities and as daily maximum limits for private facilities. The NPDES program uses the same RPA methodology with all wastewater permits. The methodology has been approved by
the EPA as being consistent with its national guidance4.
The same way DEQ’s NPDES program must routinely re-evaluate discharge limits and other permit requirements, municipalities with local pretreatment programs must
3 https://www.epa.gov/sites/production/files/2014-10/documents/handbook-chapter1.pdf 4 Technical Support Document for Water Quality-Based Toxics Control, EPA Document Number 505/2-90-001, March, 1991. https://www3.epa.gov/npdes/pubs/owm0264.pdf
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evaluate whether, in addition to plant improvements and other measures, it is necessary
to set limits on their significant industrial users in order for the Publicly-owned
Treatment Works (POTWs) to comply with their limits.
POTWs with local pretreatment programs issue and administer local permits that are generally similar to the NPDES permits issued by DWR. Limits in local permits can be based on categorical pretreatment standards (if applicable) or Headworks Analyses calculated to prevent interference, pass-through, or sludge contamination. If a parameter
is subject to more than one limit based on these objectives, the more stringent of the limits applies, just as with technology- and water quality-based limitations in NPDES permits.
Currently, there are 1,094 active NPDES permits. Of these, 114 local governments administer pretreatment programs for 137 POTWs (out of approx. 292 POTWs). These local pretreatment programs regulate approximately 592 Significant Industrial Users
(SIUs) and other non-domestic wastewater sources, commonly known as ‘indirect
dischargers.’ 2.5.2 NPDES Stormwater The standards are often used for deriving benchmark monitoring values for NPDES
industrial stormwater permitting. Benchmarks are written into permits to provide a guideline for determining the potential of the stormwater discharge to cause toxic impacts to the surface waters of the state. Stormwater benchmarks are not enforceable effluent limits. This difference is important because exceeding a wastewater effluent limit is a violation of permit, whereas exceeding a stormwater benchmark triggers a tiered response
action on the part of the permittee. Exceedances of stormwater benchmarks may trigger a variety of stormwater pollution prevention actions and sometimes more frequent monitoring.
Stormwater benchmarks most often reflect acute aquatic life water quality standards.
Acute standards are more frequently used to assess the potential for stormwater impacts
to surface waters as the exposure scenarios of aquatic life to stormwater discharges are expected to be episodic due to the nature of stormwater flows. Chronic aquatic life standards and human health standards protect for a more constant, long-term exposure to a pollutant, which is often not appropriate for general stormwater exposures and,
therefore, are not normally used in stormwater permitting unless a site-specific situation
necessitates it. 2.5.3 Groundwater Protection
The surface water standards are used indirectly in various programs whose primary goal is
to protect groundwater quality. For example, the standards are used for classifying the risk level of known discharges or releases from groundwater remediation sites that intercept surface waters. Groundwater remediation projects are designed such that they prevent violations of the surface water standards, which can result from an improperly managed
discharge from the remediation project. These projects are most often under the
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administration of the Division of Waste Management (landfills, hazardous waste,
underground storage tanks, etc), although the Division of Water Resources does administer
some permits related to groundwater remediation. DWR also administers the Non-discharge Program which permits sites for land application of biosolids among other things. Some permits under these programs have components that require monitoring of adjacent surface waters.
2.5.4 Assessment and Listing of Impaired Waters - 303(d)
The standards are used to help identify designated use impairments for listing waterbodies on the 303(d) Impaired Waters List. Water quality assessment is the process of collecting data and using that data to assess the quality of surface waters. The assessed waters are placed into one of five categories that describe the status of water quality. Assessment is
conducted in three parts:
1) Collection of water quality data by DWR ambient monitoring staff and the NPDES Coalition Monitoring Program.5 The Ambient Monitoring System (AMS) is a network of sampling stations established to provide site-specific, long-term water quality information
on rivers, streams, and estuaries throughout North Carolina. Stations are visited regularly
for the collection of a variety of physical, chemical, and bacterial pathogen samples and measurements. The AMS program has been active for over 40 years and currently has 329 active AMS stations located in all 17 major river basins of the state. Another component of the AMS program is the Random Ambient Monitoring System (RAMS) program. The
RAMS program has been active for 14 years and serves to provide monitoring at random
locations throughout the state, usually for smaller streams that are not normally sampled. About 30 RAMS stations are monitored regularly for a period of two years after which they are retired and new random stations are selected.
The NPDES Coalition Monitoring Program is a voluntary, discharger-led, ambient
monitoring program that provides an effective and efficient means for assessing water quality in a watershed context. A monitoring coalition is a group of NPDES dischargers that combine resources to collectively fund and perform an instream monitoring program in lieu of performing the instream monitoring required by their individual NPDES permits.
The collaboration frequently reduces monitoring costs for an individual discharger by
sharing the burden across the coalition;
2) Development of the assessment methodology to describe how many exceedances of water quality standards a waterbody can have for a particular pollutant within a specified date range; and
3) Comparison of the water quality sampling data to the water quality standard using the assessment methodology to determine if it is “impaired.” Each monitored waterbody
5 https://deq.nc.gov/about/divisions/water-resources/water-resources-data/water-sciences-home-page/ecosystems-branch/monitoring-coalition-program
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receives an assessment every two years. The assessment helps DWR use state resources
more efficiently by focusing our efforts on waters that need the most improvement.
2.5.5 TMDLs
The standards are used as water quality targets for the development of Total Maximum Daily Loads (TMDLs). The TMDL Program6 is a federal program authorized under the Clean Water Act to address waters that are not meeting water quality standards. A
TMDL is a calculation of the maximum amount of a pollutant that a waterbody can
receive and still meet water quality standards. The TMDL is then used to establish limits on sources of the pollutant which are classified as either point sources (waste load allocation) or nonpoint sources (load allocation).
Once a TMDL is approved by the EPA, the pollution limits calculated for the waste load allocation (point sources) are enforced under the state NPDES program through permitting. For example, in a waterbody with a TMDL, a wastewater treatment plant may be required to implement additional treatment technology.
3. REGULATORY BASELINE As part of the permanent rulemaking process, North Carolina General Statute 150B-19.1 requires agencies to quantify to the “greatest extent possible” the costs and benefits to affected parties of a proposed rule. To understand what the costs and benefits of the proposed rule changes would be to
regulated parties and the environment, it is necessary to establish a regulatory baseline for comparison.
For the purpose of this regulatory impact analysis, the baseline is comprised of the following:
▪ the most current version of rules in Sections 15A NCAC 02B .0100, .0200, and .0300 (effective Nov 1, 2019); and
▪ the in-stream target values (ITVs) for 1,4-dioxane, which are calculated from the translator
equations in Rule 15A NCAC 02B .0208, and which are enforced as standards in compliance with Clean Water Act 40 CFR Part 131.11. The current rules, which include narrative and numeric water quality standards, comprise the baseline for
comparing the relative costs and benefits of the updated standards; however, it should be noted that the
standards themselves do not have a direct impact on regulated parties or the environment. It is through their application in permits (e.g., wastewater effluent limits, stormwater benchmarks) and waterbody impairment assessments that their impact is realized. For this reason, this analysis takes into account how the standards are currently being implemented in various regulatory programs and considers
implementation of the standards a part of the baseline.
6 https://deq.nc.gov/about/divisions/water-resources/planning/modeling-assessment/tmdls
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Other regulations and legal limitations that alleviate the impact of the proposed rule changes include:
▪ N.C. General Statute, Chapter 143, Article 21 which grants authority to DEQ and EMC to administer federally- mandated environmental management programs; and
▪ Clean Water Act 40 CFR Part 131.
4. SUMMARY OF PROPOSED RULE AMENDMENTS
The following tables contain summaries of each proposed rule change and its anticipated economic and environmental impact. The only changes that are substantive are related to the codification or revision of numeric standards. Those changes are discussed in greater detail in the sections that follow. All other changes are technical in nature and will not impose an additional
burden on the regulated community, state agencies, or local governments.
Table 1: Summary of proposed changes to 15A NCAC 02B, Section .0200
Rule Proposed Change Economic Impact Environment Impact
15A NCAC 02B .0202 Definitions • Define “lentic” and “lotic.”
• Refine “industrial discharge.”
None No change
15A NCAC 02B .0208 Standards for Toxic Substances and Temperature
• Codify existing ITV to a freshwater standard for fish consumption for 1,4- dioxane.
None † Likely indirect, long-term benefit to human health* †
15A NCAC 02B .0211 Fresh Surface Water Quality Standards for Class C Waters
• Revise aquatic life freshwater standard for selenium.
Potential but unlikely small to significant cost to permittees †
Potential but unlikely near-term direct benefit to aquatic life; long-term indirect benefit likely †
• Revise aquatic life freshwater standard for cadmium.
Potential likely significant benefit to permittees†
Continues to prevent unacceptable toxicity effects to aquatic life†
• Revise aquatic life freshwater standard for cyanide.
Potential likely significant benefit to permittees†
At least equivalent environmental protection†
15A NCAC 02B .0212 Fresh Surface Water Quality Standards for Class WS-I Waters
• Codify existing ITV to a standard for water supply waters for 1,4-dioxane. None † Possible indirect, long-term benefit to human health* †
15A NCAC 02B .0214 Fresh Surface Water Quality Standards for Class WS-II Waters
• Codify existing ITV to a standard for water supply waters for 1,4-dioxane.
None † Possible indirect, long-term benefit to human health* †
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15A NCAC 02B .0215 Fresh Surface Water Quality Standards for Class WS-III Waters
• Codify existing ITV to a standard for water supply waters for 1,4-dioxane.
• Minor technical correction.
None † Possible indirect, long-term benefit to human health* †
15A NCAC 02B .0216 Fresh Surface Water Quality Standards for Class WS-IV Waters
• Codify existing ITV to a standard for water supply waters for 1,4-dioxane.
• Minor technical correction.
None † Possible indirect, long-term benefit to human health* †
15A NCAC 02B .0218 Fresh Surface Water Quality Standards for Class WS-V Waters
• Codify existing ITV to a standard for water supply waters for 1,4-dioxane.
None † Possible indirect, long-term benefit to human health* †
15A NCAC 02B .0219
Fresh Surface Water Quality Standards for Class B Waters
• Replace Fecal Coliform bacterial indicator with E. coli for counties in Asheville Regional Office area.
Likely small net
benefit to the State, private labs†
Potential but
unlikely indirect, long-term benefit to aquatic life†
15A NCAC 02B .0220 Tidal Salt Water Quality Standards for Class SC Waters
• Revise aquatic life saltwater standard for cadmium. None
Continues to prevent unacceptable toxicity effects to aquatic life† *There is an ongoing benefit to human health, but it cannot be attributed to the proposed rule change. † The revised standards will be the foundation for impairment assessments. If assessments determine the need for a TMDL, benefits and costs associated with the TMDL would be accounted for during future rulemaking.
Table 2: Summary of proposed changes to 15A NCAC 02B, Section .0300
Rule Proposed Change Economic Impact Environment Impact
15A NCAC 02B .0301 Classifications: General • Recognize tribal authority. None No change
15A NCAC 02B .0311 Cape Fear River Basin • Minor technical correction. None No change
5. COST-BENEFIT ANALYSIS -- OVERVIEW
The purpose of this document is to examine the potential economic impacts (costs and benefits) of the proposed surface water quality standards. Surface water quality standards are designed to define the condition of waters that protect public and environmental health. The Clean Water Act requires these
standards to be based solely on science with no consideration of costs. Since the water quality standards are developed to define an appropriate condition, the water quality standards regulations themselves do not produce costs for the public. For this reason, federal water quality criteria promulgated under the Clean Water Act generally do not have an accompanying fiscal analysis conducted before criteria
adoption. Consequently, there is no federal fiscal analysis to provide cost/benefit information on the
proposed state rule changes addressed in this document.
Costs and benefits are incurred, however, when state and federal regulatory programs use the standards to implement their own rules. The potential impacts from the proposed standards are examined by parameter in Sections 6 through 10. Impacts to human health and the environment are considered in
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Section 11. Section 12 considers challenges associated with incorporating environmental justice
reviews into regulatory impact analyses. Alternatives to the proposed changes are presented in Section
13. 6. 1,4-DIOXANE 6.1 Rule Citations
15A NCAC 02B .0208(a)(2)(B)(xviii) -- Standards for Toxic Substances and Temperature 15A NCAC 02B .0212(3)(g)(xvii) -- Fresh Surface Water Quality Standards for Class WS-I Waters 15A NCAC 02B .0214(3)(g)(xvii) -- Fresh Surface Water Quality Standards for Class WS-II Waters 15A NCAC 02B .0215(3)(g)(xvii) -- Fresh Surface Water Quality Standards for Class WS-III Waters 15A NCAC 02B .0216(3)(g)(xvii) -- Fresh Surface Water Quality Standards for Class WS-IV Waters
15A NCAC 02B .0218(3)(g)(xvii) -- Fresh Surface Water Quality Standards for Class WS-V Waters
6.2 Proposed Change DEQ is proposing to codify as numeric water quality standards the existing calculated human health criteria for 1,4-dioxane that are derived from 15A NCAC 02B .0208. These existing human health criteria can also be referred to as “in-stream target values” (ITVs). Both of these ITVs have
been in place since about 2010. Values were based on the EPA’s Integrated Risk Information
System (IRIS)7 carcinogenicity risk assessment completed in 2010. IRIS is a database of assessed toxicity values for human health effects resulting from chronic exposure to chemicals. DEQ’s proposed numeric water quality standards for 1,4-dioxane (and current ITVs) use a 1 in 1,000,000 cancer risk level for the protection of the following designated uses:
• 0.35 g/L in water supply waters for fish consumption + drinking water exposure; and
• 80 g/L in all other surface waters for fish consumption exposure.
15A NCAC 02B .0208 provides the narrative water quality standard for toxic substances and
includes an equation for translating the narrative standard to a numeric value or in-stream target value. The narrative water quality standard for toxic substances and the corresponding equations used to translate that narrative standard are critical to addressing substances that do not have individual numeric water quality standards and are supported by federal regulations. The ITVs
calculated from using the translator equations in 15A NCAC 02B .0208(a) are implemented and
enforced as standards in NPDES permits. The narrative standards, including the translator equations for interpreting that narrative standard, were most recently approved by the EPA in April 2020. The EMC and DEQ have the authority to
control toxins in surface water where no numeric water quality standard has been adopted under
N.C.G.S. 143-211, Rule 15A NCAC 02B .0208, and the Clean Water Act, 40 CFR Part 131.11.
7 https://www.epa.gov/iris
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ITVs are calculated in accordance with models and other factors authorized by the EPA and
specified in Rule 15A NCAC 02B .0208.
ITVs are used in DEQ regulatory programs for calculating water quality-based effluent limits (WQBELs) for NPDES wastewater permitting and establishing benchmark monitoring values for NPDES industrial stormwater permitting. Effluent limits are subject to Clean Water Act
requirements and NPDES regulations related to anti-backsliding8. ITVs are also used as standards
by Division of Waste Management programs to ensure that discharges or spills from solid waste, inactive hazardous waste and underground storage tank sites do not violate surface water quality standards. Note that there is an existing groundwater quality standard for 1,4-dioxane in Rule 15A NCAC 02L .0202; the groundwater standard falls outside the authority of the Clean Water Act and
is not being changed as a result of this rulemaking. A list of ITVs can be found on the DEQ
website: https://deq.nc.gov/documents/nc-stdstable-06102019. For the substances addressed in this analysis, 1,4-dioxane is the only substance for which there is an ITV. 6.3 Rationale
DEQ is proposing to codify the current in-stream target values for 1,4-dioxane for all surface waters for the protection of human health through consumption of fish and for all Class WS waters to protect drinking water supplies and fish consumption combined. This proposal is based on several factors: 1) 1,4-dioxane has been identified as a Contaminant of Emerging Concern in North Carolina surface waters, some of which are sources of drinking water; 2) there is
considerable public concern about its potential adverse impact on human health; and 3) although 1,4-dioxane is already being regulated via DEQ permitting programs, codification of 1,4-dioxane as a standard will allow water bodies to be assessed and, if appropriate, listed as impaired. This can ultimately lead to the development of TMDLs that compel broader regulatory protections and corrective actions.
1,4-dioxane is a synthetic industrial chemical that was historically used as a stabilizer of chlorinated solvents in the manufacture of chemicals and as a laboratory reagent. It is also found as a by-product in some personal care products, laundry detergents, paint strippers, dyes, greases, and antifreeze. It is used as a purifying agent in the manufacture of pharmaceuticals, and it is a
byproduct in the manufacture of PET plastic. 1,4-dioxane can enter the environment where it is produced or used as a solvent. It is of particular concern in surface water because it is very stable and does not degrade rapidly over time. Human exposure to 1,4-dioxane in surface waters can occur by drinking water obtained from
contaminated surface water supplies and through consumption of fish caught in contaminated surface waters.9
8 https://www3.epa.gov/npdes/pubs/pwm_chapt_07.pdf
9 https://www.atsdr.cdc.gov/toxfaqs/tfacts187.pdf
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The EPA has classified 1,4-dioxane as a likely human carcinogen.10 Low level exposure to 1,4-
dioxane over a person’s lifetime can increase the risk of cancer. Higher exposures over a shorter
amount of time can damage cells in the liver and kidney. This damage limits the ability of those organs to work properly.
In October 2014, DWR initiated a study11 of 1,4-dioxane in waters of the Cape Fear River Basin with the objective of identifying potential sources, understanding changes in concentrations, and collecting data to aid in the development of a rulemaking strategy. Results from the study's first
year indicated four primary areas of elevated 1,4-dioxane in the upper portion of the Cape Fear River basin. Three of these areas were located immediately downstream of wastewater treatment plants, indicating that discharges from these facilities may be conduits for 1,4-dioxane. The fourth was located further downstream from a treatment plant, so potential local sources will also be explored as the study continues.
Potential sources of 1,4-dioxane the study is examining include:
o Domestic and industrial point-source discharges;
o Active and inactive hazardous waste facilities;
o Active and inactive landfills;
o Pre-regulatory landfills;
o Known 1,4-dioxane contaminated groundwater plumes;
o Wastewater outfalls from groundwater remediation sites;
o Permitted non-discharge facilities;
o Airports;
o Brownfields; and
o Manufactured gas plants.
One of the preliminary conclusions from the study is that the most significant contributions of 1,4-dioxane to ambient surface water concentrations were coming from wastewater effluent originating from sources upstream of wastewater treatment facilities. It was concluded that 1,4-
dioxane is likely being discharged into industrial waste streams and passing through treatment
facilities which have treatment processes with varying levels of removal efficiency prior to entering surface waters. DEQ continues to examine the Cape Fear River Basin and has begun similar studies in the Neuse and Yadkin River Basins.
6.4 Anticipated Impacts (1,4-dioxane)
Upon completion of the triennial review process, the 1,4-dioxane standard will apply to all freshwaters of the state with a lower value applied to waters used as public water supplies. Anticipated impacts to affected parties are discussed in the following sub-sections. 6.4.1 NPDES Wastewater Dischargers
10 https://cfpub.epa.gov/ncea/iris/iris_documents/documents/toxreviews/0326tr.pdf
11 https://deq.nc.gov/about/divisions/water-resources/water-resources-data/water-sciences-home-page/1-4-dioxane
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The proposed standards for 1,4-dioxane will replace the existing ITVs and continue to be
implemented through a subset of individual National Pollutant Elimination System (NPDES) wastewater permits as water-quality based effluent limits (WQBELs). The codification of the 1,4-dioxane standard will not alter the approach to setting permit limits for this parameter: water quality-based limits will continue to be based on Reasonable
Potential Analyses. Nor will it result in any additional costs associated with monitoring
since facilities with individual permits are already conducting effluent monitoring for 1,4-dioxane as required in their permits. It is worth noting that there could be future impacts to NPDES wastewater dischargers if waterbodies are assessed as impaired for 1,4-dioxane, resulting in the development of a TMDL compliance strategy that places additional
requirements on dischargers. It is likely such requirements would be implemented through
rule. Costs associated with carrying out the TMDL would be accounted for at the time of rulemaking.
NPDES wastewater staff reported that there are no general permits that require monitoring or have limits for 1,4-dioxane. They also reported that, of the approximate total 1,094 active individual NPDES wastewater permits (includes 114 pretreatment programs), there are a total of 18 active individual permits which have either limits or monitoring
requirements for 1,4-dioxane. Note that for purposes of this analysis, we make the
conservative assumption that all limits are water quality based (WQBELs) and not technology based (TBELS). This means that the actual number of permits potentially impacted by changes to the standard is likely lower than reported here. Of those 18 permits, only 1 has limits; the remaining 17 have monitoring only. There is an additional
permit for a municipal POTW that is currently in draft form that will convert an existing
‘monitoring only’ requirement to a ‘limit.’ A list of facilities with 1,4-dioxane requirements is included in Appendix II.
As discussed in Section 6.3, 1,4-dioxane is an emerging contaminant of concern in North
Carolina, so it is not surprising that relatively few NPDES permits currently have
requirements for 1,4-dioxane. North Carolina began adding 1,4-dioxane monitoring requirements to NPDES permits in 2018; as such, there is not a long history of water quality data on which to base a WQBEL. Because of the potential impacts to human health, it seems likely that monitoring requirements will be added to additional NPDES
permits at renewal. We do not have data at this point to suggest whether or not WQBELS
are likely to be added to a significant number of permits in the future. These permit modifications would occur whether or not the existing 1,4-dioxane ITV is codified.
NPDES staff anticipate that if WQBELS for 1,4-dioxane are incorporated into more permits, schedules of compliance (SOCs) will also be incorporated. SOCs allow permitted facilities a prescribed time to get their treatment system into operation and capable of meeting water quality standards (via permit limits). SOC timelines are typically five years
or fewer (within one permit cycle). Staff anticipate SOCs will be common due to the high
cost of treatment technology. As 1,4-dioxane is an emerging contaminant of concern,
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municipal water and wastewater treatment facilities are generally not equipped to remove it
through their treatment processes. Due to the high aqueous solubility and resistance of 1,4-
dioxane to biodegradation, conventional treatment processes are generally ineffective at removal12. Installation and operation of advanced treatment processes, such as those using hydrogen peroxide, ozone and/or ultra-violet photo-oxidation -- all known to be effective for 1,4-dioxane removal at either wastewater treatment facilities or drinking water systems
-- are anticipated to be prohibitively expensive for local governments and the citizens
served by public utilities (Ibid). Therefore, the most prudent approaches to reducing 1,4-dioxane concentrations in surface water and drinking water are likely to be reduction, elimination and/or capture and treatment at industrial sources using or generating 1,4-dioxane, if possible.
The single NPDES permit that currently has 1,4-dioxane limits is an automotive products manufacturer. Its permit limit for 1,4-dioxane is 80 ug/L, which is equivalent to the ITV
and proposed standard for non-WS waters.
Of the 17 permits that require monitoring of 1,4-dioxane but do not have limits:
▪ 6 are publicly-owned treatment works (POTWs);
▪ 3 are chemical manufacturers;
▪ 2 are groundwater remediation sites;
▪ 1 is a nuclear fuel manufacturer;
▪ 1 is an industrial and commercial WWTP with multiple types of waste streams;
▪ 2 are synthetic fiber and materials manufacturers;
▪ 1 is a biomanufacturer; and
▪ 1 is a fiber optics manufacturer. Compared to the regulatory baseline for 1,4-dioxane – which is comprised of the existing in-stream target values -- there should not be additional costs to existing or future NPDES
wastewater permittees and no change in health and environmental benefits as a direct result
of the codification of the ITVs into the NC administrative code. The proposed rule will reflect the requirements and processes already being enforced. For this reason, we did not attempt to monetize costs or benefits for 1,4-dioxane. However, it is worth acknowledging that the ongoing costs and benefits associated with the monitoring and treatment of 1,4-
dioxane are likely to be considerable. Unfortunately, we have very limited data upon
which to expand on this topic as DEQ began incorporating 1,4-dioxane into permits only recently. There is not yet enough monitoring data to allow for a meaningful examination of water quality trends, or to make predictions about which permittees may be converted from ‘monitoring only’ to ‘limits’ or have monitoring requirements removed all together. As of this writing, DEQ is continuing to gather information on costs associated with
implementation of 1,4-dioxane ITVs. This data was not available in time to be included in this document. DEQ is also continuing to conduct fish tissue studies in several river basins
12 Zenker, M.J., Borden, R.C., Barlaz, M.A. 2003. Occurrence and treatment of 1,4-dioxane in aqueous environments. Environmental Engineering Science 20 (5), 423-432. http://online.liebertpub.com/doi/abs/10.1089/109287503768335913
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to better understand the distribution of 1,4-dioxane throughout the waters of the state.
These types of information will allow for a more robust understanding of the potential total
health and environmental benefits and economic costs from monitoring and treatment of this contaminant in the future. 6.4.2 NPDES Industrial Stormwater Dischargers
Stormwater staff with the NC Division of Energy, Mineral and Land Resources (DEMLR) confirmed that there are no NPDES stormwater general permits with 1,4-dioxane monitoring requirements. Staff estimated that there are currently fewer than five NPDES stormwater individual permits that require monitoring for 1,4-dioxane. These facilities are
associated with wood preservation and pulping. The stormwater benchmark for these
individual permittees is based on in-stream standards for human health exposures, but it is not based directly on the existing ITV for 1,4-dioxane. Staff confirmed that codification of the ITV would not compel them to revise their current benchmark; nor would it require 1,4-dioxane to be added to additional permits. The Stormwater Program could be indirectly affected in the future if waterbodies to which permittees are discharging are
listed as impaired for 1,4-dioxane. Should that occur, permitted facilities would be evaluated on a case-by-case basis if there is reason to suspect that legacy pollutants at a particular site are contributing to the impairment. Depending on the outcome of that evaluation, additional stormwater control measures or monitoring could be required. The costs and benefits of these potential stormwater control requirements would be addressed
in a separate rulemaking and analysis. 6.4.3 DWR Groundwater Protection Program Administered by DWR, the Groundwater Protection Program primarily uses the
groundwater standards for remediating sites in which hazardous waste was disposed of by injecting it into underground wells, a practice that is now prohibited. The surface water standards are used for classifying the risk level of discharges to surface water intercepts and for monitoring those surface waters during the remediation process. There are very few hazardous waste injection well sites still under DWR oversight. In total, DWR
administers about 30 groundwater protection permits, 14 of which are coal ash sites. The most common parameters monitored under these types of permits are nitrates, dissolved solids, chloride, pH, metals and occasionally volatile organics, pesticides, and semi-volatiles. DWR Groundwater Protection staff report that they do not expect any impact from the proposed codification of the 1,4-dioxane ITV on parties regulated
under DWR’s Groundwater Protection Program. Monitoring of intercepted surface waters at these sites for contaminants of concern will continue to be required regardless of the proposed change, and these sites will continue to be managed so as to prevent violations of the surface water standards.
Similarly, staff with DWR’s Non-Discharge program and Animal Feeding Operations program confirmed that they do not anticipate any economic impact to their permittees from the proposed changes to any of the surface water standards, including 1,4-dioxane.
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6.4.4 NC Division of Waste Management
The Division of Waste Management (DWM) was contacted for information about the sites they monitor and regulate under multiple programs. Staff reported that they do not anticipate that any of their sites will be impacted by the proposed change to the 1,4-
dioxane standard.
▪ Solid Waste – The Solid Waste program is currently enforcing the ITVs for 1,4-dioxane at their sites; as such they do not expect a financial impact from the proposed change.
▪ Inactive Hazardous Waste – 1,4-dioxane is monitored in surface water at these sites if 1) it is a known contaminant in the groundwater discharge and it is possible that the discharge could intercept surface waters; or 2) if there is
evidence of spillage such that a broader range of testing is warranted. 1,4-
dioxane is generally only an analyte at sites with certain chlorinated solvents where it was used as a preservative or where it was used as a known solvent itself. While chlorinated solvents are a common contaminant at these types of sites, staff are not aware of any particular sites where 1,4-dioxane has been
found in high enough concentration and in close enough proximity to cause a
surface water quality standard violation.
▪ Underground Storage Tanks – The UST Section reports that they do not test for
1,4-dioxane as it is not expected to be contained in petroleum.
▪ Hazardous Waste – Hazardous Waste staff report that they have few sites with
exceedances of any 02B surface water quality standards. They do not expect an impact from the proposed revisions.
6.4.5 303(d) Impairment and TMDLs DWR anticipates that the main impact from the proposed codification of the ITVs for 1,4-dioxane will be the possibility for assessment of waterbodies as impaired for 1,4-dioxane
under Section 303(d). There are currently no waterbodies listed as impaired for 1,4-
dioxane. In the future, waterbodies will be assessed based on the 1,4-dioxane water quality standards. This assessment will be rolled into DWR’s existing 303(d) Listing and Delisting Methodology13 which is the framework used by the DWR to interpret data and information to determine whether a waterbody is meeting water quality standards.
Assessment takes place every two years and includes the toxic substances for which there
are water quality standards. This will not require additional expenditure, distribution or reallocation of State funds. Following assessment, it is possible that waterbodies could be listed as impaired for 1,4-
dioxane. There would not be direct impacts as a result of the listing itself. The listing of a
waterbody as impaired may eventually result in the development of a TMDL. Once approved by the EMC and EPA, the TMDL may require actions to be taken by
13 https://files.nc.gov/ncdeq/Water%20Quality/Planning/TMDL/303d/2020/2020-Listing-Methodology-approved.pdf
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stakeholders to reduce inputs of 1,4-dioxane into surface waters. It is likely such
requirements would be implemented through rule. Costs and benefits associated with
carrying out the TMDL and associated rules would be accounted for at the time of rulemaking. 6.4.6 DWR Ambient Monitoring Program
1,4-dioxane is currently a part of DEQ’s developing emerging compounds program and is sampled at stations across several study areas of the state, including the Cape Fear, Neuse, and Yadkin River Basins. DEQ anticipates that sampling locations for 1,4-dioxane could be adapted as needed to provide data for NPDES or other programs that are seeking to
identify sources or document reductions. In the future, it may become part of DWR’s
Ambient Monitoring Program. None of these efforts are a result of the current proposal to codify the 1,4-dioxane standard; as such, there should be no budgetary impact to DEQ. 7. SELENIUM 7.1 Rule Citation
15A NCAC 02B .0211(11)(d) -- Fresh Surface Water Quality Standards for Class C Waters 7.2 Proposed Change North Carolina has an existing surface water quality standard for selenium in freshwater of 5 ug
total recoverable selenium per liter for Class C waters. This water quality standard was adopted by
the EMC on October 1, 1989 and is based on EPA’s 1987 Ambient Water Quality Criteria for Selenium. DEQ is proposing to replace the existing standard with the following standard composed of four parts -- two of which are based on concentration (“magnitude”) of selenium in fish tissue, and two of which are based on concentration of selenium in the water column:
Table 3: Proposed standard for selenium (dissolved, chronic)
Component Magnitude Duration
Fish tissue
Fish egg/
ovary tissue
15.1 mg/kg Instantaneous
Fish whole
body or
muscle tissue
8.5 mg/kg
whole body
Instantaneous
11.3 mg/kg
muscle
Instantaneous
Water
column Lentic or Lotic 1.5 ug/l lentic 30-day average
3.1 ug/l lotic 30-day average
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Note that the proposed water column concentrations are expressed as the dissolved fraction rather
than total recoverable concentration. Selenium will be measured as total dissolved selenium for
water column criteria (samples are to be filtered prior to analysis). The revised standard will also consist of a different concentration depending on whether selenium is measured in “lentic” or “lotic” waters.
7.3 Rationale
DEQ is proposing to update the current water quality standard for selenium by adopting EPA’s Aquatic Life Ambient Water Quality Criteria for Selenium (Freshwater) – 201614 as a water quality standard for Class C surface waters for the protection of aquatic life. This proposal is based
on two factors: 1) North Carolina’s current water quality standard to protect aquatic life from the
toxic effects of selenium is based on older science and does not account for increased scientific understanding of the bioaccumulation of selenium in the aquatic food chain, and 2) particular concern about impacts from coal ash storage ponds and coal-fired power plants which are located throughout North Carolina and have the potential to increase anthropogenic loading of concentrated selenium in surface waters. In North Carolina, selenium has been found in high
levels in the tissues of fish in lakes that receive effluents from power plants.15 Selenium is a naturally-occurring metal that is present in sedimentary rocks, shales, coal and sulfur deposits and soils16. It can enter surface waters from both weathering of geologic sources and human activity such as from mining, coal-fired power plants, irrigated agricultural applications
(soil amendment), and industrial processes related to the manufacture of energy-efficient windows, thin-film photovoltaic cells17, electronics, and pigments. Selenium, while essential for animals in small amounts, is of special concern due to its potential to bioaccumulate in the aquatic food chain and cause reproduction impairments in aquatic species and waterfowl18.
Increased scientific understanding of the bioaccumulation of selenium in the aquatic food chain has led to a reevaluation of the previous 1987 EPA recommended criterion of 5 ug total selenium per liter. Selenium is bioaccumulative, meaning that aquatic organisms accumulate this metal in their bodies. The metal can reach concentrations in aquatic organisms that result in adverse impacts to the animals themselves and their offspring (egg development, embryo development,
and offspring survival). Per EPA’s 2016 guidelines, a new four-part criterion is recommended that will protect aquatic life from both direct exposures to selenium in the water column as well as accumulated exposure from food sources. This new criterion is arranged in a hierarchical order of preference with the chronic
14 https://www.epa.gov/wqc/aquatic-life-criterion-selenium 15 Jessica E. Brandt, Emily S. Bernhardt, Gary S. Dwyer, Richard T. Di Giulio. Selenium Ecotoxicology in Freshwater Lakes
Receiving Coal Combustion Residual Effluents: A North Carolina Example. Environmental Science & Technology, 2017; Vol. 51, Issue 4
16 https://mrdata.usgs.gov/geochem/doc/averages/se/east-central.html 17 https://pubs.usgs.gov/pp/1802/q/pp1802q.pdf
18 https://www.epa.gov/sites/production/files/2016-06/documents/se_2016_fact_sheet_final.pdf
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egg/ovarian tissue criterion taking priority (when available) followed by chronic whole fish or fish
muscle (when available) and, finally, by the chronic water column criteria.
The proposed standard is expressed as the dissolved fraction rather than total recoverable metals concentration. The term “total recoverable metals” accounts for all measurable metals, dissolved and particulate, present in a water sample. The dissolved fraction is believed to more closely
estimate the portion of the metal that is toxic to aquatic life. The change from total recoverable to
dissolved for metals analysis was adopted by the EMC more broadly in 2015; impacts due to that change were accounted for in that Triennial Review’s associated fiscal analysis.19
19 https://files.nc.gov/ncosbm/documents/files/DENR10082014.pdf
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7.4 Anticipated Impacts (Selenium)
Upon completion of the triennial review process, the revised selenium standard will apply to all freshwaters of the state. Anticipated impacts to affected parties as well as to the environment are discussed in the following sub-sections.
7.4.1 NPDES Wastewater Dischargers
The proposed standard for selenium will be implemented through a subset of individual National Pollutant Elimination System (NPDES) wastewater permits as water-quality based effluent limits (WQBELs). Numeric surface water standards are the primary basis for setting water quality-based effluent limitations for metals in
wastewater permits. Changes to the standards can have a significant, if indirect, effect
on wastewater dischargers. They can lead to changes in permitted effluent limits and monitoring requirements. Changes to standards that result in more stringent limits or monitoring can make it necessary for dischargers to make capital improvements, operational modifications, or other measures to stay in compliance with their permits. It follows that changes to standards that result in less stringent limits or monitoring can
produce cost savings in these same areas. Changes to permits would be applied to existing permits either at time of renewal (or earlier in cases where a permittee requests a permit modification) or to new permits upon issuance. The nature and extent of the impacts on a particular discharger depend
on multiple factors such as the type of wastewater, characteristics of the discharge, and characteristics of the receiving water. The measures required to meet revised effluent limits – and the economic costs or savings of those measures – are, in turn, specific to each affected discharger.
The proposed change to the selenium standard will not alter the approach to setting permit limits for this metal: water quality-based limits will continue to be based on Reasonable Potential Analyses (RPA). An RPA is done with the issuance of every NPDES wastewater permit to determine if a discharger has reasonable potential to cause an exceedance of standards in its receiving stream if its maximum predicted
effluent concentration (MPEC) is greater than its maximum allowable effluent concentration (MAEC). MPEC = Maximum Predicted Effluent Concentration (total recoverable) of a metal in a wastewater discharge, as determined by a statistical evaluation of actual,
current monitoring data for that discharge. MAEC = Maximum Allowable Effluent Concentration of a metal, expressed as total recoverable metal, that will not cause an exceedance of the applicable water quality standard in the stream for a specific discharge and its receiving stream.
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Selenium is a challenging -- and often expensive -- metal to remove from water. In this
regard, it is most similar to mercury. Selenium and mercury are unique in that they tend to
stay in dissolved form in water. Other metals have a greater tendency to bind to particles and are therefore easier to remove using much less expensive chemical precipitation technologies. In order to effectively remove selenium from water, costly technologies such as bioreactors or zero-liquid discharge systems are required. Bioreactors are effective at
removing selenium (and mercury), but not other metals. Zero-liquid discharge systems, on
the other hand, are effective at removing other metals as well, but those systems are significantly more expensive than bioreactors. In North Carolina, there is currently only one zero-liquid discharge system. It was installed at a coal-fired power plant at the cost of about $120 million, according to NPDES staff. These systems have an additional
advantage in that their waste products are salts and other solids that can generally be
disposed of in a conventional landfill.
NPDES wastewater staff reported that there are no general permits that require monitoring
or have limits for selenium. They reported that of the approximate total 1,094 active individual NPDES wastewater permits, there are 35 active individual permits which have either limits or monitoring requirements for selenium. Of those 35 permits, 20 have limits and 15 have monitoring only. Note that for purposes of this analysis, we make the
assumption that all limits are water quality based (rather than technology based) except in
cases where we have been able to verify TBELS for a given parameter. Due to time and staffing constraints, we were unable to examine each permit on an individual basis to ascertain whether each of its limits is water quality or technology based. A list of facilities with selenium requirements is included in Appendix III.
Of the 20 permits that have selenium limits:
▪ 10 are power plants;
▪ 3 are publicly-owned treatment works (POTWs);
▪ 2 are chemical manufacturers;
▪ 2 are industrial and commercial WWTPs with multiple types of waste streams;
▪ 2 are groundwater remediation sites; and
▪ 1 is a phosphate mine. Of the 15 permits that require monitoring of selenium but do not have limits:
▪ 5 are power plants (1 publicly-owned; 4 privately-owned);
▪ 4 are POTWs;
▪ 2 are chemical manufacturers;
▪ 1 is a municipal water treatment plant (reverse osmosis);
▪ 1 is a fiberglass manufacturer;
▪ 1 is a pulp and paper mill; and
▪ 1 is composite fiber and materials manufacturer. To get an idea of whether the change to the selenium standard is likely to have a significant effect on permit limits, NPDES wastewater staff performed reasonable potential analyses
(RPAs) on a subset of permits that currently require monitoring for selenium (Table 4).
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These particular permits were chosen because they are known to have relatively high levels
of selenium in their wastewater and can be considered a worst-case scenario for purposes
of this analysis. Staff examined reported selenium monitoring data from six power plant facilities and compared that data to the projected limits, using a conservative translator factor of 1.0 to convert the proposed standard from dissolved selenium to total recoverable selenium (translator of 1.0 assumes 100% of sample is dissolved fraction). All analyses
were done using the proposed water column standards (rather than fish tissue standards)
because fish tissue data was not available. Note that all six of these facilities currently have technology-based limits on the internal outfall; none have a water-quality based limit on the external outfall.
Table 4: Results of Reasonable Potential Analyses using Proposed Water Column Selenium Standards for Six Power Plants
Facility
#1
Facility
#2
Facility
#3
Facility
#4
Facility
#5
Facility
#6
Current limit
(ug/L, total)
None* None* None* None* None* None*
Proposed WQ Std (ug/L, total) 1.5 3.1 3.1 3.1 3.1 1.5
Estimated MAEC
(ug/L, total) 1.50000 40.98000
57.38571 27.10000 32.19091 1.50000
Estimated MPEC (ug/L, total) 4.13400 42.30000 14.78100 13.16000 11.13000 0.89307
# Reported Values** >MAEC 29/36 1/58 0/2 0/1 0/43 0/58
% MPEC/MAEC * 100 276% 103% 26% 48% 35% 59%
Change to Permit New WQ
limit
likely
New WQ
limit
unlikely
No change No change No change No change
* Facility has a technology-based limit on the internal outfall, but it does not currently have a
limit on the external outfall. ** excludes non-detects.
MPEC = Maximum Predicted Effluent Concentration (total recoverable) of a metal in a wastewater discharge, as determined by a statistical evaluation of actual, current monitoring data for that discharge.
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MAEC = Maximum Allowable Effluent Concentration of a metal, expressed as total recoverable metal, that will not cause an exceedance of the applicable water quality standard in the stream for a specific discharge and its receiving stream.
Using the results of the RPA’s and projected selenium allowable concentrations, staff
concluded that the change to the standard may result in new WQBELs for two of the six permits and no change to the remaining four permits. Facility #2 (Rogers Energy Complex) had only one reported value that exceeded the
estimated MAEC. It is less likely they would exceed the MAEC and receive a WQBEL if the translator factor used in the RPA was less than 1.0. To date, staff have not derived the appropriate translator factor for selenium, but we can assume it will be less than 1.0. For this reason, we think it’s reasonable to assume that Facility #2 will not exceed the MAEC and, therefore, will not receive a WQBEL for selenium. It is also of note that this facility
currently has a schedule of compliance that allows them through the end of 2023 to comply
with their technology-based limits, so it is possible they are already taking actions that will further reduce selenium concentration in their discharge. For Facility #1 (Roxboro Steam Electric Power Plant), the results of the RPA suggest the
addition of WQBELs for selenium would be appropriate. Based on our understanding of
this facility’s closure plan and expected permit renewal date, however, we assume that the proposed selenium standard will never be applied to this permit. According to the Duke 2019 Integrated Resource Plan, this facility’s four coal ash units are planned for retirement: two units retired by December 2028; two units retired by December 2033. These dates
could be shifted earlier or later, but we do not expect them to deviate from this schedule
enough to affect permitting decisions. The current permit for Facility #1 was renewed effective July 1, 2020. This means that the earliest the new selenium standard could be incorporated into their permit would be July 1,
2025 -- the earliest their permit would be due for renewal. By 2025, their operations will
be substantially reduced due to ongoing activities related to planned closures. We presume that this decrease in operations will reduce the risk of discharging selenium into surface waters in excess of their permit limits. The imposition of new selenium reduction requirements at renewal is unlikely due to this presumed decrease in risk to water quality
and also due to the time and expense that would be required to plan, design, and install
new treatment technology. The time they would be allowed to achieve compliance with the new standard (one to two permit cycles) is likely to extend beyond this facility’s operations.
After the closure of the coal ash units at Facility #1, there will be some coal ash remaining
at their permitted on-site landfill. Groundwater monitoring, among other protective measures, will be incorporated into their permit at that point, and effluent limits will no longer be needed.
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For these reasons, it is our best estimate that there will be no impact on Facility #1 from
the adoption of the proposed selenium standard.
In the unlikely event that this facility is required to comply with the proposed selenium standard, NPDES wastewater staff stated they would face significant hurdles to meeting the estimated water-quality based limit. This facility is already equipped with physical-
chemical and biological treatment systems, so further reducing selenium in their discharge
could require upgrading to an even more expensive zero-liquid discharge system. Based on experience of NPDES staff and limited studies found through web searches, the installed cost of a zero-liquid discharge system is estimated between $15 million and $600 million. Installed cost includes equipment, engineering, design, installation, and startup
costs. Among other variables, the cost for a facility is heavily dependent on flow rate
(gallons per minute) and the level of contaminants relative to the target limit. This particular facility is expected to fall towards the high end of the cost range due to its high wastewater flow rate. We assume capital expenditures would occur over about a ten-year period (two permit cycles) to provide time for the facility to budget, design and construct the treatment system. Beyond the initial capital expenditures, there would be ongoing
costs associated with operation and maintenance. This cost information is provided solely for illustrative purposes. As stated earlier, we assume that the proposed selenium limit will never be incorporated into this facility’s NPDES permit; as such, there will be no impact from its adoption.
Under their current permit, this permittee has recently begun collecting fish tissue from Hyco Lake for monitoring of selenium. This facility discharges to a lentic waterbody, which means that the water residence time is likely longer than in a lotic waterbody. According to EPA, organisms in waters with long residence times will tend to bioaccumulate more selenium than those living in waters with shorter water residence
times. It follows that waters with longer residence times are more likely to exhibit selenium toxicity near the selenium sources as compared to flowing waters where selenium toxicity may appear only downstream of the selenium sources.20 So while selenium concentrations from fish tissue collected near the discharge for this permittee would provide the most direct measure of selenium toxicity, we cannot say whether fish tissue
concentrations will be lower, higher, or equivalent relative to the water column concentrations. Fish tissue data for this facility is not yet available for review. In 2017, DEQ collected fish tissue samples to analyze for selenium at ambient monitoring and RAMS stations. Of approximately 290 fish tissue samples collected around the state,
20 were collected from Hyco Lake. Of the 290 samples analyzed, only one exceeded the proposed fish tissue standard. That exceedance was from a Redear sunfish fillet collected from Hyco Lake. None of the water column samples collected from Hyco Lake returned exceedances of the proposed selenium standard for lentic waterbodies. The other fish tissue samples from Hyco Lake did not exceed the standard, but they did tend to be
markedly high relative to fish tissue collected from riverine waterbodies.
20 EPA Aquatic Life Ambient Water Quality Criterion for Selenium – Freshwater 2016
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NPDES wastewater staff also performed RPAs on the two groundwater remediation sites
that discharge to surface waters and have WQBELs for selenium. One is a multi-family
housing complex that is permitted to discharge treated groundwater from excavations via storm sewer to an unnamed tributary in Durham County. Note that this permit also has limits for mercury, total cadmium, and other metals. The other site is a former pickle brinery in Robeson County, which also has limits for mercury and other metals (but not
cadmium). The current permitted chronic (monthly average) limit for both of these
facilities is 5.0 ug/L. Under the proposed standard for lotic waters, the dissolved limit for both would be 3.1 ug/L. Using the same translator of 1.0, the maximum predicted effluent concentrations (MPECs) would be 10.9 ug/L for the brinery and 6.8 ug/L for the housing complex. Based on these results, it is likely that both sites will continue to have reasonable
potential to exceed water quality standards and will continue to have WQBELs.
Due to data uncertainties, we could not make determinations as to whether the two groundwater remediation sites would be significantly more likely to exceed WQBELs based on a lower water quality standard. A significant portion of the monitoring data used in the RPAs was reported as “<10 ug/L,” which was assumed to be 10 ug/L for purposes of
WQBEL calculations. Without more sensitive selenium concentration data, we cannot predict how much of an effect the revised standard will have on their WQBELs. We do know, however, that NPDES staff have determined that both sites have reasonable potential to exceed current water quality standards as evidenced by the fact that they already have WQBELs, and one site has a schedule of compliance through November
2024. In both cases, they are already taking measures to reduce metals concentrations in their discharges. Because of the uncertainty about the degree to which the two groundwater remediation sites are exceeding their current WQBELs, we cannot predict whether or not they will be
required to change their operations as a result of the revised standard. Consequently, we cannot predict whether they will be subject to additional costs. If the changes to the standard do require operational changes for one or both groundwater remediation sites, such changes will be on a much smaller scale than the power plant facility discussed earlier in this section as their discharge flows (MGD) are orders of magnitude lower than the
power plant facility. The most likely actions that these permittees would take is to request that their certified laboratories report metals analyses at the practical quantitation limit (PQL) so that subsequent RPAs can clearly indicate whether limits are warranted. There should be no additional costs associated with reporting analytical results to the PQL for selenium.
We focused our analysis of the impacts of the selenium standard change on those wastewater permits we expect to have the highest levels of selenium in their discharges and can therefore be considered most likely to exceed water quality limits. Of those permits, six are not expected to be significantly impacted and two are inconclusive. While there are
unknown variables that could result in different outcomes at the time of permit renewal, we believe it is reasonable to assume that the majority of the remaining existing and future permits may be required to adjust existing selenium limits, but that the adjustment will not
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result in a significant increase in the number of permits violating their selenium limit.
Similarly, we do not have data to suggest that selenium WQBELs will be added to most
permits as a result of the change. For purposes of this analysis, we do not expect a significant economic impact on the majority of NPDES permits with selenium requirements, so we have not attempted to monetize impacts.
NPDES wastewater permit limits are required by regulation to be expressed as “total
recoverable.” For this reason, water column data – not fish tissue data -- will continue to be used for purposes of permitting unless and until a fish tissue parameter is added to a given individual permit. It is of note that some permitted power plant facilities are currently required to do fish tissue sampling in addition to water column sampling.
Although a requirement of their permit, the fish tissue data is not yet used in establishing
limits or compliance. Rather, the fish tissue data is used to provide additional information. The addition of the fish tissue component to the water quality standard will not impose any new requirements on permittees. Similarly, permittees are not expected to incur additional costs as a result of the change
from total recoverable to the dissolved fraction. The change from total recoverable to dissolved for metals analysis was adopted more broadly by the EMC in 2015; impacts due to that change were accounted for in that Triennial Review’s associated fiscal analysis (Ibid). 7.4.2 NPDES Industrial Stormwater Dischargers Stormwater staff with the NC Division of Energy, Mineral and Land Resources confirmed that there are no NPDES stormwater general permits with selenium monitoring requirements. Staff estimated that there are currently fewer than 20 NPDES stormwater
individual permits that require monitoring for selenium. These facilities are associated with coal-fired power generation. The stormwater benchmark for these individual permittees is based on acute exposure; as such, it is not comparable to either the existing or proposed selenium standard, both of which are based on chronic exposure. It follows that there will be no impact to the stormwater benchmark or permittees with the adoption of the
proposed chronic selenium standard. 7.4.3 DWR Groundwater Protection Program Of the approximately 30 groundwater protection permits administered by DWR, we were
unable to determine which, if any, of these sites require monitoring for selenium. DWR Groundwater Protection staff report, however, that the impact of the proposed change to the selenium standard on parties regulated under DWR’s Groundwater Protection Program is expected to be negligible. Monitoring of intercepted surface waters at these sites for contaminants of concern will continue to be required regardless of the proposed change,
and these sites will continue to be managed so as to prevent violations of the surface water standards.
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Similarly, staff with DWR’s Non-Discharge and Animal Feeding Operations programs
confirmed that they do not anticipate any economic impact to their permittees from the
proposed changes to any of the surface water standards, including selenium. 7.4.4 NC Division of Waste Management
The Division of Waste Management (DWM) was contacted for information about the sites they monitor and regulate under multiple programs. Staff reported that they do not anticipate that any of their sites will be impacted by the proposed change to the selenium standard.
▪ Solid Waste program -- Although selenium is sampled for routinely in surface waters at solid waste sites, it is not the “driver” for cleanup of either groundwater or, indirectly, surface waters.
▪ Inactive Hazardous Waste program – Selenium is monitored in surface water at these
sites if 1) it is a known contaminant in the groundwater discharge and it is possible that the discharge could intercept surface waters; or 2) if there is evidence of spillage such that a broader range of testing is warranted. Staff state that it is rare to have metals in groundwater at concentrations that could impact surface water. They do not know of
any sites where selenium is an issue.
▪ Underground Storage Tank program -- Although not a driver for cleanup at waste oil sites (lead and chromium are the main concern), selenium may be tested for at these
sites. Staff report that selenium is not usually detected above regulatory limits, and it is not a driver for cleanup.
▪ Hazardous Waste – Hazardous Waste staff report that they have few sites with exceedances of any 02B surface water quality standards. They do not expect an impact from the proposed revisions.
7.4.5 Impairment 303(d) and TMDLs DEQ anticipates that the proposed change to the selenium standard could result in a more accurate assessment of waterbody impairment, primarily from the fish tissue component.
Fish tissue data should provide biological information that could be used to confirm a
direct impairment to a designated use. Fish tissue alone, or in combination with water column values, may be used to establish use impairment. The addition of fish tissue into the standard will not necessitate the sampling of fish tissue by state programs, and fish tissue values would be used only where they are available.
Unfortunately, the availability of additional fish tissue data is expected to be limited for the foreseeable future. Collection of fish for ovary/egg or whole-body/muscle selenium concentration testing is time- and labor-intensive as compared to water sampling. The Division currently lacks adequate manpower and financial resources to carry out regular
fish tissue sampling at ambient monitoring stations. It is likely that fish tissue collection
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will be reserved for those waterbodies where it is known that aquatic life is at the greatest
risk of exposure. A lack of fish tissue data or the absence of fish from a waterbody will
not prevent it from being assessed as impaired if the selenium water concentration criterion is exceeded. It is likely that the water column criterion – rather than the fish tissue criterion -- will continue to apply to the majority of freshwaters of the state. For this reason, we do not anticipate an economic impact from this change, at least for the
foreseeable future.
There are currently no waterbodies listed as impaired for selenium. In the future, waterbodies will continue to be assessed for selenium impairment, but those assessments will be based on the revised selenium water quality standards. Assessment for selenium
impairment is already accounted for in DWR’s existing 303(d) Listing and Delisting
Methodology which is the framework used by the DWR to interpret data and information to determine whether a waterbody is meeting water quality standards. Assessment takes place every two years and includes the metals for which there are water quality standards. The addition of the fish tissue component will require the methodology to be updated; however, staff estimate the time to perform this task will be negligible. This will not
require additional expenditure, distribution or reallocation of State funds. Because the proposed water column selenium standards are lower, it is possible that waterbodies would be more likely to be listed as impaired for selenium. There would not be direct impacts as a result of the listing itself. The listing of a waterbody as impaired
may eventually result in the development of a TMDL. Once approved by the EMC and EPA, the TMDL may require actions to be taken by stakeholders to reduce inputs of selenium into surface waters. It is likely such requirements would be implemented through rule. Costs and benefits associated with carrying out the TMDL and associated rules would be accounted for at the time of rulemaking. 7.4.6 DWR Ambient Monitoring Program Selenium is an existing standard for which a DWR ambient monitoring program is already established; as such, there should be no budgetary impact to this program as a result of
adopting a revised standard. Selenium will continue to be monitored in surface waters by both DWR and monitoring coalitions as part of the Ambient Monitoring System. Neither the addition of a fish tissue component nor the switch from total recoverable to dissolved selenium will place additional requirements on these programs or require shifting of resources.
8. CADMIUM 8.1 Rule Citations 15A NCAC 02B .0211(11)(e) – Fresh Surface Water Quality Standards for Class C Waters 15A NCAC 02B .0220(9)(c) – Tidal Salt Water Quality Standards for Class SC Waters
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8.2 Proposed Changes
North Carolina has existing surface water quality standards for dissolved, hardness-dependent cadmium in freshwater and dissolved cadmium in saltwater (Table 5). These water quality standards were adopted by the EMC on January 1, 2015. They were based on EPA’s 2001 Update of Ambient Water Quality Criteria for Cadmium (EPA-822-R-01-001; April 2001).
Table 5: Existing surface water standards for cadmium
Medium Standard Magnitude (ug/L)
Freshwater
dissolved, hardness-dependent
Cadmium, acute WER ∙ [{1.136672-[ln hardness](0.041838)} ∙
e^{0.9151 [ln hardness]-3.1485}]
Cadmium, acute, trout WER ∙ [{1.136672-[ln hardness](0.041838)} ∙ e^{0.9151[ln hardness]-3.6236}]
Cadmium, chronic WER ∙ [{1.101672-[ln hardness](0.041838)} ∙ e^{0.7998[ln hardness]-4.4451}]
Saltwater
dissolved Cadmium, acute WER ∙ 40
Cadmium, chronic WER ∙ 8.8
WER = Water Effects Ratio ln = natural logarithm hardness = the measured water hardness from the collected sample DEQ is proposing to update the existing cadmium standards with standards based on EPA’s Aquatic Life Ambient Water Quality Criteria for Cadmium – 2016 (EPA-820-R-16-002)
(Table 6). As with the 2001 cadmium criteria, the 2016 freshwater criteria are hardness-dependent
and the saltwater criteria are not.
Table 6: Proposed surface water standards for cadmium
Medium Standard Magnitude (ug/L)
Freshwater
dissolved, hardness-dependent
Cadmium, acute WER ∙ [{1.136672-[ln hardness](0.041838)} ∙
e^{0.9789 [ln hardness]-3.345}]
Cadmium, acute, trout WER ∙ [{1.136672-[ln hardness](0.041838)} ∙ e^{0.9789 [ln hardness]-3.866}]
Cadmium, chronic WER ∙ [{1.101672-[ln hardness](0.041838)} ∙ e^{0.7977[ln hardness]-3.909}]
Saltwater
dissolved Cadmium, acute WER ∙ 33
Cadmium, chronic WER ∙ 7.9
WER = Water Effects Ratio ln = natural logarithm (e) hardness = the measured water hardness from the collected sample Note that the freshwater cadmium standards are not represented simply by one number; rather, they are comprised of equations. These equations are specific to medium (freshwater, saltwater)
and designated use (e.g. trout). Additional variables include the water effects ratio (WER) and
hardness, which are specific to each sample location. The WER is a multiplier that can be used to
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modify the water quality standard to account for proven differences in toxicity between laboratory
testing and in-stream conditions. Conditions related to the application of a WER are described in
15A NCAC 02B .0211 and 15A NCAC 02B .0220. A default WER value of one is used in the majority of permits. Water hardness is a laboratory measure of the concentration of dissolved minerals in a water sample. Hardness can vary by sample location and generally contributes more to the variability of calculated standards than does the WER.
For illustrative purposes, the current and proposed standards are shown side by side in Table 7 using an example hardness of 25 mg/L and a WER of 1. For freshwater, the calculated acute criterion for non-trout waters is slightly higher (less stringent) than the existing criterion, and the calculated chronic criteria is significantly higher (less stringent). The calculated acute criterion for
trout waters has been slightly lowered to be protective of the commercially- and recreationally-
important rainbow trout (Oncorhynchus mykiss). For saltwater, both the calculated acute and chronic criteria are lower (more stringent).
Table 7: Existing and proposed Cadmium standards using default hardness of 25 mg/L (freshwater only) and WER of 1
Standard, Medium Existing Calculated Standard (ug/L) Proposed Calculated Standard (ug/L)
Acute, freshwater 0.82 0.83
Acute, trout, freshwater 0.51 0.49
Acute, saltwater 40 33
Chronic, freshwater 0.15 0.25
Chronic, saltwater 8.8 7.9
8.3 Rationale DEQ is proposing to update the current water quality standards for cadmium by adopting
EPA’s Aquatic Life Ambient Water Quality Criteria for Cadmium – 2016 (EPA-820-R-16-002)
as water quality standards for Class C and Class SC surface waters for the protection of aquatic life. This proposal is based on two factors: 1) updated science on the toxic effects of cadmium on aquatic life; and 2) for freshwater, updated science on the relationship between water hardness and toxicity.
Cadmium occurs naturally in low concentrations in surface waters due to weathering of mineral deposits. Industrial uses of cadmium vary, but include the manufacturing of batteries, pigments, plastic stabilizers, metal coatings, alloys, electronics and nanoparticles for solar cells and color displays.21 Cadmium is a non-essential metal with no biological function in aquatic animals. In
addition to acute effects such as mortality, chronic exposure to cadmium can lead to adverse
effects on growth, reproduction, immune and endocrine systems, development, and behavior in aquatic organisms (Ibid).
21 https://www.epa.gov/sites/production/files/2016-03/documents/cadmium-final-factsheet.pdf
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Per EPA’s 2016 guidelines, the updated cadmium criteria will protect aquatic life from direct
exposures to dissolved cadmium in the water column for both fresh and salt waters. The measure
of dissolved metals accounts for only the portion of cadmium that is dissolved in the water column. It does not account for cadmium that is bound to particulate matter. The continued focus on the dissolved fraction is significant in that it is this portion of the cadmium in the water column that is directly biologically available to aquatic organisms and, therefore, poses the
greatest risk for adverse health impacts. In addition, the updated criteria continue to take into
account the relationship between toxicity and water hardness (mineral content) that was established in prior EPA National Recommended Water Quality Criteria for freshwater. 8.4 Anticipated Impacts (Cadmium)
Upon completion of the triennial review process the new cadmium standards will apply to all fresh, trout, and tidal waters of the state. Anticipated impacts to affected parties as well as to the environment are discussed in the following sub-sections.
8.4.1 NPDES Wastewater Dischargers
The proposed standard for cadmium will be implemented through a subset of individual NPDES wastewater permits as water-quality based effluent limits (WQBELs). Numeric surface water standards are the primary basis for setting water quality-based effluent limitations for metals in wastewater permits. Changes to the standards can have a
significant, if indirect, effect on wastewater dischargers. They can lead to changes in
permitted effluent limits and monitoring requirements. Changes to standards that result in more stringent limits or monitoring can make it necessary for dischargers to make capital improvements, operational modifications, or other measures to stay in compliance with their permits. It follows that changes to standards that result in less stringent limits or
monitoring can produce cost savings in these same areas.
The nature and extent of the impacts on a particular discharger depend on multiple factors such as the type of wastewater, characteristics of the discharge, and characteristics of the receiving water. The measures required to meet revised effluent limits – and the economic costs or savings of those measures – are, in turn, specific to
each affected discharger. In freshwater, water hardness is an important factor in determining WQBELs because of the relationship between water hardness and toxicity: the lower the hardness, the more toxic cadmium is to aquatic organisms. The relationship between the proposed freshwater
standards and water hardness is illustrated in Table 8.
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Table 8: Proposed Freshwater Cadmium Standards at Varying Water Hardness
Hardness (mg CaCO3/L)
Acute, Trout
(ug/L)
Acute
(ug/L)
Chronic
(ug/L)
25 0.49 0.83 0.25
30 0.58 0.98 0.29
35 0.67 1.1 0.33
40 0.76 1.3 0.36
45 0.85 1.4 0.39
50 0.94 1.6 0.43
55 1.0 1.7 0.46
60 1.1 1.9 0.49
65 1.2 2.0 0.52
70 1.3 2.2 0.55
80 1.5 2.5 0.61
90 1.6 2.7 0.66
100 1.8 3.0 0.72
150 2.6 4.4 0.97
200 3.4 5.8 1.2
250 4.2 7.1 1.4
300 5.0 8.4 1.6
350 5.8 9.7 1.8
400 6.5 11 2.0
It is worth noting that unless water hardness data is provided for an outfall, NPDES
wastewater permits default to 25 mg/L. If permittees report hardness data, the reported
data will be used if the value is between 25 mg/L on the low end and 400 mg/L on the upper end.
The proposed change to the cadmium standard will not alter the approach to setting permit limits for this metal: water quality-based limits will continue to be based on Reasonable
Potential Analyses. RPAs are performed in the same way for discharges to freshwater and saltwater. The resulting permit limits often differ, however, because (1) metals exhibit different degrees of toxicity upon species native to the two environments and (2) IWC is determined differently in free running streams and tidal waters. By default, the Division assumes an IWC of 100% (zero dilution) in tidal waters, meaning that effluent limitations
for metals of concern will be set equal to the numeric standards.
The proposed change will not result in any additional costs associated with monitoring
since facilities with individual permits are already conducting effluent monitoring for
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cadmium as required in their permits. Permit changes to incorporate the revised standard
would be applied to existing permits either at time of renewal (or earlier in cases where a
permittee requests a permit modification) or to new permits upon issuance.
NPDES wastewater staff reported that there are no general permits that require monitoring
or have limits for cadmium. They reported that of the approximate total 1,094 active individual NPDES wastewater permits, there are a total of 47 active individual permits which have either limits or monitoring requirements for cadmium. Of those 47 permits, 20 have limits and 27 have monitoring only. Note that for purposes of this analysis, we make
the assumption that all limits are water quality based (rather than technology based) except
in cases where we have been able to verify TBELs for a given parameter. Due to time and staffing constraints, we were unable to examine each permit on an individual basis to ascertain whether each of its limits is water quality or technology based. A list of permitted facilities with cadmium requirements is included in Appendix IV.
Of the 20 permits that have cadmium limits:
▪ 8 are publicly-owned treatment works (POTWs);
▪ 4 are industrial and commercial WWTPs with multiple types of waste streams;
▪ 3 are power plants;
▪ 2 are metals manufacturers;
▪ 2 are electronics manufacturers; and
▪ 1 is a chemical manufacturer. Of the 27 permits that require monitoring of cadmium but do not have limits:
▪ 12 are power plants (1 publicly-owned; 11 privately-owned);
▪ 10 are POTWs;
▪ 3 are chemical manufacturers;
▪ 1 is a water treatment plant remediation site; and
▪ 1 is a Brownfields site.
To get an idea of whether the changes to the cadmium standard are likely to have a
significant effect on permit limits, NPDES wastewater staff performed reasonable potential analyses (RPAs) on a subset of permits that currently have limits or require monitoring for cadmium (Table 10). We focused our evaluation on nine existing permits that represent a variety of categories relevant to this analysis:
▪ saltwater and freshwater;
▪ trout and non-trout waters;
▪ private-owned versus public-owned;
▪ various industry types; and
▪ with and without cadmium limits.
All nine permits have either been issued or renewed since the dissolved cadmium criteria were adopted in 2015. It is of note that in the universe of NPDES wastewater permits, we identified only one permitted facility with cadmium requirements that discharges to trout waters and one that discharges to saltwaters; as such, staff ran RPAs for all permits within
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those two subgroups. Staff also ran an RPA on a groundwater remediation site for which
cadmium limits had, until recently, been included in its permit. Results of the projected
RPAs are shown in Table 9. Table 9: Results of Reasonable Potential Analyses* based on Proposed Cadmium Standards for Nine NPDES Facilities
Permit # Rec’g water class
Outfall # L/M Hard-ness mg/L
Current limit ug/L, Total
Est. MAEC ug/L, Total
Est. MPEC ug/L, Total
% MPEC/ MAEC x 100
NC0000311 Metals mfr
B-tr; HQW 001 L 25 260 C 690 A
291.6 C 1,319.5 A
7.400 2.5% C 0.56% A No RP NC0001228 Nuclear fuel mfr
C,Sw; HQW (PNA)
001 L 31.1 0.15 lbs/d C; 0.82 lbs/d A 30.8 C 147.6 A 5.182 17% C 4% A No RP NC0001881 Metals mfr SC,SwNSW 001 L N/A 8.9 C 40.2 A 8.9 C 40.2 A
1.000 11% C 2.5% A No RP NC0024244 POTW
C 001 L 46.4 2.2 – 1.1 C 16 – 6.5 A SOC ranges
1.03 C 5.9 A 20.000 1,943% C 335% A RP shown NC0038377 Power Plant C 002 L 25 0.59 C 3.24 A 0.59 C 3.24 A 0.880 150% C 27% A RP shown, only one value > MAEC
NC0089702** Groundwater remediation
WS-V; NSW unk L* 25 0.15 C 0.82 A 1.7 C 10.8 A 0.665 39% C 6% A No RP
NC0056863 POTW C;Sw 001 M 144.1 N/A 2.2 C 14.9 A 10.750 486% C 72% A RP shown
NC0026689 POTW C 001 M 56.3 N/A 1.089 C 6.575 A 1.000 92% C 15% A No RP; monitor still required NC0003760 Chemical mfr C 001 M 31.2 N/A 253.8 C 1159.9 A 1.550 0.61% C 0.13% A No RP C 002 M 25 N/A 624.1 C 2778.7 A 3.050 0.49% C 0.11% A No RP C 003 M 34.1 N/A 0.74 C 4.24 A 1.060 142% C 25% A RP shown
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* Note: Reasonable potential analyses (RPAs) used maximum monthly average over previous 36 months for flow (rather than the permitted flow) and DMR data for cadmium and hardness for the previous 4.5 years. Using the permitted flow in the RPAs may change the results. ** Limits for cadmium were removed from this permit in 2020 based on RPA using reported Cd data w/ highest value below detection limits. MAEC = Maximum Allowable Effluent Concentration of a metal, expressed as total recoverable metal, that will not cause an exceedance of the applicable water quality standard in the stream for a specific discharge and its receiving stream. MPEC = Maximum Predicted Effluent Concentration (total recoverable) of a metal in a wastewater discharge, as determined by a statistical evaluation of actual, current monitoring data for that discharge. MPEC/MAEC x 100 = If < 50%, NPDES staff will use BPJ on case-by-case basis to determine if monitoring should be required. C = Chronic; A = Acute L = Limit; M = Monitoring RP = Reasonable potential to exceed water quality standard
Based on the results of the nine RPAs, staff reached the following (heavily qualified) conclusions:
▪ It is likely that a significant percentage of permits with cadmium limits will have their WQBELs adjusted because of the revised cadmium standard. Table 9 shows
that four of the six permits with limits would potentially adjust their WQBELs due to the revised cadmium standard. With that being said, there are unknown variables specific to each permit that could result in a different outcome at the time of permit renewal.
▪ Non-trout Freshwater The subgroup most likely to realize regulatory relief from the revised cadmium standard are the 46 permits that discharge to non-trout freshwater. The chronic standard is typically the more stringent standard and therefore should account for most of the cost savings. Of the 9 permits examined, 4 have limits and discharge to
non-trout freshwater. Of these 4, it appears that one permit (NC0001228) could potentially be eligible for relief from their cadmium limit. This is qualified by the fact that we do not have information about whether they may already be eligible for relief. We suspect this is the case, however, because the estimated MPEC (7.4) for this permit is quite low relative to the MAEC (291.6). For purposes of this
analysis, however, we assume that the change to the cadmium standard will result in significant change to the WQBEL such that they will be relieved of the limit (but will continue monitoring). Expanding this to the entire body of permits with cadmium limits, we assume that the change to the cadmium standard will allow one of every four permits (25%) to be relieved of WQBELs but continue monitoring.
Table 10 summarizes estimated potential benefits to NPDES wastewater permittees with cadmium limits that discharge to non-trout freshwater. Only privately-owned and local government-owned facilities are potentially affected. The estimates project benefits over two five-year permit cycles, although it is possible facilities
will continue to realize benefits beyond ten years. The majority of savings are likely to be in the form of avoided costs associated with reduced operation and maintenance (O&M) costs and assumes facilities use chemical precipitation with secondary clarification. Cost savings could be higher if facilities are currently
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using more sophisticated treatment technologies to reduce cadmium. Alternatively,
cost savings could be lower if facilities must continue to operate the same level of
treatment in order to reduce other metals not affected by this rulemaking. Cost savings estimates are derived from the fiscal analysis for the 2014 Triennial Review (Privately-owned/Industrial: P. 70, Section VIII, Subsection 5.4; Local-government owned/POTWs:Table III.B-9).22 The 2014 analysis assumed that the
addition (and conversely, the removal) of limits for a particular metal would have
the same impact as for any other metal and result in the same fiscal impact on the discharger. Estimates include savings on annual operating costs, chemical costs, and electricity costs. Capital costs were excluded from the current analysis since it is presumed that such expenditures have already been made and will not be
recouped as a result of eliminating WQBELs.
Table 10: Estimated Benefits (Avoided Costs) to NPDES Wastewater
Dischargers from Changes to Cadmium Standard over 10 Years (in $Millions) Impact: WQBELs convert to Monitoring-Only
Privately-owned2 Local Government-owned3
Cost per year ($M) $0.0454 $0.107
# Years 10 10
Total cost per Facility, 10 yrs ($M) $0.454 $1.07
# Facilities Impacted 3
(25% of 12)
2
(25% of 8)
Total Avoided Costs NPV1, 10 Yrs ($M) $1.59 $1.67
1 Net Present Value (NPV) computed at 7% discount rate, adjusted from 2010/2014 to 2021 dollars. 2 Assumes average permitted flow of 1.4 MGD. 3 Assumes average daily capacity of 6.82 MGD. It is possible that some permits with monitoring-only requirements for cadmium
could be relieved of their monitoring requirements because of the higher non-trout freshwater cadmium standard. With that being said, our analysis does not clearly indicate a causal relationship between the change to the standard and the results of the RPAs. As shown in Table 9, of the five permits with monitoring only, two were determined to have reasonable potential (to exceed water quality standards); There
is no reason that a higher cadmium standard would result in a more stringent
WQBEL, so we do not attribute the results of the RPA to the proposed standard change. One of the five permits was determined to have no reasonable potential but would continue to require monitoring. Finally, two of the five permits were determined to have no reasonable potential. For purposes of this analysis, we
assume conservatively that the change to the cadmium standard will allow one of
22 DENR/DWR “2014 Fiscal and Economic Analysis for the Proposed Amendments to 15A NCAC 02B .0200 – The Triennial Review of Surface Water Quality Standards and Classifications.
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every five permits (20%) to be relieved of the monitoring requirement for
cadmium.
Table 11 summarizes estimated potential benefits to NPDES wastewater permittees with cadmium monitoring-only requirements that discharge to non-trout freshwater. Only privately-owned and local government-owned facilities are potentially affected. The estimates project benefits over two five-year permit
cycles, although it is possible facilities will continue to realize benefits beyond
ten years. The savings are likely to be in the form of avoided costs associated with reduced monitoring. Cost savings estimates are derived from the fiscal analysis for the 2014 Triennial Review (Section VIII, pp. 58, 68; Appendix III.9; Ibid) which made the conservative assumption that the removal of a metals limit
from a permit would result in no savings to the discharger other than reduced
monitoring costs. This is because for most dischargers, metals removal is a coincidental benefit of the treatment process which would continue to operate regardless of the metals limits. Sampling would be reduced from quarterly monitoring to no monitoring at an estimated savings of $15 per sample (2014 dollars).
Table 11: Estimated Benefits (Avoided Costs) to NPDES Wastewater Dischargers from Changes to Cadmium Standard over 10 Years Impact: Relief from Monitoring
Privately-owned Local Government-owned
Cost per year $60 $60
# Years 10 10
Total cost per Facility $600 $600
# Facilities Impacted 3
(20% of 16)
2
(20% of 11)
Total Avoided Costs
NPV1, 10 Yrs
$1,401 $934
1 Net Present Value (NPV) computed at 7% discount rate, adjusted from 2014 to 2021 dollars.
▪ Freshwater Trout
We had assumed that dischargers to freshwater trout waters would not see meaningful changes to their permits since the proposed change to the standard is so small; however, this assumption was not borne out by the RPA. The RPA for the one permit that has cadmium limits and discharges to trout waters shows a larger
estimated change to their WQBEL than we anticipated. In addition, it appeared to result in a less stringent limit. Based on this cursory review, we were unable to determine the reason for the large change to their WQBEL, but we do not expect that it is a direct result of the change to the limit. It is more likely that factors such as measured flow rates and reported data had much larger effects.
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▪ Saltwater
Dischargers to saltwater are unlikely to see meaningful changes to their WQBELs.
Based on the RPA, the one permit that has cadmium limits and discharges to saltwater would not see any change to their cadmium limits. We reason that incremental differences in the cadmium standard result in smaller changes to limits in saltwater as compared to freshwater due to the weight given to hardness in the
freshwater calculations. Remember that the saltwater standards calculations do not
take into account water hardness. In freshwater, water hardness is an important factor in determining WQBELs because of the relationship between water hardness and toxicity: the lower the hardness, the more toxic cadmium is to aquatic organisms. The relationship between the proposed freshwater standards and water
hardness is illustrated in Table 8.
8.4.2 NPDES Industrial Stormwater Dischargers Stormwater staff with the NC Division of Energy, Mineral and Land Resources confirmed
that there is one NPDES stormwater general permit with cadmium monitoring requirements. There are currently 24 Certificates of Coverage issued under the NCG09 permit. The NCG09 permit covers activities associated with manufacturing paints, varnishes, lacquers, enamels and allied products.
Staff estimated that there are 30-40 NPDES stormwater individual permits that require monitoring for cadmium. These facilities are most often associated with power plants, chemical manufacturing, and metals manufacturing. The stormwater benchmarks for these permittees is 0.002 mg/L (total) for trout waters and
0.003 mg/L (total) for all other waters. The cadmium benchmarks are based on EPA’s NRWQC (acute) for dissolved cadmium, calculated with assumed 25 mg/L hardness, then converted to total cadmium using EPA’s partition translator. Stormwater staff stated that they do not expect the revised cadmium standards will have a significant effect on the stormwater benchmarks. As such, there should be no impact to stormwater permittees. 8.4.3 DWR Groundwater Protection Program Of the approximately 30 groundwater protection permits administered by DWR, we were unable to determine which, if any, of these sites require monitoring for cadmium. DWR
Groundwater Protection staff report, however, that the impact of the proposed change to the cadmium standard on parties regulated under DWR’s Groundwater Protection Program is expected to be negligible. Monitoring of intercepted surface waters at these sites for contaminants of concern will continue to be required regardless of the proposed change, and these sites will continue to be managed so as to prevent violations of the surface water
standards.
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Similarly, staff with DWR’s Non-Discharge and Animal Feeding Operations programs
confirmed that they do not anticipate any economic impact to their permittees from the
proposed changes to any of the surface water standards, including cadmium. 8.4.4 NC Division of Waste Management
The Division of Waste Management (DWM) was contacted for information about the sites they monitor and regulate under multiple programs. Staff reported that they do not anticipate that any of their sites will be impacted by the proposed change to the cadmium standard.
▪ Solid Waste program -- Although cadmium is sampled for routinely in surface waters at solid waste sites, it is not the “driver” for cleanup of either groundwater or, indirectly, surface waters.
▪ Inactive Hazardous Waste program – Cadmium is monitored in surface water at these
sites if 1) it is a known contaminant in the groundwater discharge and it is possible that the
discharge could intercept surface waters; or 2) if there is evidence of spillage such that a broader range of testing is warranted. Staff state that it is rare to have metals in groundwater at concentrations that could impact surface water. They do not know of any sites where cadmium is an issue.
▪ Underground Storage Tank program -- Although not a driver for cleanup at waste oil
sites (lead and chromium are the main concern), cadmium may be tested for at these sites. Staff report that cadmium is not usually detected above regulatory limits, and it is not a driver for cleanup.
▪ Hazardous Waste – Hazardous Waste staff report that they have few sites with
exceedances of any 02B surface water quality standards. They do not expect an impact
from the proposed revisions.
8.4.5 303(d) Impairment and TMDLs There are currently no waterbodies listed as impaired for cadmium. In the future,
waterbodies will continue to be assessed for cadmium impairment, but those assessments will be based on the revised cadmium water quality standards. Assessment for cadmium impairment is already accounted for in DWR’s existing 303(d) Listing and Delisting Methodology which is the framework used by the DWR to interpret data and information to determine whether a waterbody is meeting water quality standards. Assessment takes
place every two years and includes the toxic substances for which there are water quality
standards. The inclusion of the revised cadmium standards will not require additional expenditure, distribution or reallocation of State funds. Because the proposed cadmium standard is less stringent for freshwaters (except Trout), it
is theoretically possible that freshwater waterbodies would be less likely to be listed as
impaired for cadmium. This scenario is unlikely, however, since waterbodies are not currently listed as impaired when assessed using the existing more stringent freshwater cadmium standard. It is also theoretically possible that saltwater waterbodies would be
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more likely to be listed as impaired for cadmium under the more stringent saltwater
standards. We do not expect this to be the case, however, because NPDES effluent limits
were shown to be unimpacted by the change to the saltwater standard; it follows that in-stream concentrations of cadmium would be impacted to an even lesser degree. 8.4.6 DWR Ambient Monitoring Program
Cadmium is an existing standard for which a DEQ ambient monitoring program is already established; as such, there should be no budgetary impact to DEQ as a result of adopting the revised standard. Cadmium will continue to be monitored in surface waters by both DWR and monitoring coalitions as part of the Ambient Monitoring System. For
consideration in this analysis, DWR Water Sciences Section staff compiled cadmium
ambient monitoring data from 2015-2018. Out of 1414 samples, only one sample returned an in-stream concentration that is higher than either the existing chronic standard or the proposed chronic standard. The proposed changes to the cadmium standard will not place any additional requirements on these programs or require shifting of resources.
9. CYANIDE 9.1 Rule Citations
15A NCAC 02B .0211(5) – Fresh Surface Water Quality Standards for Class C Waters
9.2 Proposed Change
North Carolina has an existing surface water quality standard of 5 ug/L for total cyanide in Class C (fresh) waters and an existing water quality standard of 1 ug/L for total cyanide in Class SC
(salt) waters. These standards are based on EPA’s 1984 Ambient Water Quality Criteria for
Cyanide (EPA 440/5-84-028; January 1985)23. DEQ is proposing to modify the existing Class C standard to include options for analysis of both total cyanide and free cyanide. We are not proposing a modification for saltwater at this time because, unlike the Class C rule, the Class SC rule does not specify that cyanide must be reported as total cyanide.
The current Class C freshwater standard appears in 15A NCAC 02B .0211(5) as:
• Cyanide, total = 5 ug/L
The modified Class C freshwater standard will appear in 15A NCAC 02B .0211(5) as:
• Cyanide, free or total = 5 ug/L
23 https://www.epa.gov/sites/production/files/2019-03/documents/ambient-wqc-cyanide-1984.pdf
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9.3 Rationale
DEQ is proposing to modify the existing Class C cyanide standard to allow for the analysis of free cyanide as an alternative to total cyanide. This modification is based on the recommendations made in EPA’s 1984 Ambient Water Quality Criteria for Cyanide (EPA 440/5-84-028; January 1985).
Cyanide is associated with a variety of industrial sources such as steel, petroleum, plastics,
synthetic fibers, metal plating, mining, and chemical industries and occurs in water in various forms including: hydrogen cyanide (HCN), the cyanide ion (CN-), metallocyanide complexes, and organic forms of cyanide. The evaluation of total cyanide encompasses the measure of all forms of cyanide in water while the evaluation of free cyanide encompasses only the measure of HCN and CN-.
EPA’s 1984 Ambient Water Quality Criteria for Cyanide established that it is the free cyanides (HCN and CN-) that best represent the potential for toxic effects to aquatic life. Per the document, acute and chronic exposure to free cyanide in freshwater and saltwater fish and invertebrates has been shown to result in various degrees of toxicity including short-term mortality, reduced growth,
and reduced long-term survival. Based on this information, EPA recommended that the cyanide
criteria be measured as free cyanide.
However, the EMC adopted the existing cyanide water quality standards as a measure of total cyanide. This was done because, at the time, while EPA recommended cyanide criteria as free cyanide, EPA had not published an approved analytical method for free cyanide. This is significant because EPA approved analytical methods, per 40 CFR part 136, are required to
analyze water samples associated with Clean Water Act implementation programs. The existing cyanide water quality standards were adopted as a measure of total cyanide because there was an existing EPA approved analytical method for total cyanide at the time and the measure of total cyanide would provide protection that was equal to, or greater than, the criteria recommend by EPA. EPA eventually approved an analytical method for free cyanide in September of 2019, and it
is the approval of this method that provides the basis for the modifications to the existing standards.
The modification of the existing water quality standards will incorporate the option for analyzing cyanide as either free or total cyanide. The modified cyanide standards, whether analyzed as free
or total cyanide, will continue to protect aquatic life from exposures to cyanide in the water
column for fresh water aquatic life. The modification to include free cyanide brings the existing standards closer to the EPA recommended criteria, does not require a change to the numeric values (magnitudes) already in rule, and provides permittees a degree of flexibility in determining which form of cyanide to analyze.
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9.4 Anticipated Impacts (Cyanide)
Upon completion of the triennial review process, the revised cyanide standard will apply to all fresh waters of the state. Anticipated impacts to affected parties as well as to the environment are discussed in the following sub-sections.
9.4.1 NPDES Wastewater Dischargers
The proposed standard for cyanide will be implemented through a subset of individual National Pollutant Elimination System (NPDES) wastewater permits as water-quality based effluent limits (WQBELs). The proposed change to the cyanide standard will not
alter the approach to setting permit limits for this compound: water quality-based limits
will continue to be based on Reasonable Potential Analyses. Nor will it result in any additional costs associated with monitoring since facilities with individual permits are already conducting effluent monitoring for cyanide as required in their permits.
NPDES wastewater staff reported that there are no general permits that require monitoring or have limits for cyanide. They reported that of the approximate total 1,094 active individual NPDES wastewater permits (includes pre-treatment permits), there are 40 active
individual permits which have either limits or monitoring requirements for cyanide. Of
those 40 permits, 26 have limits and 14 have monitoring only. Note that for purposes of this analysis, we make the conservative assumption that all limits are water quality based (WQBELs) and not technology based (TBELs). A list of facilities with cyanide requirements is included in Appendix V.
Of the 26 permits that have cyanide limits:
▪ 13 are publicly-owned treatment works (POTWs);
▪ 1 is a publicly-owned water treatment plant;
▪ 4 are metals manufacturers;
▪ 1 is a chemical manufacturer;
▪ 1 is an automotive parts manufacturer;
▪ 1 is a synthetic fiber and materials manufacturer;
▪ 1 is a nuclear fuel manufacturer;
▪ 1 is an electronics manufacturer;
▪ 1 is a biomanufacturer; and
▪ 2 are industrial and commercial WWTPs with multiple types of waste streams. Of the 14 permits that require monitoring of cyanide but do not have limits:
▪ 10 are publicly-owned treatment works (POTWs);
▪ 1 is a publicly-owned water treatment plant;
▪ 1 is a privately-owned water treatment plant (reverse osmosis);
▪ 1 is a chemical manufacturer; and
▪ 1 is a groundwater remediation site.
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It is reasonable to assume that in any given water sample, the concentration of free cyanide
will be lower (and not equal) to the concentration of total cyanide. This could make it
easier for permittees to meet WQBELs for cyanide. For this reason, the change to the cyanide standard should provide some regulatory relief to permittees that choose to report data as free cyanide. We do not have information to suggest whether or not a significant number of existing or future permittees will choose the free cyanide alternative. However,
we were provided information by one existing permittee who has expressed interest in
incorporating free cyanide into their individual NPDES permit. They estimated that they could realize annual cost savings of at least $100,000 from switching analytical methods to free cyanide for their permit. This presumes, of course, that they would be able to meet a free cyanide WQBEL. A small portion of the savings would come from avoided costs
associated with collecting, processing, and analyzing samples. The bulk of the savings
would come from avoided costs associated with professional services used to address exceedances of the total cyanide limit such as attorneys, engineers, construction services and other consultants. The permittee estimated that in some years, depending on the complexity of services required, their costs to address exceedances of their permit limit has been in the hundreds of thousands of dollars. For purposes of this analysis, however, we
have chosen a conservative benefit of $100,000 per year (Table 12).
Because of the considerable variability between permits and the lack of information about whether other permittees will take advantage of the revised standard, we did not attempt to generalize this single permittee’s estimate to the regulated community as a whole. It is
reasonable to expect that permittees that are experiencing problems with cyanide would
request to use the revised standard. They would only realize cost savings, however, if the treatment of cyanide is a driving treatment cost factor. Based on NPDES staff experience, cyanide is not a common driving cost factor; as such, we do not expect a significant proportion of permittees to realize cost savings, even if they do use the free cyanide
alternative. For purposes of this analysis, we are including this single estimate as a
minimum potential benefit of the revised cyanide standard. Because we do not know if other permittees will choose to switch to free cyanide, we did not attempt further analysis.
Table 12: Potential Cost Savings for NPDES Wastewater Permittees from Cyanide Standard Change over 10 Years
# Facilities Impacted 1
Cost savings per year $100,000
# Years 10 Total Cost Savings $1,000,000
Total Cost Savings, NPV1 $702,358
1 Net Present Value (NPV) computed at 7% discount rate.
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9.4.2 NPDES Industrial Stormwater Dischargers
Stormwater staff with the NC Division of Energy, Mineral and Land Resources (DEMLR) confirmed that there no NPDES stormwater general permits with a cyanide monitoring requirement.
Staff conducted a preliminary search of their database to identify NPDES stormwater
individual permits that require monitoring for cyanide. They did not identify any permits with cyanide requirements. Due to time and staff resource constraints, a more thorough search was unable to be conducted. It is possible that there are a small number of individual permits with cyanide requirements that weren’t identified by their preliminary
search. In any case, Stormwater staff do not expect that these permits would be impacted
by the proposed change to the cyanide standard because their stormwater benchmark is already expressed as free cyanide (converted to Total for purposes of NPDES reporting requirements). 9.4.3 DWR Groundwater Protection Program
Of the approximately 30 groundwater protection permits administered by DWR, we were unable to determine which, if any, of these sites require monitoring for cyanide. DWR Groundwater Protection staff report, however, that the impact of the proposed change to the cyanide standard on parties regulated under DWR’s Groundwater Protection Program
is expected to be negligible. Monitoring of intercepted surface waters at these sites for contaminants of concern will continue to be required regardless of the proposed change, and these sites will continue to be managed so as to prevent violations of the surface water standards.
Similarly, staff with DWR’s Non-Discharge and Animal Feeding Operations programs confirmed that they do not anticipate any economic impact to their permittees from the proposed changes to any of the surface water standards, including cyanide.
9.4.4 NC Division of Waste Management
The Division of Waste Management (DWM) was contacted for information about the
sites they monitor and regulate under multiple programs. Staff reported that they do not
anticipate that any of their sites will be impacted by the proposed change to the cyanide standard.
▪ Solid Waste program -- Although cyanide is sampled for routinely in surface waters
at solid waste sites, it is not the “driver” for cleanup of either groundwater or, indirectly, surface waters.
▪ Inactive Hazardous Waste program – Staff report that it is rare to have cyanide in groundwater at concentrations that could affect surface water. It is monitored in surface water at these sites if 1) it is a known contaminant in the groundwater discharge and it is
possible that the discharge could intercept surface waters; or 2) if there is evidence of
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spillage such that a broader range of testing is warranted. They do not know of any sites
where cyanide is an issue.
▪ Underground Storage Tank program -- The UST Section reports that they do not test for cyanide as it is not expected to be contained in petroleum.
▪ Hazardous Waste – Hazardous Waste staff report that they have few sites with exceedances of any 02B surface water quality standards. They do not expect an impact
from the proposed revisions.
9.4.5 Impairment 303(d) and TMDLs
There are currently no waterbodies listed as impaired for cyanide. In the future, waterbodies will continue to be assessed for cyanide impairment, but those assessments will be based on the revised cyanide water quality standard. Assessment for cyanide impairment is already accounted for in DWR’s existing 303(d) Listing and Delisting Methodology which is the framework used by the DWR to interpret data and information
to determine whether a waterbody is meeting water quality standards. Assessment takes place every two years and includes the toxic substances for which there are water quality standards. The inclusion of the revised cyanide standard will not require additional expenditure, distribution or reallocation of State funds.
Because the proposed cyanide standard is less stringent, it is theoretically possible that waterbodies would be less likely to be listed as impaired for cyanide. This scenario is unlikely, however, since waterbodies are not currently listed as impaired when assessed using the existing more stringent total cyanide standard. 9.4.6 DWR Ambient Monitoring Program Cyanide is an existing standard for which a DWR ambient monitoring program is already established; as such, there should be no budgetary impact to this program as a result of adopting a revised standard. Cyanide will continue to be monitored in surface waters by
both DWR and monitoring coalitions as part of the Ambient Monitoring System. For consideration in this analysis, DWR Water Sciences Section staff compiled cyanide ambient monitoring data from 2012-2018. Out of 63 samples, none returned an in-stream concentration that is higher than the cyanide standard. The addition of the free cyanide measure as an option will not place additional requirements on these programs or require
shifting of resources. 10. SITE-SPECIFIC RECREATIONAL BACTERIA (E. COLI) FOR THE ASHEVILLE REGION 10.1 Rule Citation 15A NCAC 02B .0219 (3)(c)-- Fresh Surface Water Quality Standards for Class B Waters
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10.2 Proposed Change
North Carolina has existing surface water quality recreational bacteria standards for primary recreation (Class B) in fresh waters. These standards apply to all Class B waters in the state and are based on EPA’s 1976 Quality Criteria for Water (EPA 440-9-76-02)24. The current Class B bacterial recreation standard appears in 15A NCAC 02B .0219(3)(b) as:
(3)(b) Fecal coliforms shall not exceed a geometric mean of 200/100 ml (MF count) based on
at least five samples taken over a 30-day period, nor exceed 400/100 ml in more than 20 percent of the samples examined during such period.
DEQ is proposing to incorporate site-specific bacterial recreation criteria to apply to the Class B
waters within the 19 counties that comprise the Asheville Region. This site-specific criteria will replace the fecal coliform pathogen indicator in these Ashville Region waters with the Escherichia coli (E. coli) pathogen indicator as recommended in EPA’s 2012 Recreational Water Quality Criteria (EPA 820-F-12-058)25.
The site-specific Class B bacterial recreation standard for the Asheville Region will be added as 15A NCAC 02B .0219(3)(c) and will read: (3)(c) For the counties listed in this Sub-Item, Escherichia coli (E. coli) shall be used as the bacterial indicator in lieu of Sub-Item (b) of this Item. E. coli shall not exceed a geometric
mean of 100 colony forming units (cfu) per 100 ml (MF count) or a most probable number
value (MPN) of 100 per 100 ml based upon a minimum of five samples taken over a 30-day period, and E. coli shall not exceed 320 cfu/100 ml or 320 MPN/100 ml in more than 20 percent of the samples examined during the same 30-day period. The counties subject to this site-specific standard are:
(i) Avery;
(ii) Buncombe; (iii) Burke; (iv) Caldwell; (v) Cherokee;
(vi) Clay;
(vii) Graham; (viii) Haywood; (ix) Henderson; (x) Jackson;
(xi) Macon;
(xii) Madison; (xiii) McDowell; (xiv) Mitchell;
24 https://www.epa.gov/sites/production/files/2018-10/documents/quality-criteria-water-1976.pdf 25 https://www.epa.gov/sites/production/files/2015-10/documents/rwqc2012.pdf
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(xv) Polk;
(xvi) Rutherford;
(xvii) Swain;
(xviii) Transylvania; and (xix) Yancey.
10.3 Rationale
Rule 15A NCAC 02B .0219 establishes the water quality standards for primary contact recreation (Class B) waters. Primary recreation is defined in 15A NCAC 02B .0202(43) to mean "...swimming, diving, skiing, and similar uses involving human body contact with water where
such activities take place in an organized or on a frequent basis.” The focus of these standards is
to protect recreators from gastrointestinal illnesses associated with exposure to pathogenic organisms in contaminated surface waters. These pathogenic organisms include bacteria and viruses that are associated with human and other mammalian waste. To accomplish this, pathogenic indicators are used to evaluate surface waters for the presence of these pathogenic organisms.
A pathogenic indicator is defined by EPA in §502(23) of the Clean Water Act (CWA), as “a
substance that indicates the potential for human infectious disease.” Pathogenic indicator
organisms do not necessarily cause illness themselves; however, they are associated with fecal contamination of surface waters and are employed as a means for estimating the concentration of pathogenic bacterial and viral organisms associated with such contamination that may not be measurable using standard laboratory methods.
The use of the fecal coliform bacteria group as a pathogenic indicator dates back to the 1960’s. EPA began recommending the use of E. coli as a pathogenic indicator in surface waters in the 1986 Ambient Water Quality Criteria for Bacteria. EPA has since released updated recreational
criteria with the publishing of the 2012 Recreational Water Quality Criteria and public interest in
the use of E. coli as a pathogenic indicator has grown with recent EPA approval of an E. coli analytical method (Colilert®) that provides a quicker turn-around time as compared to traditional methods and is easier to perform. In terms of environmental protection, neither indicator is considered more stringent or more protective than the other.
DEQ is proposing to adopt the site-specific bacterial recreation standard for E. coli to apply to the
Class B waters within the 19 counties that comprise the Asheville Region. The updating of the fecal coliform standard indicator to an E. coli standard indicator was requested by non-governmental organizations and the DWR Asheville Regional Office staff. Non-governmental organizations in the region have devoted time and resources to monitoring these waters based on the updated recreational criteria for E. coli as recommended by EPA in the 2012 Recreational Water Quality
Criteria and have also been working closely with DWR Asheville Region staff who have established the use of E. coli testing methods in the DWR Asheville Region Laboratory. This proposed site-specific standard seeks to update the Class B protections for the recreational waters in the Asheville Region by updating the existing Class B pathogenic indicator to match the current state of the science which supports the transition to the E. coli pathogenic indicator.
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It is important to note that while the EPA 2012 Recreational Water Quality Criteria recommends
that the pathogenic indicator standards for primary recreation waters be updated from fecal coliform
to E. coli, it is not feasible at this time for North Carolina to switch to the E. coli pathogenic indicator for Class B waters statewide. This is because: (1) The DWR central laboratory in Raleigh does not currently have the resources to incorporate the new analytical methods required for analysis of E. coli in surface water. It will take time and money to procure the necessary resources which include
equipment, materials, staffing, and laboratory space; (2) The adoption of the E. coli pathogenic
indicator as a statewide standard would require re-evaluation of water quality protection programs to evaluate whether those program would be required to adjust their regulatory operations and switch from the fecal coliform pathogenic indicator to the E. coli pathogenic indicator; and (3) Certified laboratories would likely require time to adjust their operations to incorporate new methods for E.
coli analysis. For these reasons, DEQ is proposing to limit the application of the new E. coli standard
to the Asheville region which is already capable of absorbing the testing requirements into its existing operations.
10.4 Anticipated Impacts (E. Coli)
Upon completion of the triennial review process, the revised E. coli standard will apply to Class B
waters in the 19 counties of the Asheville Regional Office area. Within this region, there are
about 240 named streams that have some portion classified for primary recreation (Class B).
Anticipated impacts to affected parties as well as to the environment are discussed in the following
sub-sections.
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10.4.1 NPDES Wastewater Dischargers
The proposed standard for E. coli will be implemented through a subset of individual and general National Pollutant Elimination System (NPDES) wastewater permits as water-quality based effluent limits (WQBELs). The proposed change to the recreational water quality standard will not alter the approach to setting permit limits for this compound:
water quality-based limits will continue to be based on Reasonable Potential Analyses
(RPAs). Because pathogens are present at significant levels in all untreated municipal wastewater, it is presumed that all municipal wastewater treatment plants that discharge to recreational waters have a reasonable potential to cause or contribute to an excursion above the applicable recreational water quality standard. These excursions are expected
regardless of the pathogenic indicator used. The fecal coliform and E. coli standards are
considered equally protective; as such, we do not expect that the change to E. coli will result in a significant change to the number of excursions above the standard or exceedances of permit limits. Facilities are already conducting effluent monitoring for one pathogenic indicator (fecal coliform), so the change to E. coli will not result in additional costs associated with monitoring.
10.4.2 NPDES Industrial Stormwater Dischargers There are four NPDES stormwater general permits with fecal coliform monitoring requirements:
• NCG02 Mining
• NCG06 Food and Kindred;
• NCG12 Landfills; and
• NCG24 Compost facilities. The NCG02 Mining general permit requires fecal coliform monitoring only for facilities
with stormwater outfalls discharging to Class SA waters; as such, none of the NCG02
permittees will be impacted by the proposed rule change. There are currently a total of 19 Certificates of Coverage issued under the other 3 general permits to facilities located in one of the 19 counties within the Asheville regional office. Of these 19 COC’s, only 5 have stormwater outfalls that discharge to Class B waters:
• NCG06 – 2 COC’s to Class B waters;
• NCG12 – 3 COC’s to Class B waters;
• NCG24 – 0 COC’s to Class B waters;
Due to time and staff constraints, we were unable to determine how many NPDES stormwater individual permits have requirements for fecal coliform monitoring. Staff reported it is relatively uncommon for individual permittees to have fecal coliform monitoring requirements, so there are likely very few, if any, individual permits located in
the Asheville RO area that discharge to Class B waters. Fecal coliform is not used often in stormwater permits because of challenges associated with interpreting the data.
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Stormwater runoff tends to cause dramatic spikes in fecal coliform levels and attributing
the cause of a spike to activities associated with the permitted industry can be challenging.
Permittees are not expected to incur additional costs as the switch to E. coli would be incorporated into the regular permit renewal process. Fees paid to laboratories for testing should be comparable when considering that testing materials for E. coli are higher than
fecal coliform, but staff resources (time) required for E. coli testing are expected to be less
than for fecal coliform testing. 10.4.3 DWR Groundwater Protection Program
Of the approximately 30 groundwater protection permits administered by DWR, 5 are
located in the Asheville Regional Office area. We were unable to determine which, if any, of these sites require monitoring for fecal coliform. DWR Groundwater Protection Program staff report that the most common parameters monitored are nitrates, dissolved solids, chloride, pH, metals and occasionally volatile organics, pesticides, and semi-volatiles. Similar to the other parameters, we do not expect a significant impact from a
change to this water quality standard. Monitoring of intercepted surface waters at these sites for contaminants of concern will continue to be required regardless of the proposed change, and these sites will continue to be managed so as to prevent violations of the surface water standards.
Under the Animal Feeding Operations Program, fecal coliform is used as a measure of pathogen reduction for performance standards for new or expanding swine operations and for sampling of sources of discharge in the event of an unpermitted discharge. Under the Non-discharge Program, fecal coliform monitoring is used as a measure of pathogen reduction for residuals application. Under both these programs, affected permits in the
Asheville area will need to be revised to reflect the new E. coli standard. This would take place during the renewal process for general or individual permits, and is therefore unlikely to place additional burdens on these programs or require shifting of resources. When asked about the impacts of switching from fecal coliform to E. coli, DWR Animal Feeding Operations programs staff expressed concern about the availability of commercial
laboratories certified to analyze for E. coli that are located within required sample hold
times. We have confirmed that there are currently five commercial laboratories certified for E. coli within hold time requirements of the Asheville area (3 in Charlotte, 1 in Cherokee, 1 in Greenville, SC). The switch from fecal coliform to E. coli should not result in logistical issues for permittees or DWR inspectors that use commercial laboratories.
10.4.4 NC Division of Waste Management
As with other parameters in this rulemaking, we do not anticipate impacts to sites
regulated under the Division of Waste Management (DWM).
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10.4.5 Impairment 303(d) and TMDLs
There are currently about 20 waterbodies located in the Asheville Regional Office area that are listed as impaired for fecal coliform. After adoption of the E. coli standard, these waterbodies will be assessed for E. coli impairment. DWR staff do not expect that the shift to a different pathogen indicator will result in changes to waterbody impairments.
Assessment for fecal coliform impairment is already accounted for in DWR’s existing
303(d) Listing and Delisting Methodology which is the framework used by the DWR to interpret data and information to determine whether a waterbody is meeting water quality standards. The inclusion of the E. coli standard will not require additional expenditure, distribution or reallocation of State funds.
10.4.6 DWR Ambient Monitoring Program Upon adoption as a standard, E. coli will be added to the basic core suite of indicators that are routinely measured at the 12 ambient monitoring stations in Class B waters of the Asheville region. The impact of this change will be on the State water quality laboratory at
the Asheville Regional Office where staff process the samples. There would be additional costs due to the high cost of the test kits for E. coli relative to the testing materials fecal coliform. The State lab could realize equivalent avoided costs in the form of time savings, however, associated with the less time- and labor-intensive Colilert® test method. The labs would incur higher net costs, however, if samples must be analyzed for both fecal coliform
and E. coli to satisfy different permitting program requirements. We are still determining whether that is likely to occur. For purposes of this analysis, we will assume that only one pathogen indicator parameter will be required for a given sample. An additional complicating factor will be that the E. coli standard will only apply to a
subset of waters in the Asheville Regional Office area; the majority of ambient monitoring samples processed by the State lab will continue to be fecal coliform. This means that the State lab will need to be equipped and staffed to run tests for both. This poses a logistical challenge in terms of incubator space, laboratory space, and staff scheduling. Staff in the Asheville Regional Office have confirmed their support for this change despite these
challenges due to the potential for significant staff time savings. The costs and benefits associated with the current fecal coliform test method and the two possible E. coli test methods are summarized in Table 13.
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Table 13: Cost comparison of Fecal Coliform versus E. coli Test Methods State DWR Laboratory – Asheville
Test Method
Fecal coliform by MF (current method)
E. coli by MF E. coli by Colilert-18® (preferred method)
Cost per sample (testing materials) $3.05 $5.50 $12.00 (State
contract)
Average # samples/yr 1,500 1,500 1,500
Total cost/yr (testing materials) $4,575 $8,250 $18,000
Staff time per sample 0.5 hrs 0.75 hrs 0.25 hrs
Avg lab staff salary* $35.88/hr $35.88/hr $35.88/hr
Staff cost/sample (opportunity cost) $17.94 $26.91 $8.97
Total staff cost/yr (opportunity cost) $26,910 $40,365 $13,455
Total cost of method/yr (materials
+ opportunity cost)
$31,485 $48,615 $31,455
Total cost 10 yrs $314,850 $486,150 $314,550
Total cost (staff + testing materials), NPV1, 10 yrs $221,137 $341,451 $220,927
Notes Two-step verification process using two different medias. Incubates at 44.5 degrees for 24 hours
Multistep verification procedure using four different medias. More time consuming than Fecal by MF due to extra QC, spiking and more complex verifications. Incubates
for 2 hours at 35 degrees and then 44.5 degrees for 22 hours. This extra step limits how late in the day samples can be set.
No verification required. Incubates @ 35 degrees for 18 hours.
1 Net Present Value (NPV) computed at 7% discount rate.
*Staff salary derived from the average annual salary range of Water Sciences Section staff and includes the fringe benefits for insurance, social security, etc. as stipulated in the NC Office of State Personnel Compensation Calculator http://www.osp.state.nc.us/Reward/benefits/Compensation%20Calculator.htm
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The Asheville lab will be able to handle the workload associated with the E. coli testing without additional personnel or equipment. There is a sizeable difference in opportunity cost savings (staff time) associated with the different methods, with E.
coli by membrane filtration requiring the most staff time and E. coli by Colilert® requiring the least staff time (Table 13). In total, the adoption of the E. coli standard as proposed and use of the Colilert® method could result in a modest net savings in the form of opportunity cost savings to the State of approximately $210 NPV over a 10-year period as compared to the status quo (fecal coliform by MF). If the State is able to procure the Colilert® test kits at a lower price (< $12/unit), it would result in a significantly larger net savings to the State over the status quo.
10.4.7 Commercial laboratories
Commercial laboratories that are certified for E. coli should expect the same categories of costs and benefits as the State lab; however, the costs for the Colilert® test kits are likely to be lower for private labs as compared to the State government contract prices. We were unable to estimate potential costs or benefits to commercial labs due to lack of information.
To provide reasonable estimates, we would need to know how many fecal coliform samples various commercial laboratories process from permitted dischargers that discharge to Class-B waters in the Asheville Regional Office area. Time and staffing constraints did not allow us to pursue this type of information. We can assume, however, that net benefits to commercial labs certified for E. coli could exceed those to the State due to their lower
costs for test kits. To assist with estimating these costs, DEQ solicited input from a regional environmental advocacy group that has already been testing for E. coli using the Colilert® method. They estimate their costs to be approximately $7.26 per sample, considerably lower than the State contract price of $12.00 per sample.
Commercial labs would incur additional costs if they seek certification from DEQ to begin testing for E. coli. For a certified commercial lab, this would consist of a recurring annual fee of $85. Commercial labs that are not certified by DEQ for any parameters would incur an additional one-time cost of $300 (certification application fee) and a minimum $3,500 parameter fee. Commercial labs that aren’t equipped for E. coli testing would also incur
one-time costs associated with equipment setup. The same regional environmental advocacy group provided DEQ with the following estimated costs associated with initial setup and equipment purchases for E. coli using Colilert-18®: IDEXX® Sealer: $3,750.00
Certified Incubator: $1,895.00 UV Viewing Cabinet and Lamp: $300.00 QA/QC Comparator Tray: $22.00 Refrigerator (if samples will not be processed immediately): Varies
Commercial laboratories will not be required by this rule change to test for E. coli or to seek certification. We cannot reasonably predict whether laboratories will choose to
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pursue certification; as such, we did not attempt to monetize potential benefits from
certification. It may be reasonable to assume, however, that commercial labs that gain
certification for E. coli would realize long-term net benefits if they acquire new clients as a result of the additional certification. 11. ENVIRONMENTAL AND HUMAN HEALTH IMPACTS
Regulations aimed at environmental protection provide a wide range of benefits to the public. Environmental protections can provide both economic benefits and, indirectly, human health benefits. The proposed changes to the water quality standards are expected, at a minimum, to provide mechanisms to:
• prevent increased concentrations of selenium in surface waters;
• allow for a more accurate and scientific assessment of the health of the state’s aquatic habitats
for selenium, cadmium, cyanide, and pathogenic indicators; and
• increase the potential for the formal assessment of water bodies for 1,4-dioxane impairment, which could lead to the development of TMDLs that compel broader regulatory protections and corrective actions that result in increased human health protections over ongoing regulatory actions.
We expect the largest proportion of benefits from the proposed rule changes will be to aquatic life. Benefits could be in the form of reduced mortality for aquatic organisms, improved reproductive success of aquatic organisms, increased diversity of aquatic organisms; and improved conditions for successful recovery of threatened and endangered species. As a result of the improvement to aquatic
life, secondary benefits could be realized in the form of enhanced recreational and commercial
activities, including fishing. Other secondary benefits could result in the form of reduced human exposure to pollutants and increased economic development opportunities. Adopting the updated EPA NRWQC for selenium, cadmium, cyanide, and pathogenic indicators will
allow for a more accurate and scientific assessment of the health of the state’s aquatic habitats.
Accurate determination of attainment of designated uses should allow DEQ and other stakeholders to tailor protections and corrective actions to better address the source of a problem or potential threat to water quality, such as with targeted reductions in metals concentrations from identified anthropogenic sources. We were unable to monetize benefits associated with more accurate attainment determination,
but its importance should not be discounted.
Other potential benefits that can be expected as a result of the proposed standards change include nonuse benefits. Nonuse benefits refer to benefits that people receive from the existence of an environmental feature independent of people’s current resource use. For example, some people value protection of coastal waters even if they may never visit the beach. Nonuse benefits include bequest,
existence, and ecological preservation values.
• Bequest value of a natural resource is the value people place on being able to provide future generations with a pristine natural resources.
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• Existence benefits occur when people value a resource or natural feature maintained in its
current condition. An example of existence value is the substantial amount of money directed to conservation groups for land preservation.
• Ecological preservation is the protection of an entire ecology or system of plants and animals and their physical habitats. Strong ecosystems preserve biodiversity, making organisms more
resistant to environmental stresses. Nonuse benefits are difficult to value since they lack traditional markets, but these values can be significant. This fiscal analysis does not attempt to monetize nonuse values of cleaner water; however, this benefit does exist and should be taken into account when policy decisions are made.
Additional benefits specific to each parameter are discussed in more detail in the following sub-sections. 11.1 Selenium
Although our Reasonable Potential Analyses for 8 of 35 permits that have limits or monitoring requirements for selenium did not indicate that there would be impacts from the revised standard, we cannot absolutely rule out that there could be impacts to these or the remaining 27 permits from the revised standard. For this reason, there is a possibility that there could be
additional water quality improvements not accounted for in this analysis.
It is likely, however, that a majority of permits would at least receive revised water-quality based effluent limits. Although no changes in permit requirements, facility operations, or discharges are expected in the near term as a result of the new limits, the standard upon which
they are based is more reflective of the current science on selenium toxicity to aquatic life. In
effect, this should better equip DEQ and facilities to protect aquatic life biodiversity by detecting any future problem with selenium in effluent earlier which will, in turn, promote an earlier response from facilities. Earlier intervention by the facility has the potential to prevent water quality degradation and perhaps allow the facility to avoid costly treatment requirements
in the future.
Whether implemented as WQBELs or used to perform more accurate waterbody assessments, the proposed changes to the selenium water quality standard could aid efforts to stabilize and/or enhance species biodiversity in state waters. The concept of biodiversity reflects the benefits of
maintaining and protecting a wide range of aquatic habitats, a wide range of organisms in those
habitats and a large enough population of individual organisms to ensure genetic diversity and allow organism adaptation. Aquatic biodiversity has been shown to provide many valuable goods and services that benefit humans – some of which are considered to be irreplaceable.26
26 Covich, A.P. Ewel, K.C., Hall, R.O., Giller, P.E., Goedkoop, W., and Merritt, D.M. (2004). Ecosystem services provided by freshwater benthos. In Sustaining Biodiversity and Ecosystem Services in Soil and Sediments (ed. D.H. Wall), pp.45-72. Island Press, Washington D.C., USA.
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Reduced water pollution and healthier aquatic ecosystems may translate to higher catch rates
and increased commercial fishing productivity in North Carolina. Metals contamination of soft
bottom habitat is an ongoing threat to commercial fisheries. Soft bottom habitat is unconsolidated, unvegetated sediment that occurs in freshwater, estuarine, and marine systems. Soft bottom habitat is a key foraging habitat for juvenile and adult fish and invertebrates and aids in storing and cycling of sediment, nutrients, and toxins between the bottom and water
column. Shallow, unvegetated bottom is particularly productive and, by providing refuge from
predators, is an important nursery area. A reduction in metals-contaminated soft bottom habitat can result in significant avoided costs to commercial fisheries. A reduction in the concentration of selenium, as well as the prevention of future increases of
selenium concentration, in surface waters would provide a direct ecological benefit to aquatic
ecosystems and may indirectly benefit human uses as well (for example, by aiding in the recovery of fishery resources).
11.2 Cadmium We expect that the changes to the cadmium standard will continue to prevent unacceptable
toxicity effects to aquatic organisms, even if the proposed changes reduce regulatory burden. To
understand how changes to an existing standard for the protection of aquatic life can provide regulatory relief without resulting in negative impacts to that aquatic life, it is helpful to understand how EPA derives its water quality criteria.
EPA water quality include magnitude, duration, and frequency components. These components
estimate the rate (frequency) at which in-stream contaminant concentrations, as averaged over a specified period of time (duration), can be above a numeric threshold (magnitude) in a waterbody without resulting in unacceptable effects to aquatic organisms in a waterbody. It is important to note that the criteria are intended to protect most, but not necessarily all, aquatic
organisms at all times. That is to say, adverse effects may result from temporary excursions
above the numeric threshold; however, the degree to which those adverse effects occur should not reach a level that is considered unacceptable, as defined by the criteria. As the EPA periodically re-evaluates existing National Recommended Water Quality Criteria
(NRWQC), new toxicity information may become available that leads to a better understanding of
the relationships between aquatic organisms and the toxic effects of a contaminant. This may lead to the publishing of new NRWQC that provide a more appropriate numeric threshold value. For example, the existing cadmium chronic water quality standard for the protection of freshwater
aquatic life is based on the 2001 EPA NRWQC which incorporated toxicity data from 65 species in 55 genera. Figure 1 provides a summary of the toxicity data, ranked by organism sensitivity, used in the 2001 NRWQC chronic cadmium evaluation.
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Figure 1: Summary of ranked chronic toxicity response data (Source: EPA, 2001)
Each point in the distribution represents toxicity sensitivity data (chronic value or effect concentration) as a geometric mean from studies of groups of organisms in related genera. The horizontal line titled “Freshwater Final Chronic Value” is the protective threshold for cadmium (0.15 ug/L) as calculated per EPA guidance documents and normalized to 50 mg/L hardness.
In 2016, EPA published an updated evaluation of the cadmium data that incorporated toxicity data for 75 new species and 49 new genera. This updated data allowed for a recalculation of the criterion resulting in a more precise protective threshold value as compared to the 2001 document. Figure 2 provides a summary of the 2016 ranked toxicity data as well as the freshwater “Final
Chronic Value” (0.79 ug/L) normalized to 100 mg/L hardness.
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Figure 2: Summary of ranked chronic toxicity response data (Source: EPA, 2016)
The additional data in the 2016 evaluation indicates that the most sensitive freshwater species can tolerate higher concentrations of cadmium than previously thought before exhibiting signs of chronic toxicity. Compared to Figure 1, the four most sensitive organism groups in Figure 2 have changed, both in the organism distribution and in the degree of sensitivity. In the 2001 evaluation,
two groups of freshwater invertebrates represented the two most sensitive organism groups
followed by a large gap in sensitivity before the third most sensitive group of organisms appears (represented by a group of freshwater fish). In the 2016 evaluation, however, while the most sensitive organism group is still represented by a freshwater invertebrate, the second and third most sensitive organism groups are now represented by a freshwater fish and a freshwater mollusk
(a new genera), respectively. Also, due to the incorporation of additional toxicology data, the
estimated sensitivity of the most sensitive organism group has decreased, resulting in a higher chronic effect concentration than that reported in 2001. This same additional toxicity information also leads to the slightly higher protective threshold value (criterion) provided in the 2016 criteria document.
Even though the 2016 cadmium chronic criterion is greater (less stringent) than the current NC chronic freshwater standard, 0.25 ug/L vs. 0.15 ug/L (calculated at 25 mg/L hardness), respectively, the additional toxicity information used in the derivation of the 2016 criterion has provided a greater degree of confidence that the 2016 criteria better achieves the goal of
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preventing unacceptable levels of toxicity in NC waters without creating undue burdens. In other
words, the change to the numeric criteria represents a change in the degree of confidence in the
derived criteria itself; it will not result in unacceptable toxicity effects to aquatic organisms. 11.3 Cyanide
Similar to cadmium, we expect that the change to the cyanide standard will continue to provide at
least an equivalent level of environmental protection, even if the proposed changes reduce regulatory burden. Free cyanide comprises only a portion of all cyanide that may exist in surface waters. The EPA NRWQC for free cyanide was based on toxicological and chemical data that indicated that the more bioavailable and, therefore, more toxic form of cyanide is free cyanide
(cyanide that is not bound to organic or other matter in the water column). Since the existing
standard of 5 ug/L as total cyanide provides a protective threshold that is more stringent (overprotective) than the toxicological and chemical information used to develop the threshold as free cyanide would warrant, the proposed modification of the existing standard does not result in an environmental impact. In other words, by modifying the existing standard to include analysis as free cyanide, the resulting protective threshold is being set to what was intended by the 1985
EPA NRWQC. 11.4 1,4-Dioxane The proposed codification of the 1,4-dioxane standard could contribute to the ongoing protection
of human health by increasing the potential for the formal assessment of water bodies for 1,4-dioxane impairment. Impairment could lead to the development of a TMDL that compels broader regulatory protections and corrective actions that result in increased human health protections. The importance of this benefit is underscored by the fact that 1,4-dioxane is classified by EPA as a likely human carcinogen. While the benefits to human health associated with the regulation of
1,4-dioxane in wastewater, stormwater, and waste management permits are likely quite substantial, we do not provide monetary estimates in this document as these benefits are ongoing (as ITVs) and are not a result of the current proposed action. However, we recognize the importance of regulating 1,4-dioxane in the environment and want to emphasize the significance of formalizing the ITV into the rules.
11.5 E. coli Information provided by a regional environmental advocacy group suggests E. coli using the Colilert method would be a more accessible test and provide a modest cost savings over using
fecal coliform with membrane filtration. This savings may allow them to expand their sampling efforts. If there is increased sample collection, it could allow more precise determination of waterbody impairment. The Division believes the proposed changes will maintain surface water protections in the short term,
protect against potential future water quality degradation, and lay the groundwork for more accurate impairment designations and associated protective measures in the long term. However, it is not possible to determine the absolute improvement in water quality that will result from the revised
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standards with the available data. Therefore, the expected environmental benefits cannot be monetized
for purposes of this analysis. The State will not receive the full value of the rule changes until the
revised standards are incorporated into permits, affected facilities upgrade wastewater treatment facilities (if applicable), waterbodies are assessed against the new standards, and aquatic communities respond to the positive changes in the form of reduced mortality, improved reproduction, and enhanced biodiversity.
12. INCORPORATING ENVIRONMENTAL JUSTICE INTO RIAS
DEQ's mission is to "provide science-based environmental stewardship for the health and prosperity of all
North Carolinians." One of the ways DWR fulfills this mission is during rulemaking, where DWR is required to consider the economic impacts of proposed regulations to potentially affected parties. The resulting document is called a Regulatory Impact Analysis, or RIA – an example of which you are reading right now.
An RIA is a tool used to identify, quantify, monetize, and communicate the anticipated effects of the proposed rule. It is a structured evaluation of the costs and benefits of regulation. The RIA informs decision-making, improves rule design, promotes transparency, and conveys information about potential impacts. The RIA may include impacts on time, expenditures, revenue, savings, efficiencies, public
health, and ecosystem services and remediation.
One area that DWR is currently working to improve upon -- and which is in direct support of our mission to provide stewardship for ALL North Carolinians -- is to intentionally and systematically integrate socioeconomic, race and ethnicity considerations into the RIA process. These components come under
the umbrella of “environmental justice.” The U.S. EPA defines environmental justice as the fair treatment
and meaningful involvement of all people regardless of race, color, national origin, or income, with respect to the development, implementation, and enforcement of environmental laws, regulations, and policies.
DWR is actively pursuing opportunities to advance our knowledge and practice in the area of
environmental justice through collaboration with area universities as well as with DEQ’s Environmental Justice Program27. Through these collaborations, we are seeking information on the broader considerations underlying incorporating environmental justice into rulemaking:
• How is social, economic, and environmental equity being incorporated into permitting, and can that model be applied to the rulemaking process?
• Are there best practices that should be integrated into DWR’s development of RIAs to identify and account for equity?
• What resources exist to help DWR carry out robust examinations concerning equity during rulemaking?
• How prevalent is implicit bias in external data sources that are used for evaluating cost-benefit
impacts of environmental regulation? For example, are low-income or minority communities
27 https://deq.nc.gov/outreach-education/environmental-justice
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systematically underrepresented in contingent valuation surveys, toxics release tracking databases,
or recreation trip estimates? Are there methods to account for this in an RIA?
• Through an examination of past RIAs, is it possible to identify commonalities among them? For example, do we tend to undervalue benefits of proposed environmental regulation? Do we undervalue costs associated with maintaining the status quo?
With future rulemakings, it is our goal to be able to address questions more targeted to a particular rule change, such as:
• What are the demographics (race, economic status, geography) of the population exposed to or affected by the problem the rule is intended to address? This information will inform policy/rule
decisions as well as outreach strategy during the public comment period.
• Is there a history of related issues in a particular community impacted by the proposed rulemaking?
• What is the expected future distribution of impacts on environmental justice communities?
• How can the rule be designed to optimize its implementation in various communities? This would
presumably require early coordination during the rulemaking process with local governments in impacted communities. DWR did not have the resources available during development of this RIA to include a meaningful environmental justice analysis, so we did not attempt to draw conclusions regarding impacts from the
proposed rule changes. However, we wanted to use this opportunity to convey our intention of incorporating environmental justice analyses into future rulemakings. We anticipate consulting with the DEQ Environmental Justice and Equity Advisory Board28 to assist with recommendations on environmental justice and equity issues raised during future rulemakings.
13. ALTERNATIVES ANALYSIS
To provide additional context about how DEQ arrived at these particular recommendations, DEQ
analyzed multiple alternatives to the proposed rulemaking. Section 303(c)(1) of the Clean Water Act requires that states and tribes evaluate and revise, as necessary, water quality standards at least once every three years. As part of the Triennial Review DEQ assessed EPA’s revised NRWQC for numerous areas including scientific confidence, public
interest, feasibility of implementation, and potential to improve water quality as compared to current permitting and regulatory baselines. Staff conducted a thorough review of the NRWQC and either accepted or declined to recommend each criteria for rulemaking at this time. Each of these decisions and their combinations can be considered an alternative to the proposed rulemaking.
DEQ concluded that each of the standards included in the proposed rulemaking should be adopted at this time for the reasons that are discussed in the “Rationale” section for each parameter. Each of the proposed standards will allow North Carolina to better protect human health and aquatic life, thereby continuing to meet the objectives of the Clean Water Act, or reduce undue regulatory burdens based
28 https://deq.nc.gov/outreach-education/environmental-justice/secretarys-environmental-justice-and-equity-board
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on an updated understanding of aquatic life toxicity sensitivity. In addition, the potential benefits to
the environment, human health, regulated parties, and DEQ are expected to outweigh the potential
costs to regulated parties and DEQ for each parameter. In addition to the parameters included in the proposed rulemaking, DEQ considered the following parameters:
• Aluminum (metal) – This NRWQC was published by EPA in December 2018. Adoption of this criteria would be a new surface water quality standard that would apply to all Class-C freshwaters for the protection of aquatic life. Staff concluded that adoption at this time is not recommended due to uncertainty regarding the scientific basis of the criteria, how to best adapt the model used to
calculate the criteria, and whether its adoption as a standard would lead to water quality improvements that justify the expense of implementation.
• Apply E. coli recreational bacteria standard statewide – As discussed in Section 10, DEQ
considered the feasibility of applying the proposed E. coli recreational bacterial standard statewide as opposed to limiting it to the 19 counties within the Asheville Regional Office area. In that scenario, E. coli would replace fecal coliform as the water quality pathogen indicator for primary recreation (Class B) waters across the state. This idea was rejected primarily due to the lack of equipment, materials, laboratory space, and staffing resources needed at the DWR central
laboratory to analyze primary recreation samples for E. coli and secondary recreation samples for fecal coliform bacteria. Also of concern is the number of commercial laboratories certified to run E. coli analyses and those laboratories’ capability to run E. coli and fecal coliform analyses concurrently. In addition, there are numerous logistical challenges associated with administration of DEQ permitting programs that currently use fecal coliform as their pathogen indicator.
• Acrolein (herbicide) – This would be a new surface water quality standard that would apply to all Class C freshwaters for the protection of aquatic life. Staff concluded that adoption at this time is not recommended due to uncertainty as to whether its adoption as a standard would lead to water
quality improvements that justify the expense of implementation.
• Cyanotoxins – In 2019, EPA issued recommendations for water quality criteria and swimming
advisory values for two cyanotoxins. Algal blooms caused by cyanobacteria sometimes produce
cyanotoxins at concentrations that can be harmful to people participating in recreational water-related activities such as swimming. Staff concluded that implementation of this standard would be infeasible at this time, in part, due to expenses associated with outfitting the DWR laboratories with equipment, space, and staffing to carry out the required analyses.
• Ammonia – This would be a new surface water quality standard that would apply to all Class-C freshwaters for the protection of aquatic life. Staff concluded that adoption at this time is not recommended due to the uncertainty as to whether its adoption as a standard would result in water
quality improvements that justify the expense of implementation. Preliminary reviews suggest
that the majority of costs would be incurred by smaller wastewater system operators whose contribution to ammonia levels in surface water is small in comparison to larger dischargers. In addition, the NPDES wastewater program already implements an ammonia toxicity permitting
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policy that is used for establishing ammonia permit limits.
• Human health criteria calculations – EPA revised its human health criteria calculation matrix which provides cancer potency factors, reference doses, relative source contributions, fish consumption rates, and equations used to derive human health criteria. Staff concluded that adoption of these revised criteria is premature due to low scientific confidence in some of the
variables and uncertainty about whether these changes would result in water quality improvements that would justify additional costs to the regulated community. As a whole, the adoption of these additional NRWQC as water quality standards would result in a substantial impact to DEQ and the regulated community without reasonable assurance that such costs
would be justified by benefits to water quality or human health. For these reasons, DEQ is not recommending that they be adopted as standards at this time.
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APPENDIX I REFERENCES
1. For background information about water quality standards: https://www.epa.gov/standards-water-body-
health/what-are-water-quality-standards 2. For background information about EPA National Recommended Water Quality Criteria:
https://www.epa.gov/wqc/national-recommended-water-quality-criteria-tables. 3. For more in-depth information about water quality standards: EPA Water Quality Standards Handbook https://www.epa.gov/wqs-tech/water-quality-standards-handbook. 4. For information about setting limits in NPDES wastewater permits and RPAs: Technical Support Document for Water Quality-Based Toxics Control, EPA Document Number 505/2-90-001, March, 1991. https://www3.epa.gov/npdes/pubs/owm0264.pdf 5. For information about NC DEQ Ambient Monitoring Program: https://deq.nc.gov/about/divisions/water-resources/water-resources-data/water-sciences-home-page/ecosystems-branch/monitoring-coalition-program 6. For information about NC DEQ TMDL assessment: https://deq.nc.gov/about/divisions/water-
resources/planning/modeling-assessment/tmdls 7. For information on effluent limitations and anti-backsliding. NPDES Permit Writers Manual- Chapter 7.
https://www3.epa.gov/npdes/pubs/pwm_chapt_07.pdf 8. For information on toxic effects of exposure to 1,4-dioxane https://www.atsdr.cdc.gov/toxfaqs/tfacts187.pdf
9. For information on carcinogen classification of 1,4-dioxane: US Environmental Protection Agency (2010). Toxicological Review of 1,4- Dioxane. https://cfpub.epa.gov/ncea/iris/iris_documents/documents/toxreviews/0326tr.pdf 10. For information on DEQ Cape Fear River Basin 1,4-dioxane study: https://deq.nc.gov/about/divisions/water-resources/water-resources-data/water-sciences-home-page/1-4-dioxane. 11. For information on treatment processes for 1,4-dioxane: Zenker, M.J., Borden, R.C., Barlaz, M.A. 2003. Occurrence and treatment of 1,4-dioxane in aqueous environments. Environmental Engineering Science 20 (5), 423-432. http://online.liebertpub.com/doi/abs/10.1089/109287503768335913
12. For information about NC DEQ 303(d) Listing Methodology:
https://files.nc.gov/ncdeq/Water%20Quality/Planning/TMDL/303d/2020/2020-Listing-Methodology-approved.pdf
13. For information about EPA aquatic life criterion for selenium: https://www.epa.gov/wqc/aquatic-life-criterion-selenium
14. For information on selenium levels in NC lakes: Jessica E. Brandt, Emily S. Bernhardt, Gary S. Dwyer, Richard T. Di Giulio. Selenium Ecotoxicology in Freshwater Lakes Receiving Coal Combustion Residual Effluents: A North Carolina Example. Environmental Science & Technology, 2017; Vol. 51, Issue 4,
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DOI: 10.1021/acs.est.6b05353
15. For mapped selenium concentrations in soils: “Selenium in Counties of the East Central U.S.” https://mrdata.usgs.gov/geochem/doc/averages/se/east-central.html 16. For information on the sources of selenium to the environment: https://pubs.usgs.gov/pp/1802/q/pp1802q.pdf 17. For information on the U.S. EPA criterion for selenium: U.S. EPA Document # EPA 822-F-16-005 “Aquatic Life Ambient Water Quality Criterion for Selenium in Freshwater 2016 – Fact Sheet”
https://www.epa.gov/sites/production/files/2016-06/documents/se_2016_fact_sheet_final.pdf
18. For information about the DEQ 2014 Triennial Review Fiscal Analysis:
https://files.nc.gov/ncosbm/documents/files/DENR10082014.pdf 19. For information on EPA cadmium water quality criterion:
https://www.epa.gov/sites/production/files/2016-03/documents/cadmium-final-factsheet.pdf 20. For operation, maintenance and monitoring cost estimates for treatment of cadmium: DENR/DWR “2014
Fiscal and Economic Analysis for the Proposed Amendments to 15A NCAC 02B .0200 – The Triennial Review of Surface Water Quality Standards and Classifications: https://files.nc.gov/ncosbm/documents/files/DENR10082014.pdf
21. For information about Ambient Water Quality Criteria for Cyanide (EPA 440/5-84-028; January 1985) 22. For information about Quality Criteria for Water - 1976 (Red Book) (EPA 440-9-76-02) 23. For information about 2012 Recreational Water Quality Criteria (EPA 820-F-12-058) 24. For information about the value of biodiversity in aquatic habitat: Covich, A.P. Ewel, K.C., Hall, R.O.,
Giller, P.E., Goedkoop, W., and Merritt, D.M. (2004). Ecosystem services provided by freshwater benthos. In Sustaining Biodiversity and Ecosystem Services in Soil and Sediments (ed. D.H. Wall), pp.45-72. Island Press, Washington D.C., USA. 25. DENR/DWR “2014 Fiscal and Economic Analysis for the Proposed Amendments to 15A NCAC 02B .0200 – The Triennial Review of Surface Water Quality Standards and Classifications:
https://files.nc.gov/ncosbm/documents/files/DENR10082014.pdf 26. For information about willingness-to-pay surveys and valuing environmental change: Huber, Joel, W. Kip Viscusi, and Jason Bell. 2006. “Economics of Environmental Improvement” EPA Cooperative Agreement CR823604 and Grant R827423 to Harvard University with the National Center for Environmental Economics. http://yosemite.epa.gov/ee/epa/eerm.nsf/vwAN/EE-0496-01.pdf/$file/EE-0496-01.pdf
27. For information about NC DEQ’s Environmental Justice Program: https://deq.nc.gov/outreach-education/environmental-justice
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Additional Resources
28. Information about treating 1,4-dioxane. Stepian, D.K., Diehl, P., Helm, J., Thomas, A. and Puttmann, W. 2014. Fate of 1,4-dioxane in the aquatic environment: From sewage to drinking water. Water Research 48, 406-419. http://dx.doi.org/10.1016/j.watres.2013.09.057
29. Information on toxic effects of 1,4-dioxane: U.S. EPA “Technical Fact Sheet – 1,4-Dioxane” November 2017. https://www.epa.gov/sites/production/files/2014-03/documents/ffrro_factsheet_contaminant_14-dioxane_january2014_final.pdf 30. Background information about natural and anthropogenic sources of selenium: Stillings, L.L., 2017,
Selenium, chap. Q of Schulz, K.J., DeYoung, J.H., Jr., Seal, R.R., II, and Bradley, D.C., eds., Critical mineral resources of the United States—Economic and environmental geology and prospects for future supply: U.S. Geological Survey Professional Paper 1802, p. Q1–Q55, https://doi.org/10.3133/pp1802Q.
31. Background information about a 1977 selenium poisoning event in Belews Lake: Lemly, A.D., 2002, Symptoms and implications of selenium toxicity in fish—The Belews Lake case example: Aquatic Toxicology, v. 57, nos. 1–2, p. 39–49. [Also available at http://dx.doi.org/10.1016/S0166-445X(01)00264-8.] 32. Information on selenium effects on Hyco Lake: Lemly, A.D., Skorupa, J.P., 2012. Wildlife and the coal waste policy debate: proposed rules for coal waste disposal ignore lessons from 45 years of wildlife poisoning. Environ. Sci. Technol. 46, 8595–8600. 33. Estimating the economic value of loss of fish: Kopp, R.J., Smith, V.K., 1993. Valuing Natural Assets: The Economics of Natural Resource Damage Assessment. Resources for the Future, Washington DC. 34. Estimating the economic value of loss of fishery Sutton Lake: Lemly, A.D. 2014. Teratogenic effects and monetary cost of selenium poisoning of fish in Lake Sutton, North Carolina. Ecotoxicology and
Environmental Safety, Volume 104, Pages 160-167. [Also available at: https://doi.org/10.1016/j.ecoenv.2014.02.022]
35. Information about incorporating environmental justice into RIAs: Banzhaf, H. Spencer, Aug 2010. Regulatory Impact Analyses of Environmental Justice Effects: Working Paper #10-08, National Center for Environmental Economics. https://www.epa.gov/sites/production/files/2014-12/documents/regulatory_impact_analyses_of_environmental_justice_effects.pdf
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Appendix II.
NPDES wastewater permitted facilities with limits (WQBEL or TBEL) or monitoring for 1,4-
dioxane
As of Jan. 2021
Permit Number Owner and Facility Name County Name Monitoring
only?
NC0001112 Inv Performance Surfaces LLC - Invista Wilmington New Hanover Y
NC0001228 Global Nuclear Fuel - Americas LLC - GNF-A Wilmington-Castle Hayne WWTP New Hanover Y
NC0001899 Moncure Holdings West LLC - Moncure Holdings West WWTP Chatham Y
NC0003573 The Chemours Company Fc LLC - Chemours Company-Fayetteville Works Bladen Y
NC0003719 Dak Americas LLC - Cedar Creek Site Cumberland Y
NC0003794 Corning, Inc. - Wilmington Fiber Optic Facility New Hanover Y
NC0003875 Elementis Chromium Inc - Castle Hayne Plant New Hanover Y
NC0023868 City of Burlington - Eastside WWTP Alamance Y
NC0024147 City Of Sanford - Big Buffalo WWTP Lee Y
NC0024210 City of High Point - East Side WWTP Guilford Y
NC0024881 City of Reidsville - Reidsville WWTP Rockingham Y
NC0026123 City of Asheboro - Asheboro WWTP Randolph Y
NC0027065 Archer Daniels Midland Company - Southport Manufacturing Facility Brunswick Y
NC0047384 City of Greensboro - T.Z. Osborne WWTP Guilford Y
NC0080853 Nokia of America Corporation - Salem Business Park remediation site Forsyth Y
NC0082295 Fortron Industries LLC - Fortron Industries New Hanover Y
NC0083658 Daikin Applied Americas Inc - HeatCraft Groundwater Remediation Site New Hanover Y
NC0088838 Radiator Specialty Company - Radiator Specialty Company Union
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Appendix III.
NPDES wastewater permitted facilities with limits (WQBEL or TBEL) or monitoring for
Selenium
As of Jan. 2021
Permit Number Facility Name Owner Name Permit Type Monitor_Only?
NC0000272 Canton Mill Blue Ridge Paper Products Inc Ind Process & Comm WW Discharge Yes
NC0000396 Asheville Steam Electric Power Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge
NC0001422 Sutton Steam Electric Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge
NC0001899 Moncure Holdings West WWTP Moncure Holdings West LLC Ind Process & Comm WW Discharge
NC0003255 Aurora Mine PCS Phosphate Company Inc Ind Process & Comm WW Discharge
NC0003417 Lee Steam Electric Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge Yes
NC0003425 Roxboro Steam Electric Power Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge
NC0003433 Cape Fear Steam Electric Power Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge
NC0003468 Dan River Combined Cycle Duke Energy Carolinas LLC Ind Process & Comm WW Discharge Yes
NC0003875 Castle Hayne Plant Elementis Chromium Inc Ind Process & Comm WW Discharge Yes
NC0004626 PPG Industries Fiber Glass Products,
Inc.
Electric Glass Fiber America LLC Ind Process & Comm WW Discharge Yes
NC0004774 Buck Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge Yes
NC0004961 Riverbend Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge
NC0004979 Plant Allen Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge
NC0004987 Marshall Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge
NC0005088 Rogers Energy Complex Duke Energy Carolinas LLC Ind Process & Comm WW Discharge
NC0005258 SGL Carbon Corporation Sgl Carbon LLC Ind Process & Comm WW Discharge Yes
NC0005363 Weatherspoon Steam Electric Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge Yes
NC0006351 Venator Chemicals, LLC Venator Chemicals LLC Ind Process & Comm WW Discharge
NC0020451 West Jefferson WWTP Town of West Jefferson Municipal Wastewater Discharge, < 1MGD Yes
NC0020559 Henderson WRF City of Henderson Municipal Wastewater Discharge, Large Yes
NC0020737 Pilot Creek WWTP City of Kings Mountain Municipal Wastewater Discharge, Large
NC0024279 Southeast WWTP City of Conover Municipal Wastewater Discharge, < 1MGD
NC0024406 Belews Creek Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge
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NC0025305 UNC Cogeneration Facility UNC At Chapel Hill Ind Process & Comm WW Discharge Yes
NC0036269 Rocky River WWTP Water and Sewer Authority of
Cabarrus County
Municipal Wastewater Discharge, Large Yes
NC0038377 Mayo Steam Electric Power Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge
NC0047384 T.Z. Osborne WWTP City of Greensboro Municipal Wastewater Discharge, Large
NC0047562 Hamlet WWTP City of Hamlet Municipal Wastewater Discharge, Large Yes
NC0083909 Rodanthe/Waves/Salvo Reverse
Osmosis WTP
Dare County Water Plants and Water Conditioning
Discharge
Yes
NC0089451 former Cates Brinery Addis Cates Company Inc Groundwater Remediation Discharge
NC0089621 Novozymes NA, Inc. Novozymes North America Inc Ind Process & Comm WW Discharge
NC0089702 Brightleaf on Main Brightleaf Durham Associates LLC Groundwater Remediation Discharge
NC0089915 Chemours Company-Fayetteville
Works
The Chemours Company Fc LLC Ind Process & Comm WW Discharge Yes
NC0004944 Edge Water Treating, LLC Salisbury Investments I LLC Ind Process & Comm WW Discharge
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Appendix IV.
NPDES wastewater permitted facilities with limits (WQBEL or TBEL) or monitoring for
Cadmium
As of Jan. 2021
Permit Number Facility Name Owner Name Permit Type Monitor
only?
NC0000311 M-B Industries WWTP M-B Industries Inc Ind Process & Comm WW Discharge
NC0000396 Asheville Steam Electric Power Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge Y
NC0001121 Danaher Sensors and Controls Specialty Product Technologies Ind Process & Comm WW Discharge
NC0001228 GNF-A Wilmington-Castle Hayne WWTP Global Nuclear Fuel - Americas
LLC
Ind Process & Comm WW Discharge
NC0001422 Sutton Steam Electric Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge Y
NC0001881 Phillips Plating Company Phillips Plating Company Inc Ind Process & Comm WW Discharge
NC0001899 Moncure Holdings West WWTP Moncure Holdings West LLC Ind Process & Comm WW Discharge
NC0003344 Wallace Chicken Processing Plant House of Raeford Farms Inc Ind Process & Comm WW Discharge Y
NC0003417 Lee Steam Electric Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge Y
NC0003433 Cape Fear Steam Electric Power Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge Y
NC0003450 Wallace Regional WWTP Town of Wallace Municipal Wastewater Discharge, Large Y
NC0003468 Dan River Combined Cycle Duke Energy Carolinas LLC Ind Process & Comm WW Discharge Y
NC0003760 E.I. DuPont Kinston Plant Dupont Industrial Biosciences
USA LLC
Ind Process & Comm WW Discharge
Y
NC0004774 Buck Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge Y
NC0004944 Edge Water Treating, LLC Salisbury Investments I LLC Ind Process & Comm WW Discharge
NC0004961 Riverbend Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge
NC0004979 Plant Allen Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge Y
NC0004987 Marshall Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge Y
NC0005088 Rogers Energy Complex Duke Energy Carolinas LLC Ind Process & Comm WW Discharge Y
NC0005363 Weatherspoon Steam Electric Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge Y
NC0020401 Northeast WWTP City of Hickory Municipal Wastewater Discharge, Large Y
NC0020559 Henderson WRF City of Henderson Municipal Wastewater Discharge, Large Y
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NC0021369 Columbus WWTP Town of Columbus Municipal Wastewater Discharge, <
1MGD
NC0021491 Dutchman Creek WWTP Town of Mocksville Municipal Wastewater Discharge, <
1MGD
NC0023736 Gunpowder Creek WWTP City of Lenoir Municipal Wastewater Discharge, Large
NC0023981 Lower Creek WWTP City of Lenoir Municipal Wastewater Discharge, Large
NC0024244 Long Creek WWTP City of Albemarle Municipal Wastewater Discharge, Large
NC0024252 Northeast WWTP City of Conover Municipal Wastewater Discharge, Large Y
NC0024406 Belews Creek Steam Station Duke Energy Carolinas LLC Ind Process & Comm WW Discharge
NC0025305 UNC Cogeneration Facility UNC At Chapel Hill Ind Process & Comm WW Discharge Y
NC0025496 Lincolnton WWTP City of Lincolnton Municipal Wastewater Discharge, Large
NC0026441 Siler City WWTP Town of Siler City Municipal Wastewater Discharge, Large
NC0026689 Denton WWTP Town of Denton Municipal Wastewater Discharge, <
1MGD Y
NC0037834 Archie Elledge WWTP City of Winston-Salem Municipal Wastewater Discharge, Large Y
NC0038377 Mayo Steam Electric Power Plant Duke Energy Progress LLC Ind Process & Comm WW Discharge
NC0040011 Yanceyville WWTP Town of Yanceyville Municipal Wastewater Discharge, <
1MGD Y
NC0040797 Henry Fork WWTP City of Hickory Municipal Wastewater Discharge, Large Y
NC0044725 Laurinburg Industrial WWTP Laurinburg-Maxton Airport
Commission
Municipal Wastewater Discharge, Large
Y
NC0055786 Lexington Regional WWTP City of Lexington Municipal Wastewater Discharge, Large
NC0056863 Rose Hill WWTP Town of Rose Hill Municipal Wastewater Discharge, <
1MGD Y
NC0065081 Roxboro Plant CPI USA North Carolina LLC Ind Process & Comm WW Discharge
NC0075281 Craven County Wood Energy Craven County Wood Energy, LP Ind Process & Comm WW Discharge Y
NC0089109 American Zinc Products, LLC American Zinc Products LLC Ind Process & Comm WW Discharge
NC0089621 Novozymes NA, Inc. Novozymes North America Inc Ind Process & Comm WW Discharge
NC0089672 West Stonewall Street Brownfields site Gslh Charlotte Realty Holdings
LLC
Groundwater Remediation Discharge
Y
NC0089915 Chemours Company-Fayetteville Works The Chemours Company Fc LLC Ind Process & Comm WW Discharge Y
NC0089923 Baxter Street remediation site Charlotte Water Water Plants and Water Conditioning
Discharge Y
D-74A-164
Appendix V.
NPDES wastewater permitted facilities with limits or monitoring (WQBEL or TBEL) for Cyanide
As of Jan. 2021
Permit Number Facility Name Permit Type Monitor_Only?
NC0000311 M-B Industries WWTP Ind Process & Comm WW Discharge
NC0001121 Danaher Sensors and Controls Ind Process & Comm WW Discharge
NC0001228 GNF-A Wilmington-Castle Hayne WWTP Ind Process & Comm WW Discharge
NC0001881 Phillips Plating Company Ind Process & Comm WW Discharge
NC0001899 Moncure Holdings West WWTP Ind Process & Comm WW Discharge
NC0002305 Lear Corporation WWTP Ind Process & Comm WW Discharge
NC0003573 Chemours Company-Fayetteville Works Ind Process & Comm WW Discharge
NC0004308 Badin Business Park Ind Process & Comm WW Discharge
NC0004944 Edge Water Treating, LLC Ind Process & Comm WW Discharge
NC0004952 CNA Holding LLC - Shelby Ind Process & Comm WW Discharge
NC0020737 Pilot Creek WWTP Municipal Wastewater Discharge, Large Yes
NC0020834 Warrenton WWTP Municipal Wastewater Discharge, Large
NC0021181 Belmont WWTP Municipal Wastewater Discharge, Large Yes
NC0021229 Old Fort WWTP Municipal Wastewater Discharge, < 1MGD Yes
NC0021369 Columbus WWTP Municipal Wastewater Discharge, < 1MGD
NC0021407 Highlands WWTP Municipal Wastewater Discharge, Large
NC0021709 Jefferson WWTP Municipal Wastewater Discharge, < 1MGD
NC0023736 Gunpowder Creek WWTP Municipal Wastewater Discharge, Large
NC0023981 Lower Creek WWTP Municipal Wastewater Discharge, Large Yes
NC0024333 Monroe WWTP Municipal Wastewater Discharge, Large
NC0024538 First Broad River WWTP Municipal Wastewater Discharge, Large
NC0024945 Irwin Creek WWTP Municipal Wastewater Discharge, Large
NC0025011 Elizabeth City WWTP Municipal Wastewater Discharge, Large
NC0025321 Waynesville WWTP Municipal Wastewater Discharge, Large Yes
NC0025348 New Bern WWTP Municipal Wastewater Discharge, Large Yes
NC0025577 Red Springs WWTP Municipal Wastewater Discharge, Large Yes
NC0026824 SGWASA WWTP Municipal Wastewater Discharge, Large
NC0027065 Southport Manufacturing Facility Ind Process & Comm WW Discharge
NC0028916 Troy WWTP Municipal Wastewater Discharge, Large
D-75A-165
NC0031879 Corpening Creek WWTP Municipal Wastewater Discharge, Large
NC0037834 Archie Elledge WWTP Municipal Wastewater Discharge, Large Yes
NC0040011 Yanceyville WWTP Municipal Wastewater Discharge, < 1MGD Yes
NC0045993 ATI Specialty Materials - Monroe Plant Ind Process & Comm WW Discharge
NC0058548 Star WWTP Municipal Wastewater Discharge, < 1MGD
NC0074268 Crowders Creek WWTP Municipal Wastewater Discharge, Large Yes
NC0083089 Bogue Banks Water Corp WTP Water Plants and Water Conditioning Discharge Yes
NC0088650 Mainland WTP Water Plants and Water Conditioning Discharge
NC0088811 PPD Groundwater Remediation Site Groundwater Remediation Discharge Yes
NC0089800 Jones County WTP Water Plants and Water Conditioning Discharge Yes
NC0089915 Chemours Company-Fayetteville Works Ind Process & Comm WW Discharge Yes
D-76A-166
15A NCAC 02B .0202 is proposed for amendment as follows: 1
2
15A NCAC 02B .0202 DEFINITIONS 3
The definition of any word or phrase used in this Section shall be the same as given in G.S. 143, Article 21. The 4
following words and phrases, which are not defined in this article, shall be interpreted as follows: 5
(1)"Acute toxicity to aquatic life" means lethality or other harmful effects sustained by either resident6
aquatic populations or indicator species used as test organisms in a controlled toxicity test due to a7
short-term exposure (relative to the life cycle of the organism) of 96 hours or less to a specific8
chemical or mixture of chemicals (as in an effluent). Acute toxicity shall be determined using the9
following procedures:10
(a)for specific chemical constituents or compounds, acceptable levels shall be equivalent to11
a concentration of one-half or less of the Final Acute Value (FAV) as determined12
according to "Guidelines for Deriving Numerical Water Quality Criteria for the13
Protection of Aquatic Life and its Uses" published by the Environmental Protection14
Agency and referenced in the Federal Register (50 FR 30784, July 29, 1985) which is15
incorporated by reference including subsequent amendments and editions.16
(b)for specific chemical constituents or compounds for which values described under Sub-17
Item (a) of this Item cannot be determined, acceptable levels shall be equivalent to a18
concentration of one-third or less of the lowest available LC50 value.19
(c)for effluents, acceptable levels shall be defined as no statistically measurable lethality (9920
percent confidence level using Student's t-test) during a specified exposure period.21
Concentrations of exposure shall be based on permit requirements and procedures in22
accordance with 15A NCAC 02H .1110.23
(d)in instances where detailed dose response data indicate that levels of acute toxicity are24
different from those defined in this Rule, the Director may determine on a case-by-case25
basis an alternate acceptable level through statistical analyses of the dose response in26
accordance with 15A NCAC 02H .1110.27
(2)"Acute to Chronic Ratio" or "ACR" means the ratio of acute toxicity expressed as an LC50 for a28
specific toxicant or an effluent to the chronic value for the same toxicant or effluent.29
(3)"Agricultural uses" means the use of waters for stock watering, irrigation, and other farm30
purposes.31
(4)"Applicator" means any person, firm, corporation, wholesaler, retailer, or distributor; any local,32
State, or federal governmental agency; or any other person who applies fertilizer to the land of a33
consumer or client or to land that they own, lease, or otherwise hold rights.34
(5)"Approved treatment," as applied to water supplies, means treatment approved by the Division in35
accordance with 15A NCAC 18C .0301 through .0309, as authorized by G.S. 130A-315 and G.S.36
130A-317.37
D-77A-167
(6)"Attainable water uses" means uses that can be achieved by the imposition of effluent limits and 1
cost effective and reasonable best management practices (BMP) for nonpoint source control. 2
(7)"Average" means the arithmetical average of the analytical results of all representative samples3
taken under prevailing environmental conditions during a specified period (for example: daily,4
weekly, or monthly).5
(8)"Best Management Practice" or "BMP" means a structural or nonstructural management-based6
practice used singularly or in combination to reduce point source or nonpoint source inputs to7
receiving waters in order to achieve water quality protection goals.8
(9)"Best usage" or "Best use" of waters, as specified for each class, means those uses as determined9
by the Environmental Management Commission in accordance with the provisions of G.S.10
143-214.1.11
(10)"Bioaccumulation factor" or "BAF" means a unitless value that describes the degree to which12
substances are taken up or accumulated into tissues of aquatic organisms from water directly and13
from food or other ingested materials containing the accumulated substances, and is measured as a14
ratio of a substance's concentration in tissue versus its concentration in water in situations where15
exposure to the substance occurs from both water and the food chain.16
(11)"Bioconcentration factor" or "BCF" means a unitless value that describes the degree to which17
substances are absorbed or concentrated into tissues of aquatic organisms from water directly and18
is measured as a ratio of substance's concentration in tissue versus its concentration in water in19
situations where exposure to the substance occurs from water only.20
(12)"Biological integrity" means the ability of an aquatic ecosystem to support and maintain a21
balanced and indigenous community of organisms having species composition, diversity,22
population densities, and functional organization similar to that of reference conditions.23
(13)"Buffer" means a natural or vegetated area through which stormwater runoff flows in a diffuse24
manner so that the runoff does not become channelized and which provides for infiltration of the25
runoff and filtering of pollutants.26
(14)"Chronic toxicity to aquatic life" means any harmful effect sustained by either resident aquatic27
populations or indicator species used as test organisms in a controlled toxicity test due to28
long-term exposure (relative to the life cycle of the organism) or exposure during a substantial29
portion of the duration of a sensitive period of the life cycle to a specific chemical substance or30
mixture of chemicals (as in an effluent). In absence of extended periods of exposure, early life31
stage or reproductive toxicity tests may be used to define chronic impacts.32
(15)"Chronic value for aquatic life" means the geometric mean of two concentrations identified in a33
controlled toxicity test as the No Observable Effect Concentration (NOEC) and the Lowest34
Observable Effect Concentration (LOEC).35
D-78A-168
(16)"Commercial applicator" means any person, firm, corporation, wholesaler, retailer, distributor, or1
any other person who for hire or compensation applies fertilizer to the land of a consumer or2
client.3
(17)"Concentration" means the mass of a substance per volume of water and, for the purposes of this4
Section, shall be expressed as milligrams per liter (mg/l), micrograms per liter (ug/l), or5
nanograms per liter (ng/l).6
(18)"Contiguous" means those wetlands landward of the mean high water line or normal water level7
and within 575 feet of classified surface waters that appear as solid blue lines on the most recently8
published versions of U.S.G.S. 1:24,000 (7.5 minute) scale topographic maps, which are available9
at no cost at http://www.usgs.gov/pubprod/.10
(19)"Critical area" means the area adjacent to a water supply intake or reservoir where risk associated11
with pollution is greater than risk associated with pollution from the remaining portions of the12
watershed. The boundary of a critical area is defined as:13
(a)extending either 1/2 mile in a straight line fashion upstream from and draining to the14
normal pool elevation of the reservoir in which the intake is located or to the ridge line of15
the watershed, whichever is nearest the normal pool elevation of the reservoir;16
(b)extending either 1/2 mile in a straight line fashion upstream from and draining to the17
intake (or other appropriate downstream location associated with the water supply)18
located directly in the stream or river (run-of-the-river) or to the ridge line of the19
watershed, whichever is nearest the intake; or20
(c)extending a different distance from the reservoir or intake as adopted by the Commission21
during the reclassification process pursuant to Rule .0104 of this Subchapter.22
Since WS-I watersheds are essentially undeveloped, establishment of a critical area is not 23
required. 24
(20)"Cropland" means agricultural land that is not covered by a certified animal waste management25
plan and is used for growing corn, grains, oilseed crops, cotton, forages, tobacco, beans, or other26
vegetables or fruits.27
(21)"Designated Nonpoint Source Agency" means an agency specified by the Governor in the North28
Carolina Nonpoint Source Management Program, as approved by the Environmental Protection29
Agency pursuant to the 1987 amendments to the federal Clean Water Act 33 U.S.C. 1329 that30
established Section 319 Nonpoint source management programs.31
(22)"Director" means the Director of the Division.32
(23)"Discharge" means the addition of any man-induced waste effluent either directly or indirectly to33
State surface waters.34
(24)"Division" means the Division of Water Resources or its successors.35
(25)"Domestic wastewater discharge" means the discharge of sewage, non-process industrial36
wastewater, other domestic wastewater, or any combination of these items. Domestic wastewater37
D-79A-169
includes, but is not limited to, liquid waste generated by domestic water using fixtures and 1
appliances from any residence, place of business, or place of public assembly, even if it contains 2
no sewage. Examples of domestic wastewater include once-through non-contact cooling water, 3
seafood packing facility discharges, and wastewater from restaurants. 4
(26)"Effluent channel" means a discernable confined and discrete conveyance that is used for5
transporting treated wastewater to a receiving stream or other body of water, as provided in Rule6
.0228 of this Section.7
(27)"Existing uses" mean uses actually attained in the water body on or after November 28, 1975,8
whether or not they are included in the water quality standards.9
(28)"Fertilizer" means any substance containing nitrogen or phosphorus that is used primarily as plant10
food.11
(29)"Fishing" means the taking of fish by recreational or commercial methods, the consumption of fish12
or shellfish, the propagation of fish, or the propagation of other aquatic life as is necessary to13
protect the biological integrity of the environment for fish.14
(30)"Forest vegetation" means the plants of an area that grow in disturbed or undisturbed conditions in15
wooded plant communities in any combination of trees, saplings, shrubs, vines, and herbaceous16
plants, including mature and successional forests and cutover stands.17
(31)"Freshwater" means all waters that under natural conditions have a chloride ion content of 50018
mg/l or less.19
(32)"Industrial discharge" means the discharge of industrial process treated wastewater or wastewater20
other than sewage. Stormwater shall not be considered to be an industrial wastewater unless it is21
contaminated with industrial wastewater. Industrial discharge includes:22
(a)wastewater resulting from any process of industry or manufacture or from the23
development of any natural resource;24
(b)wastewater resulting from processes of trade or business, including wastewater from25
laundromats and car washes, but not wastewater from restaurants; and26
(c)[A1] for the purpose of prohibiting discharges to waters classified as Water Supply (WS) in 27
accordance with Rules .0212, .0214, .0215, .0216, and .0218 of this Section, wastewater 28
discharged from a municipal wastewater treatment plant requiring required to administer 29
a pretreatment program. program pursuant to 15A NCAC 02H .0904. 30
(33)"Land-disturbing activity" means any use of the land that results in a change in the natural cover31
or topography that may cause or contribute to sedimentation.32
(34)"LC50" means that concentration of a toxic substance that is lethal or immobilizing to 50 percent33
of the sensitive aquatic toxicity testing species tested during a specified exposure period, as34
required by NPDES permit, under aquatic conditions characteristic of the receiving waters.35
Sensitive species for aquatic toxicity testing is defined by Subparagraph (50) of this Rule.36
D-80A-170
(35) "Lentic[A2]" means an aquatic ecosystem with standing or slow flowing water such as a lake, 1
pond, or reservoir. 2
(35)(36) "Local government" means a city or county in singular or plural as defined in G.S. 160A-1(2) and 3
G.S. 158A-10. 4
(37) "Lotic[A3]" means an aquatic ecosystem with rapidly flowing water such as a stream or river. 5
(36)(38) "Lower piedmont and coastal plain waters" means those waters of the Catawba River Basin below 6
Lookout Shoals Dam; the Yadkin River Basin below the junction of the Forsyth, Yadkin, and 7
Davie County lines; and all of the waters of Cape Fear, Lumber, Roanoke, Neuse, Tar-Pamlico, 8
Chowan, Pasquotank, and White Oak River Basins; except tidal salt waters which are assigned S 9
classifications. 10
(37)(39) "MF" means the membrane filter procedure for bacteriological analysis. 11
(38)(40) "Mixing zone" means a region of the receiving water in the vicinity of a discharge within which 12
dispersion and dilution of constituents in the discharge occurs. Zones shall be subject to conditions 13
established in accordance with Rule .0204(b) of this Section. 14
(39)(41) "Mountain and upper piedmont waters" means all of the waters of the Hiwassee; Little Tennessee, 15
including the Savannah River drainage area; French Broad; Broad; New; and Watauga River 16
Basins; and those portions of the Catawba River Basin above Lookout Shoals Dam and the Yadkin 17
River Basin above the junction of the Forsyth, Yadkin, and Davie County lines. 18
(40)(42) "Nonpoint source pollution" means pollution that enters waters mainly as a result of precipitation 19
and subsequent runoff from lands that have been disturbed by man's activities and includes all 20
sources of water pollution that are not required to have a permit in accordance with G.S. 21
143-215.1(c). 22
(41)(43) "Non-process discharge" means industrial effluent not directly resulting from the manufacturing 23
process. An example is non-contact cooling water from a compressor. 24
(42)(44) "Offensive condition" means any condition or conditions resulting from the presence of sewage, 25
industrial wastes, or other wastes within the waters of the State or along the shorelines thereof that 26
shall either directly or indirectly cause foul or noxious odors, unsightly conditions, or breeding of 27
abnormally large quantities of mosquitoes or other insect pests; damage private or public water 28
supplies or other structures; result in the development of gases which destroy or damage 29
surrounding property, herbage or grasses; cause the impairment of taste such as from fish flesh 30
tainting; or affect the health of any person residing or working in the area. 31
(43)(45) "Primary contact recreation" means swimming, diving, skiing, and similar uses involving human 32
body contact with water where such activities take place in an organized or on a frequent basis. 33
(44)(46) "Primary nursery area" or "PNA" means tidal saltwaters that provide essential habitat for the early 34
development of commercially important fish and shellfish and are so designated by the Marine 35
Fisheries Commission. 36
D-81A-171
(45)(47) "Protected area" means the area adjoining and upstream of the critical area in a WS-IV water 1
supply in which protection measures are required. The boundary of a protected area is defined as: 2
(a) extending either five miles in an as-the-river-runs manner upstream from and draining to 3
the normal pool elevation of the reservoir in which the intake is located or to the ridge 4
line of the watershed, whichever is nearest the normal pool elevation of the reservoir; 5
(b) extending either 10 miles in an as-the-river-runs manner upstream from and draining to 6
the intake located directly in the stream or river run-of-the-river or to the ridge line of the 7
watershed, whichever is nearest the intake. In some cases the protected area shall 8
encompass the entire watershed; or 9
(c) extending a different distance from the reservoir or intake as adopted by the Commission 10
during the reclassification process pursuant to Rule .0104 of this Subchapter. 11
(46)(48) "Residential development" means buildings for residence such as attached and detached single 12
family dwellings, apartment complexes, condominiums, townhouses, cottages, and their 13
associated outbuildings such as garages, storage buildings, and gazebos. 14
(47)(49) "Residuals" has the same meaning as in 15A NCAC 02T .0103. 15
(48)(50) "Riparian area" means an area that is adjacent to a body of water. 16
(49)(51) "Secondary contact recreation" means wading, boating, other uses not involving human body 17
contact with water, and activities involving human body contact with water where such activities 18
take place on an infrequent, unorganized, or incidental basis. 19
(50)(52) "Sensitive species for aquatic toxicity testing" means any species utilized in procedures accepted 20
by the Commission or its designee in accordance with Rule .0103 of this Subchapter, and the 21
following genera: 22
(a) Daphnia; 23
(b) Ceriodaphnia; 24
(c) Salmo; 25
(d) Pimephales; 26
(e) Mysidopsis; 27
(f) Champia; 28
(g) Cyprinodon; 29
(h) Arbacia; 30
(i) Penaeus; 31
(j) Menidia; 32
(k) Notropis; 33
(l) Salvelinus; 34
(m) Oncorhynchus; 35
(n) Selenastrum; 36
(o) Chironomus; 37
D-82A-172
(p) Hyalella; 1
(q) Lumbriculus. 2
(51)(53) "Shellfish culture" means the use of waters for the propagation, storage, and gathering of oysters, 3
clams, and other shellfish for market purposes. 4
(52)(54) "Swamp waters" means those waters that are classified as such by the Environmental Management 5
Commission, pursuant to Rule .0101 of this Subchapter, and that have natural characteristics due 6
to topography, such as low velocity, dissolved oxygen, or pH, that are different from streams 7
draining steeper topography. 8
(53)(55) "Tidal salt waters" means all waters that have a natural chloride ion content in excess of 500 parts 9
per million. 10
(54)(56) "Toxic substance" or "Toxicant" means any substance or combination of substances (including 11
disease-causing agents) that, after discharge and upon exposure, ingestion, inhalation, or 12
assimilation into any organism, either directly from the environment or indirectly by ingestion 13
through food chains, has the potential to cause death, disease, behavioral abnormalities, cancer, 14
genetic mutations, physiological malfunctions (including malfunctions or suppression in 15
reproduction or growth), or physical deformities in such organisms or their offspring. 16
(55)(57) "Trout waters" means those waters that are classified as such by the Environmental Management 17
Commission, pursuant to Rule .0101 of this Subchapter, and have conditions that sustain and 18
allow for natural trout propagation and survival and for year-round maintenance of stocked trout. 19
(56)(58) "Water dependent structures" means those structures that require access or proximity to or siting 20
within surface waters to fulfill its purpose, such as boat ramps, boat houses, docks, and bulkheads. 21
Ancillary facilities such as restaurants, outlets for boat supplies, parking lots, and commercial boat 22
storage areas are not water dependent structures. 23
(57)(59) "Water quality based effluent limits (or limitations) and management practices" mean limits and 24
practices developed by the Division to protect water quality standards and best uses of surface 25
waters, consistent with the requirements of G.S. 143-214.1 and the federal Water Pollution 26
Control Act, as amended. 27
(58)(60) "Waters with quality higher than the standards" means waters that the Director determines 28
(pursuant to Rule .0206 of this Section) have the capacity to receive additional pollutant loading 29
and continue to meet applicable water quality standards. 30
(59)(61) "Watershed" means a natural area of drainage, including all tributaries contributing to the supply 31
of at least one major waterway within the State, the specific limits of each separate watershed to 32
be designated by the Commission as defined by G.S. 143-213(21). 33
(60)(62) "WER" or "Water effect ratio" expresses the difference between the measures of the toxicity of a 34
substance in laboratory waters and the toxicity in site water. 35
(61)(63) "Wetlands" are "waters" as defined by G.S. 143-212(6) that are inundated or saturated by an 36
accumulation of surface or ground water at a frequency and duration sufficient to support, and that 37
D-83A-173
under normal circumstances do support, a prevalence of vegetation typically adapted for life in 1
saturated soil conditions. Wetlands do not include prior converted cropland as defined in the 2
National Food Security Act Manual, Fifth Edition, which is hereby incorporated by reference, not 3
including subsequent amendments and editions, and is available free of charge at 4
https://directives.sc.egov.usda.gov/RollupViewer.aspx?hid=29340. 5
6
History Note: Authority G.S. 143-213; 143-214.1; 143-215.3(a)(1); 7
Eff. February 1, 1976; 8
Amended Eff. August 1, 1995; February 1, 1993; August 3, 1992; August 1, 1990; 9
RRC Objection Eff. July 18, 1996 due to lack of authority and ambiguity; 10
Amended Eff. August 1, 1998; October 1, 1996; 11
Readopted Eff. November 1, 2019. November 1, 2019; 12
Amended Eff. Xxxxx. 13
14
D-84A-174
15A NCAC 02B .0208 is proposed for amendment as follows: 1
2
15A NCAC 02B .0208 STANDARDS FOR TOXIC SUBSTANCES AND TEMPERATURE 3
(a) Toxic Substances: the concentration of toxic substances, either alone or in combination with other wastes, in 4
surface waters shall not render waters injurious to aquatic life or wildlife, recreational activities, or public health, nor 5
shall it impair the waters for any designated uses. Specific standards for toxic substances to protect freshwater and 6
tidal saltwater uses are listed in Rules .0211 and .0220 of this Section, respectively. The narrative standard for toxic 7
substances and numerical standards applicable to all waters shall be interpreted as follows: 8
(1) The concentration of toxic substances shall not result in chronic toxicity to aquatic life. Any levels 9
in excess of the chronic value for aquatic life shall be considered to result in chronic toxicity. In 10
the absence of direct measurements of chronic toxicity, the concentration of toxic substances shall 11
not exceed the concentration specified by the fraction of the lowest LC50 value that predicts a no 12
effect chronic level as determined by the use of an acceptable Acute to Chronic Ratio (ACR) in 13
accordance with U.S. Environmental Protection Agency (EPA) "Guidelines for Deriving 14
Numerical Water Quality Criteria for the Protection of Aquatic Life and its Uses." In the absence 15
of an ACR, that toxic substance shall not exceed one-one hundredth (0.01) of the lowest LC50 or, 16
if it is demonstrated that a toxic substance has a half-life of less than 96 hours, the maximum 17
concentration shall not exceed one-twentieth (0.05) of the lowest LC50. 18
(2) The concentration of toxic substances shall not exceed the level necessary to protect human health 19
through exposure routes of fish tissue consumption, water consumption, recreation, or other route 20
identified for the water body. Fish tissue consumption shall include the consumption of shellfish. 21
These concentrations of toxic substances shall be determined as follows: 22
(A) For non-carcinogens, these concentrations shall be determined using a Reference Dose 23
(RfD) as published by the EPA pursuant to Section 304(a) of the Federal Water Pollution 24
Control Act as amended, a RfD issued by the EPA as listed in the Integrated Risk 25
Information System (IRIS) file, or a RfD approved by the Director after consultation with 26
the State Health director. Water quality standards or criteria used to calculate water 27
quality based effluent limitations to protect human health through the different exposure 28
routes shall be determined as follows: 29
(i) Fish tissue consumption: 30
WQS = (RfD x RSC) x Body Weight / (FCR x BCF) 31
where: 32
WQS = water quality standard or criteria; 33
RfD = reference dose; 34
RSC = Relative Source Contribution; 35
FCR = fish consumption rate (based upon 17.5 gm/person-day); 36
D-85A-175
BCF = bioconcentration factor or bioaccumulation factor (BAF), as 1
appropriate. 2
Pursuant to Section 304(a) of the Federal Water Pollution Control Act as amended, BCF 3
or BAF values, literature values, or site specific bioconcentration data shall be based on 4
EPA publications; FCR values shall be average consumption rates for a 70 Kg adult for 5
the lifetime of the population; alternative FCR values may be used when it is considered 6
necessary to protect localized populations that may be consuming fish at a higher rate; 7
RSC values, when made available through EPA publications pursuant to Section 304(a) 8
of the Federal Clean Water Pollution Control Act to account for non-water sources of 9
exposure may be either a percentage (multiplied) or amount subtracted, depending on 10
whether multiple criteria are relevant to the chemical; 11
(ii) Water consumption (including a correction for fish consumption): 12
WQS = (RfD x RSC) x Body Weight / [WCR + (FCR x BCF)] 13
where: 14
WQS = water quality standard or criteria; 15
RfD = reference dose; 16
RSC = Relative Source Contribution; 17
FCR = fish consumption rate (based upon 17.5 gm/person-day); 18
BCF = bioconcentration factor or bioaccumulation factor (BAF), as 19
appropriate; 20
WCR = water consumption rate (assumed to be two liters per day for 21
adults). 22
To protect sensitive groups, exposure shall be based on a 10 Kg child drinking one liter 23
of water per day. Standards may also be based on drinking water standards based on the 24
requirements of the Federal Safe Drinking Water Act, 42 U.S.C. 300(f)(g)-1. For 25
non-carcinogens, specific numerical water quality standards have not been included in 26
this Rule because water quality standards to protect aquatic life for all toxic substances 27
for which standards have been considered are more stringent than numerical standards to 28
protect human health from non-carcinogens through consumption of fish. Standards to 29
protect human health from non-carcinogens through water consumption are listed under 30
the water supply classification standards in Rule .0211 of this Section. The equations 31
listed in this Subparagraph shall be used to develop water quality based effluent 32
limitations on a case-by-case basis for toxic substances that are not presently included in 33
the water quality standards. Alternative FCR values may be used when it is necessary to 34
protect localized populations that may be consuming fish at a higher rate; 35
(B) For carcinogens, the concentrations of toxic substances shall not result in unacceptable 36
health risks and shall be based on a Carcinogenic Potency Factor (CPF). An unacceptable 37
D-86A-176
health risk for cancer shall be more than one case of cancer per one million people 1
exposed (10-6 risk level). The CPF is a measure of the cancer-causing potency of a 2
substance estimated by the upper 95 percent confidence limit of the slope of a straight 3
line calculated by the Linearized Multistage Model or other appropriate model according 4
to U.S. Environmental Protection Agency Guidelines, FR 51 (185): 33992-34003; and FR 5
45 (231 Part V): 79318-79379. Water quality standards or criteria for water quality based 6
effluent limitations shall be calculated using the procedures given in this Part and in Part 7
(A) of this Subparagraph. Standards to protect human health from carcinogens through 8
water consumption are listed under the water supply classification standards in Rules 9
.0212, .0214, .0215, .0216, and .0218 of this Section. Standards to protect human health 10
from carcinogens through the consumption of fish (and shellfish) only shall be applicable 11
to all waters as follows: 12
(i) Aldrin: 0.05 ng/l; 13
(ii) Arsenic: 10 ug/l; 14
(iii) Benzene: 51 ug/l; 15
(iv) Carbon tetrachloride: 1.6 ug/l; 16
(v) Chlordane: 0.8 ng/l; 17
(vi) DDT: 0.2 ng/l; 18
(vii) Dieldrin: 0.05 ng/l; 19
(viii) Dioxin: 0.000005 ng/l; 20
(ix) Heptachlor: 0.08 ng/l; 21
(x) Hexachlorobutadiene: 18 ug/l; 22
(xi) Polychlorinated biphenyls (total of all identified PCBs and congeners): 0.064 23
ng/l; 24
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 31.1 ng/l; 25
(xiii) Tetrachloroethane (1,1,2,2): 4 ug/l; 26
(xiv) Tetrachloroethylene: 3.3 ug/L; ug/l; 27
(xvi) Trichloroethylene: 30 ug/l; 28
(xvii) Vinyl chloride: 2.4 ug/l. ug/l; 29
(xviii) 1,4-Dioxane: 80 ug/l. 30
The values listed in Subparts (i) through (xvii) (xviii) of this Part may be adjusted by the 31
Commission or its designee on a case-by-case basis to account for site-specific or 32
chemical-specific information pertaining to the assumed BCF, FCR, or CPF values or 33
other data. 34
(b) Temperature: the Commission may establish a water quality standard for temperature for specific water bodies 35
other than the standards specified in Rules .0211 and .0220 of this Section upon a case-by-case determination that 36
thermal discharges to these waters that serve or may serve as a source or receptor of industrial cooling water provide 37
D-87A-177
for the maintenance of the designated best use throughout a portion of the water body. Such revisions of the 1
temperature standard shall be consistent with the provisions of Section 316(a) of the Federal Water Pollution 2
Control Act, as amended. A list of such revisions shall be maintained and made available to the public by the 3
Division. 4
5
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 6
Eff. February 1, 1976; 7
Amended Eff. May 1, 2007; April 1, 2003; February 1, 1993; October 1, 1989; January 1, 1985; 8
September 9, 1979; 9
Readopted Eff. November 1, 2019. November 1, 2019; 10
Amended Eff. x. 11
D-88A-178
15A NCAC 02B .0211 is proposed for amendment as follows: 1
2
15A NCAC 02B .0211 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS C WATERS 3
In addition to the standards set forth in Rule .0208 of this Section, the following water quality standards shall apply 4
to all Class C waters. Additional standards applicable to other freshwater classifications are specified in Rules .0212, 5
.0214, .0215, .0216, .0218, .0219, .0223, .0224, .0225, and .0231 of this Section. 6
(1) The best usage of waters shall be aquatic life propagation, survival, and maintenance of biological 7
integrity (including fishing and fish); wildlife; secondary contact recreation as defined in Rule 8
.0202 of this Section; agriculture; and any other usage except for primary contact recreation or as a 9
source of water supply for drinking, culinary, and food processing purposes. All freshwaters shall 10
be classified to protect these uses at a minimum. 11
(2) The conditions of waters shall be such that waters are suitable for all best uses specified in this 12
Rule. Sources of water pollution that preclude any of these uses on either a short-term or 13
long-term basis shall be deemed to violate a water quality standard; 14
(3) Chlorine, total residual: 17 ug/l; 15
(4) Chlorophyll a (corrected): not greater than 40 ug/l for lakes, reservoirs, and other waters subject to 16
growths of macroscopic or microscopic vegetation not designated as trout waters, and not greater 17
than 15 ug/l for lakes, reservoirs, and other waters subject to growths of macroscopic or 18
microscopic vegetation designated as trout waters (not applicable to lakes or reservoirs less than 19
10 acres in surface area). The Commission or its designee may prohibit or limit any discharge of 20
waste into surface waters if the surface waters experience or the discharge would result in growths 21
of microscopic or macroscopic vegetation such that the standards established pursuant to this Rule 22
would be violated or the intended best usage of the waters would be impaired; 23
(5) Cyanide, free or total: 5.0 ug/l; 24
(6) Dissolved oxygen: not less than 6.0 mg/l for trout waters; for non-trout waters, not less than a 25
daily average of 5.0 mg/l with an instantaneous value of not less than 4.0 mg/l; swamp waters, 26
lake coves, or backwaters, and lake bottom waters may have lower values if caused by natural 27
conditions; 28
(7) Fecal coliform: shall not exceed a geometric mean of 200/100ml (MF count) based upon at least 29
five samples taken over a 30-day period, nor exceed 400/100ml in more than 20 percent of the 30
samples examined during such period. Violations of this Item are expected during rainfall events 31
and may be caused by uncontrollable nonpoint source pollution. All coliform concentrations shall 32
be analyzed using the membrane filter technique. If high turbidity or other conditions would cause 33
the membrane filter technique to produce inaccurate data, the most probable number (MPN) 5-34
tube multiple dilution method shall be used. 35
D-89A-179
(8) Floating solids, settleable solids, or sludge deposits: only such amounts attributable to sewage, 1
industrial wastes, or other wastes as shall not make the water unsafe or unsuitable for aquatic life 2
and wildlife or impair the waters for any designated uses; 3
(9) Fluoride: 1.8 mg/l; 4
(10) Gases, total dissolved: not greater than 110 percent of saturation; 5
(11) Metals: 6
(a) With the exception of mercury and selenium, mercury, acute and chronic freshwater 7
aquatic life standards for metals shall be based upon measurement of the dissolved 8
fraction of the metal. Mercury and selenium water quality standards shall be based upon 9
measurement of the total recoverable metal; 10
(b) With the exception of mercury and selenium, mercury, aquatic life standards for metals 11
listed in this Sub-Item shall apply as a function of the pollutant's water effect ratio 12
(WER). The WER shall be assigned a value equal to one unless any person demonstrates 13
to the Division's satisfaction in a permit proceeding that another value is developed in 14
accordance with the "Water Quality Standards Handbook: Second Edition" published by 15
the US Environmental Protection Agency (EPA-823-B-12-002), which is hereby 16
incorporated by reference, including subsequent amendments and editions, and can be 17
obtained free of charge at http://water.epa.gov/scitech/swguidance/standards/handbook/. 18
Alternative site-specific standards may also be developed when any person submits 19
values that demonstrate to the Commission that they were derived in accordance with the 20
"Water Quality Standards Handbook: Second Edition, Recalculation Procedure or the 21
Resident Species Procedure", which is hereby incorporated by reference including 22
subsequent amendments and can be obtained free of charge at 23
http://water.epa.gov/scitech/swguidance/standards/handbook/. 24
(c) Freshwater metals standards that are not hardness-dependent shall be as follows: 25
(i) Arsenic, dissolved, acute: WER∙ 340 ug/l; 26
(ii) Arsenic, dissolved, chronic: WER∙ 150 ug/l; 27
(iii) Beryllium, dissolved, acute: WER∙ 65 ug/l; 28
(iv) Beryllium, dissolved, chronic: WER∙ 6.5 ug/l; 29
(v) Chromium VI, dissolved, acute: WER∙ 16 ug/l; 30
(vi) Chromium VI, dissolved, chronic: WER∙ 11 ug/l; 31
(vii) Mercury, total recoverable, chronic: 0.012 ug/l; 32
(viii) Selenium, total recoverable, chronic: 5 ug/l; 33
(ix)(viii) Silver, dissolved, chronic: WER∙ 0.06 ug/l; 34
(d) Selenium, chronic: The standard for chronic selenium has the following components: fish 35
egg/ovary tissue, fish whole body or muscle tissue, and water column (lentic and lotic). 36
D-90A-180
These components shall be used in the following order of preference provided data is 1
available: 2
(i) Fish egg/ovary tissue; 3
(ii) Fish whole body or muscle tissue; 4
(iii) Water column. 5
Fish tissue concentrations are determined as dry weight and water column concentrations 6
are based on the dissolved fraction of selenium. The chronic selenium standards are as 7
follows: 8
Component Magnitude Duration
Fish tissue
Fish
egg/ovary
tissue
15.1 mg/kg Instantaneous
Fish whole
body or
muscle
tissue
8.5 mg/kg
whole body
Instantaneous
11.3 mg/kg
muscle
Instantaneous
Water
column
Lentic or
Lotic
1.5 ug/l lentic 30-day average
3.1 ug/l lotic 30-day average
9
(d)(e) Hardness-dependent freshwater metals standards shall be derived using the equations 10
specified in Table A: Dissolved Freshwater Standards for Hardness-Dependent Metals. If 11
the actual instream hardness (expressed as CaCO3 or Ca+Mg) is less than 400 mg/l, 12
standards shall be calculated based upon the actual instream hardness. If the instream 13
hardness is greater than 400 mg/l, the maximum applicable hardness shall be 400 mg/l. 14
Table A: Dissolved Freshwater Standards for Hardness-Dependent Metals 15
Numeric standards calculated at 25 mg/l hardness are listed below for illustrative 16
purposes. The Water Effects Ratio (WER) is equal to one unless determined otherwise 17
under Sub-Item (11)(b) of this Rule. 18
19
Metal Equations for Hardness-Dependent Freshwater Metals (ug/l) Standard
at 25 mg/l
hardness
(ug/l)
Cadmium,
Acute
WER∙ [{1.136672-[ln hardness](0.041838)} ∙ e^{0.9151 [ln
hardness]-3.1485}] WER∙[{1.136672-[ln
hardness](0.041838)} ∙ e^{0.9789 [ln hardness]-3.345}]
0.82 0.83
Cadmium, WER∙ [{1.136672-[ln hardness](0.041838)} ∙ e^{0.9151[ln 0.51 0.49
D-91A-181
Acute,
Trout
waters
hardness]-3.6236}] WER∙[{1.136672-[ln
hardness](0.041838)} ∙ e^{0.9789 [ln hardness]-3.866}]
Cadmium,
Chronic
WER∙ [{1.101672-[ln hardness](0.041838)} ∙ e^{0.7998[ln
hardness]-4.4451}] WER∙[{1.101672-[ln
hardness](0.041838)} ∙ e^{0.7977[ln hardness]-3.909}]
0.15 0.25
Chromium
III, Acute
WER∙ [0.316 ∙ e^{0.8190[ln hardness]+3.7256}] 180
Chromium
III, Chronic
WER∙ [0.860 ∙ e^{0.8190[ln hardness]+0.6848}]
24
Copper,
Acute
WER∙ [0.960 ∙ e^{0.9422[ln hardness]-1.700}]
Or,
Aquatic Life Ambient Freshwater Quality Criteria-Copper
2007 Revision
(EPA-822-R-07-001)
3.6
NA
Copper,
Chronic
WER∙ [0.960 ∙ e^{0.8545[ln hardness]-1.702}]
Or,
Aquatic Life Ambient Freshwater Quality Criteria-Copper
2007 Revision
(EPA-822-R-07-001)
2.7
NA
Lead,
Acute
WER∙ [{1.46203-[ln hardness](0.145712)} ∙ e^{1.273[ln
hardness]-1.460}]
14
Lead,
Chronic
WER∙ [{1.46203-[ln hardness](0.145712)} ∙ e^{1.273[ln
hardness]-4.705}]
0.54
Nickel,
Acute
WER∙ [0.998 ∙ e^{0.8460[ln hardness]+2.255}] 140
Nickel,
Chronic
WER∙ [0.997 ∙ e^{0.8460[ln hardness]+0.0584}] 16
Silver,
Acute
WER∙ [0.85 ∙ e^{1.72[ln hardness]-6.59}] 0.30
Zinc, Acute WER∙ [0.978 ∙ e^{0.8473[ln hardness]+0.884}] 36
Zinc,
Chronic
WER∙ [0.986 ∙ e^{0.8473[ln hardness]+0.884}] 36
1
(e)(f) Compliance with acute instream metals standards shall only be evaluated using an 2
average of two or more samples collected within one hour. Compliance with chronic 3
D-92A-182
instream metals standards, except for selenium shall only be evaluated using an average 1
of a minimum of four samples taken on consecutive days or as a 96-hour average; 2
(12) Oils, deleterious substances, or colored or other wastes: only such amounts as shall not render the 3
waters injurious to public health, secondary recreation, or to aquatic life and wildlife, or adversely 4
affect the palatability of fish, aesthetic quality, or impair the waters for any designated uses. For 5
the purpose of implementing this Rule, oils, deleterious substances, or colored or other wastes 6
shall include substances that cause a film or sheen upon or discoloration of the surface of the water 7
or adjoining shorelines, as described in 40 CFR 110.3(a)-(b), incorporated by reference including 8
subsequent amendments and editions. This material is available, free of charge, at: 9
http://www.ecfr.gov/; 10
(13) Pesticides: 11
(a) Aldrin: 0.002 ug/l; 12
(b) Chlordane: 0.004 ug/l; 13
(c) DDT: 0.001 ug/l; 14
(d) Demeton: 0.1 ug/l; 15
(e) Dieldrin: 0.002 ug/l; 16
(f) Endosulfan: 0.05 ug/l; 17
(g) Endrin: 0.002 ug/l; 18
(h) Guthion: 0.01 ug/l; 19
(i) Heptachlor: 0.004 ug/l; 20
(j) Lindane: 0.01 ug/l; 21
(k) Methoxychlor: 0.03 ug/l; 22
(l) Mirex: 0.001 ug/l; 23
(m) Parathion: 0.013 ug/l; and 24
(n) Toxaphene: 0.0002 ug/l; 25
(14) pH: shall be between 6.0 and 9.0 except that swamp waters may have a pH as low as 4.3 if it is the 26
result of natural conditions; 27
(15) Phenolic compounds: only such levels as shall not result in fish-flesh tainting or impairment of 28
other best usage; 29
(16) Polychlorinated biphenyls (total of all PCBs and congeners identified): 0.001 ug/l; 30
(17) Radioactive substances, based on at least one sample collected per quarter: 31
(a) Combined radium-226 and radium-228: the average annual activity level for combined 32
radium-226 and radium-228 shall not exceed five picoCuries per liter; 33
(b) Alpha Emitters: the average annual gross alpha particle activity (including radium-226, 34
but excluding radon and uranium) shall not exceed 15 picoCuries per liter; 35
(c) Beta Emitters: the average annual activity level for strontium-90 shall not exceed eight 36
picoCuries per liter, nor shall the average annual gross beta particle activity (excluding 37
D-93A-183
potassium-40 and other naturally occurring radionuclides) exceed 50 picoCuries per liter, 1
nor shall the average annual activity level for tritium exceed 20,000 picoCuries per liter; 2
(18) Temperature: not to exceed 2.8 degrees C (5.04 degrees F) above the natural water temperature, 3
and in no case to exceed 29 degrees C (84.2 degrees F) for mountain and upper piedmont waters 4
and 32 degrees C (89.6 degrees F) for lower piedmont and coastal plain Waters; the temperature 5
for trout waters shall not be increased by more than 0.5 degrees C (0.9 degrees F) due to the 6
discharge of heated liquids, but in no case to exceed 20 degrees C (68 degrees F); 7
(19) Toluene: 0.36 ug/l in trout classified waters or 11 ug/l in all other waters; 8
(20) Trialkyltin compounds: 0.07 ug/l expressed as tributyltin; 9
(21) Turbidity: the turbidity in the receiving water shall not exceed 50 Nephelometric Turbidity Units 10
(NTU) in streams not designated as trout waters and 10 NTU in streams, lakes, or reservoirs 11
designated as trout waters; for lakes and reservoirs not designated as trout waters, the turbidity 12
shall not exceed 25 NTU; if turbidity exceeds these levels due to natural background conditions, 13
the existing turbidity level shall not be increased. Compliance with this turbidity standard shall be 14
deemed met when land management activities employ Best Management Practices (BMPs), as 15
defined by Rule .0202 of this Section, recommended by the Designated Nonpoint Source Agency, 16
as defined by Rule .0202 of this Section. 17
(22) Toxic Substance Level Applicable to NPDES Permits: Chloride: 230 mg/l. If chloride is 18
determined by the waste load allocation to be exceeded in a receiving water by a discharge under 19
the specified 7Q10 criterion for toxic substances, the discharger shall monitor the chemical or 20
biological effects of the discharge. Efforts shall be made by all dischargers to reduce or eliminate 21
chloride from their effluents. Chloride shall be limited as appropriate in the NPDES permit if 22
sufficient information exists to indicate that it may be a causative factor resulting in toxicity of the 23
effluent. 24
25
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 26
Eff. February 1, 1976; 27
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; August 1, 2000; October 1, 1995; 28
August 1, 1995; April 1, 1994; February 1, 1993; 29
Readopted Eff. November 1, 2019. November 1, 2019; 30
Amended Eff. xx 31
32
D-94A-184
15A NCAC 02B .0212 is proposed for amendment as follows: 1
2
15A NCAC 02B .0212 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-I 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as WS-I. 5
Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also apply to 6
Class WS-I waters. 7
(1) The best usage of waters classified as WS-I shall be as a source of water supply for drinking, 8
culinary, or food processing purposes for those users desiring maximum protection of their water 9
supplies in the form of the most stringent WS classification, and any best usage specified for Class 10
C waters. Class WS-I waters are waters located on land in public ownership and waters located in 11
undeveloped watersheds. 12
(2) The best usage of waters classified as WS-I shall be maintained as follows: 13
(a) Water quality standards in a WS-I watershed shall meet the requirements as specified in 14
Item (3) of this Rule. 15
(b) Wastewater and stormwater point source discharges in a WS-I watershed shall meet the 16
requirements as specified in Item (4) of this Rule. 17
(c) Nonpoint source pollution in a WS-I watershed shall meet the requirements as specified in 18
Item (5) of this Rule. 19
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall 20
meet the Maximum Contaminant Level concentrations considered safe for drinking, 21
culinary, and food-processing purposes that are specified in 40 CFR Part 141 National 22
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public 23
Water Supplies, 15A NCAC 18C .1500, incorporated by reference including subsequent 24
amendments and editions. 25
(e) Sources of water pollution that preclude any of the best uses on either a short-term or 26
long-term basis shall be deemed to violate a water quality standard. 27
(f) The Class WS-I classification may be used to protect portions of Class WS-II, WS-III, and 28
WS-IV water supplies. For reclassifications occurring after the July 1, 1992 statewide 29
reclassification, a WS-I classification that is requested by local governments shall be 30
considered by the Commission if all local governments having jurisdiction in the affected 31
areas have adopted a resolution and the appropriate ordinances as required by G.S. 143-32
214.5(d) to protect the watershed or if the Commission acts to protect a watershed when 33
one or more local governments has failed to adopt protective measures as required by this 34
Sub-Item. 35
(3) Water quality standards applicable to Class WS-I Waters shall be as follows: 36
D-95A-185
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the 1
aesthetic qualities of water supplies and to prevent foaming; 2
(b) Total coliforms shall not exceed 50/100 ml (MF count) as a monthly geometric mean value 3
in watersheds serving as unfiltered water supplies; 4
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from 5
taste and odor problems from chlorinated phenols; 6
(d) Solids, total dissolved: not greater than exceed 500 mg/l; 7
(e) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); 8
(f) Toxic and other deleterious substances that are non-carcinogens: 9
(i) Barium: 1.0 mg/l; 10
(ii) Chloride: 250 mg/l; 11
(iii) Nickel: 25 ug/l; 12
(iv) Nitrate nitrogen: 10.0 mg/l; 13
(v) 2,4-D: 70 ug/l; 14
(vi) 2,4,5-TP (Silvex): 10 ug/l; and 15
(vii) Sulfates: 250 mg/l; 16
(g) Toxic and other deleterious substances that are carcinogens: 17
(i) Aldrin: 0.05 ng/1; 18
(ii) Arsenic: 10 ug/l; 19
(iii) Benzene: 1.19 ug/1; 20
(iv) Carbon tetrachloride: 0.254 ug/l; 21
(v) Chlordane: 0.8 ng/1; 22
(vi) Chlorinated benzenes: 488 ug/l; 23
(vii) DDT: 0.2 ng/1; 24
(viii) Dieldrin: 0.05 ng/1; 25
(ix) Dioxin: 0.000005 ng/l; 26
(x) Heptachlor: 0.08 ng/1; 27
(xi) Hexachlorobutadiene: 0.44 ug/l; 28
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; 29
(xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; 30
(xiv) Tetrachloroethylene: 0.7 ug/l; 31
(xv) Trichloroethylene: 2.5 ug/l; and 32
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and 33
(xvii) 1,4-Dioxane: 0.35 ug/l. 34
(4) Wastewater and stormwater point source discharges in a WS-I watershed shall be permitted pursuant 35
to 15A NCAC 02B .0104. 36
D-96A-186
(5) Nonpoint source pollution in a WS-I watershed shall not have an adverse impact, as defined in 15A 1
NCAC 02H .1002, on use as a water supply or any other designated use. 2
3
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 4
Eff. February 1, 1976; 5
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; October 1, 1995; February 1, 1993; 6
March 1, 1991; October 1, 1989; 7
Readopted Eff. November 1, 2019. November 1, 2019; 8
Amended Eff. Xx 9
10
D-97A-187
15A NCAC 02B .0214 is proposed for amendment as follows: 1
2
15A NCAC 02B .0214 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-II 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as 5
WS-II. Water quality standards applicable to Class C waters as described in Rule .0211of this Section shall also apply 6
to Class WS-II waters. 7
(1) The best usage of waters classified as WS-II shall be as a source of water supply for drinking, 8
culinary, or food-processing purposes for those users desiring maximum protection for their water 9
supplies where a WS-I classification is not feasible as determined by the Commission in accordance 10
with Rule .0212 of this Section and any best usage specified for Class C waters. 11
(2) The best usage of waters classified as WS-II shall be maintained as follows: 12
(a) Water quality standards in a WS-II watershed shall meet the requirements as specified in 13
Item (3) of this Rule. 14
(b) Wastewater and stormwater point source discharges in a WS-II watershed shall meet the 15
requirements as specified in Item (4) of this Rule. 16
(c) Nonpoint source pollution in a WS-II watershed shall meet the requirements as specified 17
in Item (5) of this Rule. 18
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall 19
meet the Maximum Contaminant Level concentrations considered safe for drinking, 20
culinary, and food-processing purposes that are specified in 40 CFR Part 141 National 21
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public 22
Water Supplies, 15A NCAC 18C .1500. 23
(e) Sources of water pollution that preclude any of the best uses on either a short-term or 24
long-term basis shall be deemed to violate a water quality standard. 25
(f) The Class WS-II classification may be used to protect portions of Class WS-III and WS-IV 26
water supplies. For reclassifications of these portions of Class WS-III and WS-IV water 27
supplies occurring after the July 1, 1992 statewide reclassification, a WS-II classification 28
that is requested by local governments shall be considered by the Commission if all local 29
governments having jurisdiction in the affected areas have adopted a resolution and the 30
appropriate ordinances as required by G.S. 143-214.5(d) to protect the watershed or if the 31
Commission acts to protect a watershed when one or more local governments has failed to 32
adopt protective measures as required by this Sub-Item. 33
(3) Water quality standards applicable to Class WS-II Waters shall be as follows: 34
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the 35
aesthetic qualities of water supplies and to prevent foaming; 36
D-98A-188
(b) Odor producing substances contained in sewage or other wastes: only such amounts, 1
whether alone or in combination with other substances or wastes, as shall not cause 2
organoleptic effects in water supplies that cannot be corrected by treatment, impair the 3
palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H .1002, on any 4
best usage established for waters of this class; 5
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from 6
taste and odor problems from chlorinated phenols; 7
(d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); 8
(e) Solids, total dissolved: not greater than 500 mg/l; 9
(f) Toxic and other deleterious substances that are non-carcinogens: 10
(i) Barium: 1.0 mg/l; 11
(ii) Chloride: 250 mg/l; 12
(iii) Nickel: 25 ug/l; 13
(iv) Nitrate nitrogen: 10.0 mg/l; 14
(v) 2,4-D: 70 ug/l; 15
(vi) 2,4,5-TP (Silvex): 10 ug/l; and 16
(vii) Sulfates: 250 mg/l; 17
(g) Toxic and other deleterious substances that are carcinogens: 18
(i) Aldrin: 0.05 ng/1; 19
(ii) Arsenic: 10 ug/l; 20
(iii) Benzene: 1.19 ug/1; 21
(iv) Carbon tetrachloride: 0.254 ug/l; 22
(v) Chlordane: 0.8 ng/1; 23
(vi) Chlorinated benzenes: 488 ug/l; 24
(vii) DDT: 0.2 ng/1; 25
(viii) Dieldrin: 0.05 ng/1; 26
(ix) Dioxin: 0.000005 ng/l; 27
(x) Heptachlor: 0.08 ng/1; 28
(xi) Hexachlorobutadiene: 0.44 ug/l; 29
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; 30
(xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; 31
(xiv) Tetrachloroethylene: 0.7 ug/l; 32
(xv) Trichloroethylene: 2.5 ug/l; and 33
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and 34
(xvii) 1,4-Dioxane: 0.35 ug/l. 35
(4) Wastewater and stormwater point source discharges in a WS-II watershed shall meet the following 36
requirements: 37
D-99A-189
(a) Discharges that qualify for a General NPDES Permit pursuant to 15A NCAC 02H .0127 1
shall be allowed in the entire watershed. 2
(b) Discharges from trout farms that are subject to Individual NPDES Permits shall be allowed 3
in the entire watershed. 4
(c) Stormwater discharges that qualify for an Individual NPDES Permit pursuant to 15A 5
NCAC 02H .0126 shall be allowed in the entire watershed. 6
(d) No discharge of sewage, industrial, or other wastes shall be allowed in the entire watershed 7
except for those allowed by Sub-Items (a) through (c) of this Item or Rule .0104 of this 8
Subchapter, and none shall be allowed that have an adverse effect on human health or that 9
are not treated in accordance with the permit or other requirements established by the 10
Division pursuant to G.S. 143-215.1. Upon request by the Commission, a discharger shall 11
disclose all chemical constituents present or potentially present in their wastes and 12
chemicals that could be spilled or be present in runoff from their facility that may have an 13
adverse impact on downstream water quality. These facilities may be required to have spill 14
and treatment failure control plans as well as perform special monitoring for toxic 15
substances. 16
(e) New domestic and industrial discharges of treated wastewater that are subject to Individual 17
NPDES Permits shall not be allowed in the entire watershed. 18
(f) No new landfills shall be allowed in the Critical Area, and no NPDES permits shall be 19
issued for landfills that discharge treated leachate in the remainder of the watershed. 20
(g) No new permitted sites for land application of residuals or petroleum contaminated soils 21
shall be allowed in the Critical Area. 22
(5) Nonpoint source pollution in a WS-II watershed shall meet the following requirements: 23
(a) Nonpoint source pollution shall not have an adverse impact on waters for use as a water 24
supply or any other designated use. 25
(b) Class WS-II waters shall be protected as water supplies that are located in watersheds that 26
meet average watershed development density levels specified for Class WS-II waters in 27
Rule .0624 of this Subchapter. 28
29
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 30
Eff. May 10, 1979; 31
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; January 1, 1996; October 1, 1995; 32
Readopted Eff. November 1, 2019. November 1, 2019; 33
Amended Eff. Xx. 34
35
D-100A-190
15A NCAC 02B .0215 is proposed for amendment as follows: 1
2
15A NCAC 02B .0215 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-III 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as 5
WS-III. Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also 6
apply to Class WS-III waters. 7
(1) The best usage of waters classified as WS-III shall be as a source of water supply for drinking, 8
culinary, or food-processing purposes for those users where a more protective WS-I or WS-II 9
classification is not feasible as determined by the Commission in accordance with Rules .0212 and 10
.0214 of this Section and any other best usage specified for Class C waters. 11
(2) The best usage of waters classified as WS-III shall be maintained as follows: 12
(a) Water quality standards in a WS-III watershed shall meet the requirements as specified in 13
Item (3) of this Rule. 14
(b) Wastewater and stormwater point source discharges in a WS-III watershed shall meet the 15
requirements as specified in Item (4) of this Rule. 16
(c) Nonpoint source pollution in a WS-III watershed shall meet the requirements as specified 17
in Item (5) of this Rule. 18
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall 19
meet the Maximum Contaminant Level concentrations considered safe for drinking, 20
culinary, or food-processing purposes that are specified in 40 CFR Part 141 National 21
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public 22
Water Supplies, 15A NCAC 18C .1500. 23
(e) Sources of water pollution that preclude any of the best uses on either a short-term or 24
long-term basis shall be deemed to violate a water quality standard. 25
(f) The Class WS-III classification may be used to protect portions of Class WS-IV water 26
supplies. For reclassifications of these portions of WS-IV water supplies occurring after 27
the July 1, 1992 statewide reclassification, a WS[VJ1]-II classification more protective 28
classification, such as WS-III, that is requested by local governments shall be considered 29
by the Commission if all local governments having jurisdiction in the affected areas have 30
adopted a resolution and the appropriate ordinances as required by G.S. 143-214.5(d) to 31
protect the watershed or if the Commission acts to protect a watershed when one or more 32
local governments has failed to adopt protective measures as required by this Sub-Item. 33
(3) Water quality standards applicable to Class WS-III Waters shall be as follows: 34
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the 35
aesthetic qualities of water supplies and to prevent foaming; 36
D-101A-191
(b) Odor producing substances contained in sewage, industrial wastes, or other wastes: only 1
such amounts, whether alone or in combination with other substances or wastes, as shall 2
not cause organoleptic effects in water supplies that cannot be corrected by treatment, 3
impair the palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H 4
.1002, on any best usage established for waters of this class; 5
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from 6
taste and odor problems from chlorinated phenols; 7
(d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); 8
(e) Solids, total dissolved: not greater than 500 mg/l; 9
(f) Toxic and other deleterious substances that are non-carcinogens: 10
(i) Barium: 1.0 mg/l; 11
(ii) Chloride: 250 mg/l; 12
(iii) Nickel: 25 ug/l; 13
(iv) Nitrate nitrogen: 10.0 mg/l; 14
(v) 2,4-D: 70 ug/l; 15
(vi) 2,4,5-TP (Silvex): 10 ug/l; and 16
(vii) Sulfates: 250 mg/l; 17
(g) Toxic and other deleterious substances that are carcinogens: 18
(i) Aldrin: 0.05 ng/1; 19
(ii) Arsenic: 10 ug/l; 20
(iii) Benzene: 1.19 ug/1; 21
(iv) Carbon tetrachloride: 0.254 ug/l; 22
(v) Chlordane: 0.8 ng/1; 23
(vi) Chlorinated benzenes: 488 ug/l; 24
(vii) DDT: 0.2 ng/1; 25
(viii) Dieldrin: 0.05 ng/1; 26
(ix) Dioxin: 0.000005 ng/l; 27
(x) Heptachlor: 0.08 ng/1; 28
(xi) Hexachlorobutadiene: 0.44 ug/l; 29
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; 30
(xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; 31
(xiv) Tetrachloroethylene: 0.7 ug/l; 32
(xv) Trichloroethylene: 2.5 ug/l; and 33
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and 34
(xvii) 1,4-Dioxane; 0.35 ug/l. 35
(4) Wastewater and stormwater point source discharges in a WS-III watershed shall meet the following 36
requirements: 37
D-102A-192
(a) Discharges that qualify for a General NPDES Permit pursuant to 15A NCAC 02H .0127 1
shall be allowed in the entire watershed. 2
(b) Discharges from trout farms that are subject to Individual NPDES Permits shall be allowed 3
in the entire watershed. 4
(c) Stormwater discharges that qualify for an Individual NPDES Permit pursuant to 15A 5
NCAC 02H .0126 shall be allowed in the entire watershed. 6
(d) New domestic wastewater discharges that are subject to Individual NPDES Permits shall 7
not be allowed in the Critical Area and are allowed in the remainder of the watershed. 8
(e) New industrial wastewater discharges that are subject to Individual NPDES Permits except 9
non-process industrial discharges shall not be allowed in the entire watershed. 10
(f) No discharge of sewage, industrial, or other wastes shall be allowed in the entire watershed 11
except for those allowed by Sub-Items (a) through (e) of this Item or Rule .0104 of this 12
Subchapter, and none shall be allowed that have an adverse effect on human health or that 13
are not treated in accordance with the permit or other requirements established by the 14
Division pursuant to G.S. 143-215.1. Upon request by the Commission, a discharger shall 15
disclose all chemical constituents present or potentially present in their wastes and 16
chemicals that could be spilled or be present in runoff from their facility that may have an 17
adverse impact on downstream water quality. These facilities may be required to have spill 18
and treatment failure control plans as well as perform special monitoring for toxic 19
substances. 20
(g) No new landfills shall be allowed in the Critical Area, and no NPDES permits shall be 21
issued for landfills to discharge treated leachate in the remainder of the watershed. 22
(h) No new permitted sites for land application of residuals or petroleum contaminated soils 23
shall be allowed in the Critical Area. 24
(5) Nonpoint source pollution in a WS-III watershed shall meet the following requirements: 25
(a) Nonpoint source pollution shall not have an adverse impact on waters for use as a water 26
supply or any other designated use. 27
(b) Class WS-III waters shall be protected as water supplies that are located in watersheds that 28
meet average watershed development density levels specified Class WS-III waters in Rule 29
.0624 of this Subchapter. 30
31
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 32
Eff. September 9, 1979; 33
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; January 1, 1996; October 1, 1995; 34
October 1, 1989; 35
Readopted Eff. November 1, 2019. November 1, 2019; 36
Amended Eff. Xxxxx. 37
D-103A-193
15A NCAC 02B .0216 is proposed for amendment as follows: 1
2
15A NCAC 02B .0216 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-IV 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as WS-5
IV. Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also apply to 6
Class WS-IV waters. 7
(1) The best usage of waters classified as WS-IV shall be as a source of water supply for drinking, 8
culinary, or food-processing purposes for those users where a more protective WS-I, WS-II or WS-9
III classification is not feasible as determined by the Commission in accordance with Rules .0212 10
through .0215 of this Section and any other best usage specified for Class C waters. 11
(2) The best usage of waters classified as WS-IV shall be maintained as follows: 12
(a) Water quality standards in a WS-IV watershed shall meet the requirements as specified in 13
Item (3) of this Rule. 14
(b) Wastewater and stormwater point source discharges in a WS-IV watershed shall meet the 15
requirements as specified in Item (4) of this Rule. 16
(c) Nonpoint source pollution in a WS-IV watershed shall meet the requirements as specified 17
in Item (5) of this Rule. 18
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall 19
meet the Maximum Contaminant Level concentrations considered safe for drinking, 20
culinary, or food-processing purposes that are specified in 40 CFR Part 141 National 21
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public 22
Water Supplies, 15A NCAC 18C .1500. 23
(e) Sources of water pollution that preclude any of the best uses on either a short-term or 24
long-term basis shall be deemed to violate a water quality standard. 25
(f) The Class WS-II or WS-III classifications may be used to protect portions of Class WS-IV 26
water supplies. For reclassifications of these portions of WS-IV water supplies occurring 27
after the July 1, 1992 statewide reclassification, a WS[VJ1]-IV classification more 28
protective classification, such as a WS-II or WS-III, that is requested by local governments 29
shall be considered by the Commission if all local governments having jurisdiction in the 30
affected areas have adopted a resolution and the appropriate ordinances as required by G.S. 31
143-214.5(d) to protect the watershed or if the Commission acts to protect a watershed 32
when one or more local governments has failed to adopt protective measures as required 33
by this Sub-Item. 34
(3) Water quality standards applicable to Class WS-IV Waters shall be as follows: 35
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the 36
aesthetic qualities of water supplies and to prevent foaming; 37
D-104A-194
(b) Odor producing substances contained in sewage, industrial wastes, or other wastes: only 1
such amounts, whether alone or in combination with other substances or waste, as will not 2
cause organoleptic effects in water supplies that cannot be corrected by treatment, impair 3
the palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H .1002, on 4
any best usage established for waters of this class; 5
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from 6
taste and odor problems due to chlorinated phenols shall be allowed. Specific phenolic 7
compounds may be given a different limit if it is demonstrated not to cause taste and odor 8
problems and not to be detrimental to other best usage; 9
(d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); 10
(e) Solids, total dissolved: not greater than 500 mg/l; 11
(f) Toxic and other deleterious substances that are non-carcinogens: 12
(i) Barium: 1.0 mg/l; 13
(ii) Chloride: 250 mg/l; 14
(iii) Nickel: 25 ug/l; 15
(iv) Nitrate nitrogen: 10.0 mg/l; 16
(v) 2,4-D: 70 ug/l; 17
(vi) 2,4,5-TP (Silvex): 10 ug/l; and 18
(vii) Sulfates: 250 mg/l; 19
(g) Toxic and other deleterious substances that are carcinogens: 20
(i) Aldrin: 0.05 ng/1; 21
(ii) Arsenic: 10 ug/l; 22
(iii) Benzene: 1.19 ug/1; 23
(iv) Carbon tetrachloride: 0.254 ug/l; 24
(v) Chlordane: 0.8 ng/1; 25
(vi) Chlorinated benzenes: 488 ug/l; 26
(vii) DDT: 0.2 ng/1; 27
(viii) Dieldrin: 0.05 ng/1; 28
(ix) Dioxin: 0.000005 ng/l; 29
(x) Heptachlor: 0.08 ng/1; 30
(xi) Hexachlorobutadiene: 0.44 ug/l; 31
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; 32
(xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; 33
(xiv) Tetrachloroethylene: 0.7 ug/l; 34
(xv) Trichloroethylene: 2.5 ug/l; and 35
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and 36
(xvii) 1,4-Dioxane: 0.35 ug/l. 37
D-105A-195
(4) Wastewater and stormwater point source discharges in a WS-IV watershed shall meet the following 1
requirements: 2
(a) Discharges that qualify for a General NPDES Permit pursuant to 15A NCAC 02H .0127 3
shall be allowed in the entire watershed. 4
(b) Discharges from domestic facilities, industrial facilities and trout farms that are subject to 5
Individual NPDES Permits shall be allowed in the entire watershed. 6
(c) Stormwater discharges that qualify for an Individual NPDES Permit pursuant to 15A 7
NCAC 02H .0126 shall be allowed in the entire watershed. 8
(d) No discharge of sewage, industrial wastes, or other wastes shall be allowed in the entire 9
watershed except for those allowed by Sub-Items (a) through (c) of this Item or Rule .0104 10
of this Subchapter, and none shall be allowed that have an adverse effect on human health 11
or that are not treated in accordance with the permit or other requirements established by 12
the Division pursuant to G.S. 143-215.1. Upon request by the Commission, dischargers or 13
industrial users subject to pretreatment standards shall disclose all chemical constituents 14
present or potentially present in their wastes and chemicals that could be spilled or be 15
present in runoff from their facility which may have an adverse impact on downstream 16
water supplies. These facilities may be required to have spill and treatment failure control 17
plans as well as perform special monitoring for toxic substances. 18
(e) New industrial discharges of treated wastewater in the critical area shall meet the 19
provisions of Rule .0224(c)(2)(D), (E), and (G) of this Section and Rule .0203 of this 20
Section. 21
(f) New industrial connections and expansions to existing municipal discharges with a 22
pretreatment program pursuant to 15A NCAC 02H .0904 shall be allowed in the entire 23
watershed. 24
(g) No new landfills shall be allowed in the Critical Area. 25
(h) No new permitted sites for land application residuals or petroleum contaminated soils shall 26
be allowed in the Critical Area. 27
(5) Nonpoint source pollution in a WS-IV watershed shall meet the following requirements: 28
(a) Nonpoint source pollution shall not have an adverse impact on waters for use as a water 29
supply or any other designated use. 30
(b) Class WS-IV waters shall be protected as water supplies that are located in watersheds that 31
meet average watershed development density levels specified for Class WS-IV waters in 32
Rule .0624 of this Subchapter. 33
34
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 35
Eff. February 1, 1986; 36
D-106A-196
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; June 1, 1996; October 1, 1995; August 1
1, 1995; June 1, 1994; 2
Readopted Eff. November 1, 2019. November 1, 2019; 3
Amended Eff. Xxxxxxx. 4
D-107A-197
15A NCAC 02B .0218 is proposed for amendment as follows: 1
2
15A NCAC 02B .0218 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-V 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as 5
WS-V. Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also apply 6
to Class WS-V waters. 7
(1) The best usage of waters classified as WS-V shall be as waters that are protected as water supplies 8
which are generally upstream and draining to Class WS-IV waters; waters previously used for 9
drinking water supply purposes; or waters used by industry to supply their employees, but not 10
municipalities or counties, with a raw drinking water supply source, although this type of use is not 11
restricted to WS-V classification; and all Class C uses. 12
(2) The best usage of waters classified as WS-V shall be maintained as follows: 13
(a) Water quality standards in a WS-V water shall meet the requirements as specified in Item 14
(3) of this Rule. 15
(b) Wastewater and stormwater point source discharges in a WS-V water shall meet the 16
requirements as specified in Item (4) of this Rule. 17
(c) Nonpoint source pollution in a WS-V water shall meet the requirements as specified in 18
Item (5) of this Rule. 19
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall 20
meet the Maximum Contaminant Level concentrations considered safe for drinking, 21
culinary, or food-processing purposes that are specified in 40 CFR Part 141 National 22
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public 23
Water Supplies, 15A NCAC 18C .1500. 24
(e) The Commission or its designee may apply management requirements for the protection 25
of waters downstream of receiving waters provided in Rule .0203 of this Section. 26
(f) The Commission shall consider a more protective classification for the water supply if a 27
resolution requesting a more protective classification is submitted from all local 28
governments having land use jurisdiction within the affected watershed. 29
(g) Sources of water pollution that preclude any of the best uses on either a short-term or 30
long-term basis shall be deemed to violate a water quality standard; 31
(3) Water quality standards applicable to Class WS-V Waters shall be as follows: 32
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the 33
aesthetic qualities of water supplies and to prevent foaming; 34
(b) Odor producing substances contained in sewage, industrial wastes, or other wastes: only 35
such amounts, whether alone or in combination with other substances or waste, as will not 36
cause organoleptic effects in water supplies that can not be corrected by treatment, impair 37
D-108A-198
the palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H .1002, on 1
any best usage established for waters of this class; 2
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from 3
taste and odor problems due to chlorinated phenols. Specific phenolic compounds may be 4
given a different limit if it is demonstrated not to cause taste and odor problems and not to 5
be detrimental to other best usage; 6
(d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); 7
(e) Solids, total dissolved: not greater than 500 mg/l; 8
(f) Toxic and other deleterious substances that are non-carcinogens: 9
(i) Barium: 1.0 mg/l; 10
(ii) Chloride: 250 mg/l; 11
(iii) Nickel: 25 ug/l; 12
(iv) Nitrate nitrogen: 10.0 mg/l; 13
(v) 2,4-D: 70 ug/l; 14
(vi) 2,4,5-TP (Silvex): 10 ug/l; and 15
(vii) Sulfates: 250 mg/l; 16
(g) Toxic and other deleterious substances that are carcinogens: 17
(i) Aldrin: 0.05 ng/1; 18
(ii) Arsenic: 10 ug/l; 19
(iii) Benzene: 1.19 ug/1; 20
(iv) Carbon tetrachloride: 0.254 ug/l; 21
(v) Chlordane: 0.8 ng/1; 22
(vi) Chlorinated benzenes: 488 ug/l; 23
(vii) DDT: 0.2 ng/1; 24
(viii) Dieldrin: 0.05 ng/1; 25
(ix) Dioxin: 0.000005 ng/l; 26
(x) Heptachlor: 0.08 ng/1; 27
(xi) Hexachlorobutadiene: 0.44 ug/l; 28
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; 29
(xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; 30
(xiv) Tetrachloroethylene: 0.7 ug/l; 31
(xv) Trichloroethylene: 2.5 ug/l; and 32
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and 33
(xvii) 1,4-Dioxane: 0.35 ug/l. 34
(4) No discharge of sewage, industrial wastes, or other wastes shall be allowed that have an adverse 35
effect on human health or that are not treated in accordance with the permit or other requirements 36
established by the Division pursuant to G.S. 143-215.1. Upon request by the Commission, 37
D-109A-199
dischargers or industrial users subject to pretreatment standards shall disclose all chemical 1
constituents present or potentially present in their wastes and chemicals that could be spilled or be 2
present in runoff from their facility which may have an adverse impact on downstream water quality. 3
These facilities may be required to have spill and treatment failure control plans as well as perform 4
special monitoring for toxic substances. 5
(5) Nonpoint Source pollution in a WS-V water shall not have an adverse impact on waters for use as 6
water supply or any other designated use. 7
8
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 9
Eff. October 1, 1989; 10
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; October 1, 1995; 11
Readopted Eff. November 1, 2019. November 1, 2019; 12
Amended Eff. Xxx. 13
D-110A-200
15A NCAC 02B .0219 is proposed for amendment as follows: 1
2
15A NCAC 02B .0219 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS B WATERS 3
The following water quality standards shall apply to surface waters that are for primary contact recreation as defined 4
in Rule .0202 of this Section, and are classified as Class B waters. Water quality standards applicable to Class C 5
waters as described in Rule .0211 of this Section also apply to Class B waters. 6
(1) The best usage of Class B waters shall be primary contact recreation and any other best usage 7
specified for Class C waters. 8
(2) Class B waters shall meet the standards of water quality for outdoor bathing places as specified in 9
Item (3) of this Rule and shall be of sufficient size and depth for primary contact recreation. In 10
assigning the B classification to waters intended for primary contact recreation, the Commission 11
shall consider the relative proximity of sources of water pollution and the potential hazards 12
involved in locating swimming areas close to sources of water pollution and shall not assign this 13
classification to waters in which such water pollution could result in a hazard to public health. 14
Sources of water pollution that preclude any of these uses on either a short-term or long-term basis 15
shall be deemed to violate a water quality standard. 16
(3) Quality standards applicable to Class B waters: 17
(a) Sewage, industrial wastes, or other wastes: none shall be allowed that are not treated to 18
the satisfaction of the Commission. In determining the degree of treatment required for 19
such waste when discharged into waters to be used for bathing, the Commission shall 20
consider the quality and quantity of the sewage and wastes involved and the proximity of 21
such discharges to waters in this class. Discharges in the immediate vicinity of bathing 22
areas shall not be allowed if the Director determines that the waste cannot be treated to 23
ensure the protection of primary contact recreation; 24
(b) Fecal coliforms shall not exceed a geometric mean of 200/100 ml (MF count) based on at 25
least five samples taken over a 30 day period, nor exceed 400/100 ml in more than 20 26
percent of the samples examined during such period. period; 27
(c) For the counties listed in this Sub-Item, Escherichia coli (E. coli) shall be used as the 28
bacterial indicator in lieu of Sub-Item (b) of this Item. E. coli shall not exceed a 29
geometric mean of 100 colony forming units (cfu) per 100 ml (MF count) or a most 30
probable number value (MPN) of 100 per 100 ml based upon a minimum of five samples 31
taken over a 30 day period, and E. coli shall not exceed 320 cfu/100 ml or 320 MPN/100 32
ml in more than 20 percent of the samples examined during the same 30-day period. The 33
counties subject to this site-specific standard are: 34
(i) Avery; 35
(ii) Buncombe; 36
(iii) Burke; 37
D-111A-201
(iv) Caldwell; 38
(v) Cherokee; 39
(vi) Clay; 40
(vii) Graham; 41
(viii) Haywood; 42
(ix) Henderson; 43
(x) Jackson; 44
(xi) Macon; 45
(xii) Madison; 46
(xiii) McDowell; 47
(xiv) Mitchell; 48
(xv) Polk; 49
(xvi) Rutherford; 50
(xvii) Swain; 51
(xviii) Transylvania; and 52
(xix) Yancey. 53
(4) Wastewater discharges to waters classified as B shall meet the reliability requirements specified in 54
15A NCAC 02H .0124. Discharges to waters where a primary contact recreational use is 55
determined by the Director to be attainable shall be required to meet water quality standards and 56
reliability requirements to protect this use concurrently with reclassification efforts. 57
58
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 59
Eff. January 1, 1990; 60
Amended Eff. October 1, 1995; 61
Readopted Eff. November 1, 2019. November 1, 2019; 62
Amended Eff. Xx. 63
D-112A-202
15A NCAC 02B .0220 is proposed for amendment as follows: 1 2
15A NCAC 02B .0220 TIDAL SALT WATER QUALITY STANDARDS FOR CLASS SC WATERS 3
In addition to the standards set forth in Rule .0208 of this Section, the following water quality standards shall apply 4
to all Class SC waters. Additional standards applicable to other tidal salt water classifications are specified in Rules 5
.0221 and .0222 of this Section. 6
(1) The best usage of waters classified as SC shall be aquatic life propagation, survival, and maintenance 7
of biological integrity (including fishing, fish, and Primary Nursery Areas (PNAs)); wildlife; 8
secondary contact recreation as defined in Rule .0202 in this Section; and any usage except primary 9
contact recreation or shellfishing for market purposes. All saltwaters shall be classified to protect 10
these uses at a minimum. 11
(2) The best usage of waters classified as SC shall be maintained as specified in this Rule. Any source 12
of water pollution that precludes any of these uses on either a short-term or a long-term basis shall 13
be deemed to violate a water quality standard; 14
(3) Chlorophyll a (corrected): not greater than 40 ug/l in sounds, estuaries, and other waters subject to 15
growths of macroscopic or microscopic vegetation. The Commission or its designee may prohibit 16
or limit any discharge of waste into surface waters if the Director determines that the surface waters 17
experience or the discharge would result in growths of microscopic or macroscopic vegetation such 18
that the standards established pursuant to this Rule would be violated or the intended best usage of 19
the waters would be impaired; 20
(4) Cyanide: 1 ug/l; 21
(5) Dissolved oxygen: not less than 5.0 mg/l, except that swamp waters, poorly flushed tidally 22
influenced streams or embayments, or estuarine bottom waters may have lower values if caused by 23
natural conditions; 24
(6) Enterococcus, including Enterococcus faecalis, Enterococcus faecium, Enterococcus avium and 25
Enterococcus gallinarium: not exceed a geometric mean of 35 enterococci per 100 ml based upon a 26
minimum of five samples taken over a 30-day period. For the purposes of beach monitoring and 27
notification, "Coastal Recreational Waters Monitoring, Evaluation and Notification" regulations 28
(15A NCAC 18A .3400), available free of charge at: http://www.ncoah.com/, are incorporated by 29
reference including subsequent amendments and editions; 30
(7) Floating solids, settleable solids, or sludge deposits: only such amounts attributable to sewage, 31
industrial wastes, or other wastes as shall not make the waters unsafe or unsuitable for aquatic life 32
and wildlife, or impair the waters for any designated uses; 33
(8) Gases, total dissolved: not greater than 110 percent of saturation; 34
(9) Metals: 35
(a) With the exception of mercury and selenium, acute and chronic tidal salt water quality 36
standards for metals shall be based upon measurement of the dissolved fraction of the 37
D-113A-203
metals. Mercury and selenium shall be based upon measurement of the total recoverable 1
metal; 2
(b) With the exception of mercury and selenium, acute and chronic tidal saltwater quality 3
aquatic life standards for metals listed in this Sub-Item shall apply as a function of the 4
pollutant's water effect ratio (WER). The WER shall be assigned a value equal to one unless 5
any person demonstrates to the Division in a permit proceeding that another value is 6
developed in accordance with the "Water Quality Standards Handbook: Second Edition" 7
published by the US Environmental Protection Agency (EPA-823-B-12-002). Alternative 8
site-specific standards may also be developed when any person submits values that 9
demonstrate to the Commission that they were derived in accordance with the "Water 10
Quality Standards Handbook: Second Edition, Recalculation Procedure or the Resident 11
Species Procedure." 12
(c) Acute and chronic tidal salt water quality metals standards shall be as follows: 13
(i) Arsenic, acute: WER∙ 69 ug/l; 14
(ii) Arsenic, chronic: WER∙ 36 ug/l; 15
(iii) Cadmium, acute: WER∙ 40 33 ug/l; 16
(iv) Cadmium, chronic: WER∙ 8.8 7.9 ug/l; 17
(v) Chromium VI, acute: WER∙ 1100 ug/l; 18
(vi) Chromium VI, chronic: WER∙ 50 ug/l; 19
(vii) Copper, acute: WER∙ 4.8 ug/l; 20
(viii) Copper, chronic: WER∙ 3.1 ug/l; 21
(ix) Lead, acute: WER∙ 210 ug/l; 22
(x) Lead, chronic: WER∙ 8.1 ug/l; 23
(xi) Mercury, total recoverable, chronic: 0.025 ug/l; 24
(xii) Nickel, acute: WER∙ 74 ug/l; 25
(xiii) Nickel, chronic: WER∙ 8.2 ug/l; 26
(xiv) Selenium, total recoverable, chronic: 71 ug/l; 27
(xv) Silver, acute: WER∙ 1.9 ug/l; 28
(xvi) Silver, chronic: WER∙ 0.1 ug/l; 29
(xvii) Zinc, acute: WER∙ 90 ug/l; and 30
(xviii) Zinc, chronic: WER∙ 81 ug/l; 31
(d) Compliance with acute instream metals standards shall only be evaluated using an average 32
of two or more samples collected within one hour. Compliance with chronic instream 33
metals standards shall only be evaluated using averages of a minimum of four 34
samples taken on consecutive days, or as a 96-hour average; 35
(10) Oils, deleterious substances, or colored or other wastes: only such amounts as shall not render the 36
waters injurious to public health, secondary recreation, aquatic life, and wildlife or adversely affect 37
D-114A-204
the palatability of fish, aesthetic quality, or impair the waters for any designated uses. For the 1
purpose of implementing this Rule, oils, deleterious substances, or colored or other wastes shall 2
include substances that cause a film or sheen upon or discoloration of the surface of the water or 3
adjoining shorelines, as described in 40 CFR 110.3, incorporated by reference including any 4
subsequent amendments and editions. This material is available free of charge at 5
https://www.govinfo.gov. 6
(11) Pesticides: 7
(a) Aldrin: 0.003 ug/l; 8
(b) Chlordane: 0.004 ug/l; 9
(c) DDT: 0.001 ug/l; 10
(d) Demeton: 0.1 ug/l; 11
(e) Dieldrin: 0.002 ug/l; 12
(f) Endosulfan: 0.009 ug/l; 13
(g) Endrin: 0.002 ug/l; 14
(h) Guthion: 0.01 ug/l; 15
(i) Heptachlor: 0.004 ug/l; 16
(j) Lindane: 0.004 ug/l; 17
(k) Methoxychlor: 0.03 ug/l; 18
(l) Mirex: 0.001 ug/l; 19
(m) Parathion: 0.178 ug/l; and 20
(n) Toxaphene: 0.0002 ug/l; 21
(12) pH: shall be between 6.8 and 8.5, except that swamp waters may have a pH as low as 4.3 if it is the 22
result of natural conditions; 23
(13) Phenolic compounds: only such levels as shall not result in fish-flesh tainting or impairment of other 24
best usage; 25
(14) Polychlorinated biphenyls: (total of all PCBs and congeners identified) 0.001 ug/l; 26
(15) Radioactive substances, based on at least one sample collected per quarter: 27
(a) Combined radium-226 and radium-228: the average annual activity level for combined 28
radium-226, and radium-228 shall not exceed five picoCuries per liter; 29
(b) Alpha Emitters: the average annual gross alpha particle activity (including radium-226, but 30
excluding radon and uranium) shall not exceed 15 picoCuries per liter; 31
(c) Beta Emitters: the average annual activity level for strontium-90 shall not exceed eight 32
picoCuries per liter, nor shall the average annual gross beta particle activity (excluding 33
potassium-40 and other naturally occurring radionuclides exceed 50 picoCuries per liter, 34
nor shall the average annual activity level for tritium exceed 20,000 picoCuries per liter; 35
(16) Salinity: changes in salinity due to hydrological modifications shall not result in removal of the 36
functions of a PNA. Projects that are determined by the Director to result in modifications of salinity 37
D-115A-205
such that functions of a PNA are impaired shall employ water management practices to mitigate 1
salinity impacts; 2
(17) Temperature: shall not be increased above the natural water temperature by more than 0.8 degrees 3
C (1.44 degrees F) during the months of June, July, and August, shall not be increased by more than 4
2.2 degrees C (3.96 degrees F) during other months, and shall in no case exceed 32 degrees C (89.6 5
degrees F) due to the discharge of heated liquids; 6
(18) Trialkyltin compounds: 0.007 ug/l expressed as tributyltin; 7
(19) Turbidity: the turbidity in the receiving water shall not exceed 25 Nephelometric Turbidity Units 8
(NTU); if turbidity exceeds this level due to natural background conditions, the existing turbidity 9
level shall not be increased. Compliance with this turbidity standard shall be deemed met when land 10
management activities employ Best Management Practices (BMPs), defined by Rule .0202 of this 11
Section, recommended by the Designated Nonpoint Source Agency, as defined by Rule .0202 of 12
this Section. 13
14
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 15
Eff. October 1, 1995; 16
Amended Eff. January 1, 2015; May 1, 2007; August 1, 2000; 17
Readopted Eff. November 1, 2019. November 1, 2019; 18
Amended Eff. Xx. 19
D-116A-206
15A NCAC 02B .0301 is proposed for amendment as follows: 1
2
SECTION .0300 - ASSIGNMENT OF STREAM CLASSIFICATIONS 3
4
15A NCAC 02B .0301 CLASSIFICATIONS: GENERAL 5
(a) The classifications assigned to the waters of the State of North Carolina are set forth in river basin classification6
schedules provided at https://deq.nc.gov/about/divisions/water-resources/water-planning/classification-7
standards/river-basin-classification and in Rules .0302 to .0317 of this Section. These classifications are based upon 8
procedures described in Rule .0101 of this Subchapter. 9
(b) Classifications. The classifications assigned to the waters of North Carolina are denoted by the letters C, B, WS-10
I, WS-II, WS-III, WS-IV, WS-V, WL, SC, SB, SA, SWL, Tr, Sw, NSW, ORW, HQW, and UWL. The "best usage", 11
as defined in Rule .0202 of this Subchapter, for each classification is defined in the rules as follows: 12
(1)Fresh Waters Classifications:13
(A)Class C: Rule .0211 of this Subchapter;14
(B)Class B: Rule .0219 of this Subchapter;15
(C)Class WS-I (Water Supply): Rule .0212 of this Subchapter;16
(D)Class WS-II (Water Supply): Rule .0214 of this Subchapter;17
(E)Class WS-III (Water Supply): Rule .0215 of this Subchapter;18
(F)Class WS-IV (Water Supply): Rule .0216 of this Subchapter;19
(G)Class WS-V (Water Supply): Rule .0218 of this Subchapter; and20
(H)Class WL (Wetlands): Rule .0231 of this Subchapter.21
(2)Tidal Salt Waters Classifications:22
(A)Class SC: Rule .0220 of this Subchapter;23
(B)Class SB: Rule .0222 of this Subchapter;24
(C)Class SA: Rule .0221 of this Subchapter; and25
(D)Class SWL: Rule .0231 of this Subchapter.26
(3)Supplemental Classifications:27
(A)Class Tr (Trout Waters): Rule .0202 of this Subchapter;28
(B)Class Sw (Swamp): Rule .0202 of this Subchapter;29
(C)Class NSW (Nutrient Sensitive Waters): Rule .0223 of this Subchapter;30
(D)Class ORW (Outstanding Resource Waters): Rule .0225 of this Subchapter;31
(E)Class HQW (High Quality Waters): Rule .0224 of this Subchapter; and32
(F)Class UWL (Unique Wetlands): Rule .0231 of this Subchapter.33
(c) Water Quality Standards. The water quality standards applicable to each classification assigned are those34
established in the rules of Section .0200 of this Subchapter. 35
D-117A-207
(d) Index Number. The index number is an identification number assigned to each stream or segment of a stream, 1
indicating the specific tributary progression between the main stem stream and tributary stream. The index number 2
can be referenced to the Division's river basin classification schedules (hydrologic and alphabetic) for each river basin. 3
(e) Classification Date. The classification date indicates the date on which enforcement of the provisions of General 4
Statutes 143-215.1 became effective with reference to the classification assigned to the various streams in North 5
Carolina. 6
(f) Unnamed Streams. 7
(1) Any stream that is not listed in a river basin classification schedule carries the same classification 8
as that assigned to the stream segment to which it is tributary except: 9
(A) unnamed freshwaters tributary to tidal saltwaters will be classified "C"; or 10
(B) after November 1, 1986, any areas of tidal saltwater created by dredging projects approved 11
in accordance with 15A NCAC 07H .0208 and connected to Class SA waters shall be 12
classified "SC" unless case-by-case reclassification proceedings are conducted per Rule 13
.0101 of this Subchapter. 14
(2) In addition to Subparagraph (f)(1) (1) of this Rule, Paragraph, for unnamed streams entering other 15
states, states, tribes approved for treatment as a state and administering a U.S. Environmental 16
Protection Agency approved water quality standards program, or for specific areas of a river basin, 17
the following Rules shall apply: 18
(A) Hiwassee River Basin (Rule .0302 of this Section); 19
(B) Little Tennessee River Basin and Savannah River Drainage Area (Rule .0303 of this 20
Section); 21
(C) French Broad River Basin (Rule .0304 of this Section); 22
(D) Watauga River Basin (Rule .0305 of this Section); 23
(E) Broad River Basin (Rule .0306 of this Section); 24
(F) New River Basin (Rule .0307 of this Section); 25
(G) Catawba River Basin (Rule .0308 of this Section); 26
(H) Yadkin-Pee Dee River Basin (Rule .0309 of this Section); 27
(I) Lumber River Basin (Rule .0310 of this Section); 28
(J) Roanoke River Basin (Rule .0313 of this Section); 29
(K) Tar-Pamlico River Basin (Rule .0316 of this Section); and 30
(L) Pasquotank River Basin (Rule .0317 of this Section). 31
32
History Note: Authority G.S. 143-214.1; 143-214.5; 143-215.1; 143-215.3(a)(1); 33
Eff. February 1, 1976; 34
Amended Eff. August 1, 1995; August 3, 1992; August 1, 1990; October 1, 1989; 35
Readopted Eff. November 1, 2019. November 1, 2019; 36
Amended Eff. xxxxx 37
D-118A-208
15A NCAC 02B .0311 proposed for amendment as follows: 1 2
15A NCAC 02B .0311 CAPE FEAR RIVER BASIN 3
(a) Classifications assigned to the waters within the Cape Fear River Basin are set forth in the Cape Fear River 4
Basin Classification Schedule, which may be inspected at the following places: 5
(1) the Internet at https://deq.nc.gov/about/divisions/water-resources/water-planning/classification-6
standards/river-basin-classification; and 7
(2) the following offices of the North Carolina Department of Environmental Quality: 8
(A) Winston-Salem Regional Office 9
450 West Hanes Mill Road 10
Winston-Salem, North Carolina; 11
(B) Fayetteville Regional Office 12
225 Green Street 13
Systel Building Suite 714 14
Fayetteville, North Carolina; 15
(C) Raleigh Regional Office 16
3800 Barrett Drive 17
Raleigh, North Carolina; 18
(D) Washington Regional Office 19
943 Washington Square Mall 20
Washington, North Carolina; 21
(E) Wilmington Regional Office 22
127 Cardinal Drive Extension 23
Wilmington, North Carolina; and 24
(F) Division of Water Resources 25
Central Office 26
512 North Salisbury Street 27
Raleigh, North Carolina. 28
(b) The Cape Fear River Basin Classification Schedule was amended effective: 29
(1) March 1, 1977; 30
(2) December 13, 1979; 31
(3) December 14, 1980; 32
(4) August 9, 1981; 33
(5) April 1, 1982; 34
(6) December 1, 1983; 35
(7) January 1, 1985; 36
(8) August 1, 1985; 37
(9) December 1, 1985; 38
D-119A-209
(10) February 1, 1986; 1
(11) July 1, 1987; 2
(12) October 1, 1987; 3
(13) March 1, 1988; 4
(14) August 1, 1990. 5
(c) The Cape Fear River Basin Classification Schedule was amended effective June 1, 1988 as follows: 6
(1) Cane Creek [Index No. 16-21-(1)] from source to a point 0.5 mile north of N.C. Hwy. 54 (Cane 7
Reservoir Dam) including the Cane Creek Reservoir and all tributaries has been reclassified from 8
Class WS-III to WS-I. 9
(2) Morgan Creek [Index No. 16-41-1-(1)] to the University Lake dam including University Lake and 10
all tributaries has been reclassified from Class WS-III to WS-I. 11
(d) The Cape Fear River Basin Classification Schedule was amended effective July 1, 1988 by the reclassification 12
of Crane Creek (Crains Creek) [Index No. 18-23-16-(1)] from source to mouth of Beaver Creek including all 13
tributaries from C to WS-III. 14
(e) The Cape Fear River Basin Classification Schedule was amended effective January 1, 1990 as follows: 15
(1) Intracoastal Waterway (Index No. 18-87) from southern edge of White Oak River Basin to 16
western end of Permuda Island (a line from Morris Landing to Atlantic Ocean), from the eastern 17
mouth of Old Topsail Creek to the southwestern shore of Howe Creek and from the southwest 18
mouth of Shinn Creek to channel marker No. 153 including all tributaries except the King Creek 19
Restricted Area, Hardison Creek, Old Topsail Creek, Mill Creek, Futch Creek and Pages Creek 20
were reclassified from Class SA to Class SA ORW. 21
(2) Topsail Sound and Middle Sound ORW Area which includes all waters between the Barrier 22
Islands and the Intracoastal Waterway located between a line running from the western most shore 23
of Mason Inlet to the southwestern shore of Howe Creek and a line running from the western 24
shore of New Topsail Inlet to the eastern mouth of Old Topsail Creek was reclassified from Class 25
SA to Class SA ORW. 26
(3) Masonboro Sound ORW Area which includes all waters between the Barrier Islands and the 27
mainland from a line running from the southwest mouth of Shinn Creek at the Intracoastal 28
Waterway to the southern shore of Masonboro Inlet and a line running from the Intracoastal 29
Waterway Channel marker No. 153 to the southside of the Carolina Beach Inlet was reclassified 30
from Class SA to Class SA ORW. 31
(f) The Cape Fear River Basin Classification Schedule was amended effective January 1, 1990 as follows: Big 32
Alamance Creek [Index No. 16-19-(1)] from source to Lake Mackintosh Dam including all tributaries has been 33
reclassified from Class WS-III NSW to Class WS-II NSW. 34
(g) The Cape Fear River Basin Classification Schedule was amended effective August 3, 1992 with the 35
reclassification of all water supply waters (waters with a primary classification of WS-I, WS-II or WS-III). These 36
waters were reclassified to WS-I, WS-II, WS-III, WS-IV or WS-V as defined in the revised water supply protection 37
D-120A-210
rules (15A NCAC 02B .0100, .0200 and .0300), which became effective on August 3, 1992. In some cases, streams 1
with primary classifications other than WS were reclassified to a WS classification due to their proximity and 2
linkage to water supply waters. In other cases, waters were reclassified from a WS classification to an alternate 3
appropriate primary classification after being identified as downstream of a water supply intake or identified as not 4
being used for water supply purposes. 5
(h) The Cape Fear River Basin Classification Schedule was amended effective June 1, 1994 as follows: 6
(1) The Black River from its source to the Cape Fear River [Index Nos. 18-68-(0.5), 18-68-(3.5) and 7
18-65-(11.5)] was reclassified from Classes C Sw and C Sw HQW to Class C Sw ORW. 8
(2) The South River from Big Swamp to the Black River [Index Nos. 18-68-12-(0.5) and 18-68-9
12(11.5)] was reclassified from Classes C Sw and C Sw HQW to Class C Sw ORW. 10
(3) Six Runs Creek from Quewhiffle Swamp to the Black River [Index No. 18-68-2] was reclassified 11
from Class C Sw to Class C Sw ORW. 12
(i) The Cape Fear River Basin Classification Schedule was amended effective September 1, 1994 with the 13
reclassification of the Deep River [Index No. 17-(36.5)] from the Town of Gulf-Goldston water supply intake to US 14
highway 421 including associated tributaries from Class C to Classes C, WS-IV and WS-IV CA. 15
(j) The Cape Fear River Basin Classification Schedule was amended effective August 1, 1998 with the revision to 16
the primary classification for portions of the Deep River [Index No. 17-(28.5)] from Class WS-IV to Class WS-V, 17
Deep River [Index No. 17-(41.5)] from Class WS-IV to Class C, and the Cape Fear River [Index 18-(10.5)] from 18
Class WS-IV to Class WS-V. 19
(k) The Cape Fear River Basin Classification Schedule was amended effective April 1, 1999 with the 20
reclassification of Buckhorn Creek (Harris Lake)[Index No. 18-7-(3)] from the backwaters of Harris Lake to the 21
Dam at Harris Lake from Class C to Class WS-V. 22
(l) The Cape Fear River Basin Classification Schedule was amended effective April 1, 1999 with the 23
reclassification of the Deep River [Index No. 17-(4)] from the dam at Oakdale-Cotton Mills, Inc. to the dam at 24
Randleman Reservoir (located 1.6 mile upstream of U.S. Hwy 220 Business), and including tributaries from Class C 25
and Class B to Class WS-IV and Class WS-IV & B. Streams within the Randleman Reservoir Critical Area have 26
been reclassified to WS-IV CA. The Critical Area for a WS-IV reservoir is defined as 0.5 mile and draining to the 27
normal pool elevation of the reservoir. All waters within the Randleman Reservoir Water Supply Watershed are 28
within a designated Critical Water Supply Watershed and are subject to a special management strategy specified in 29
Rule .0248 of this Subchapter. 30
(m) The Cape Fear River Basin Classification Schedule was amended effective August 1, 2002 as follows: 31
(1) Mill Creek [Index Nos. 18-23-11-(1), 18-23-11-(2), 18-23-11-3, 18-23-11-(5)] from its source to 32
the Little River, including all tributaries was reclassified from Class WS-III NSW and Class WS-33
III B NSW to Class WS-III NSW HQW@ and Class WS-III B NSW HQW@. 34
(2) McDeed's Creek [Index Nos. 18-23-11-4, 18-23-11-4-1] from its source to Mill Creek, including 35
all tributaries was reclassified from Class WS III NSW and Class WS-III B NSW to Class WS-III 36
NSW HQW@ and Class WS-III B NSW HQW@. 37
D-121A-211
The "@" symbol as used in this Paragraph means that if the governing municipality has deemed that a development 1
is covered under a "5/70 provision" as described in Rule .0215(3)(b)(i)(E) of this Subchapter, then that development 2
is not subject to the stormwater requirements as described in 15A NCAC 02H .1006. 3
(n) The Cape Fear River Basin Classification Schedule was amended effective November 1, 2004 as follows: 4
(1) the portion of Rocky River [Index Number 17-43-(1)] from a point 0.3 mile upstream of Town of 5
Siler City upper reservoir dam to a point 0.3 mile downstream of Lacy Creek from WS-III to WS-6
III CA. 7
(2) the portion of Rocky River [Index Number 17-43-(8)] from dam at lower water supply reservoir 8
for Town of Siler City to a point 65 feet below dam (site of proposed dam) from C to WS-III CA. 9
(3) the portion of Mud Lick Creek (Index No. 17-43-6) from a point 0.4 mile upstream of Chatham 10
County SR 1355 to Town of Siler City lower water supply reservoir from WS-III to WS-III CA. 11
(4) the portion of Lacy Creek (17-43-7) from a point 0.6 mile downstream of Chatham County SR 12
1362 to Town of Siler City lower water supply reservoir from WS-III to WS-III CA. 13
(o) The Cape Fear River Basin Classification Schedule was amended effective November 1, 2007 with the 14
reclassifications listed below, and the North Carolina Division of Water Resources maintains a Geographic 15
Information Systems data layer of these UWLs. 16
(1) Military Ocean Terminal Sunny Point Pools, all on the eastern shore of the Cape Fear River [Index 17
No. 18-(71)] were reclassified to Class WL UWL. 18
(2) Salters Lake Bay near Salters Lake [Index No. 18-44-4] was reclassified to Class WL UWL. 19
(3) Jones Lake Bay near Jones Lake [Index No. 18-46-7-1] was reclassified to Class WL UWL. 20
(4) Weymouth Woods Sandhill Seep near Mill Creek [18-23-11-(1)] was reclassified to Class WL 21
UWL. 22
(5) Fly Trap Savanna near Cape Fear River [Index No. 18-(71)] was reclassified to Class WL UWL. 23
(6) Lily Pond near Cape Fear River [Index No. 18-(71)] was reclassified to Class WL UWL. 24
(7) Grassy Pond near Cape Fear River [Index No. 18-(71)] was reclassified to Class WL UWL. 25
(8) The Neck Savanna near Sandy Run Swamp [Index No. 18-74-33-2] was reclassified to Class WL 26
UWL. 27
(9) Bower's Bog near Mill Creek [Index No. 18-23-11-(1)] was reclassified to Class WL UWL. 28
(10) Bushy Lake near Turnbull Creek [Index No. 18-46] was reclassified to Class WL UWL. 29
(p) The Cape Fear River Basin Classification Schedule was amended effective January 1, 2009 as follows: 30
(1) the portion of Cape Fear River [Index No. 18-(26)] (including tributaries) from Smithfield Packing 31
Company's intake, located approximately 2 miles upstream of County Road 1316, to a point 0.5 32
miles upstream of Smithfield Packing Company's intake from Class C to Class WS-IV CA. 33
(2) the portion of Cape Fear River [Index No.18-(26)] (including tributaries) from a point 0.5 miles 34
upstream of Smithfield Packing Company's intake to a point 1 mile upstream of Grays Creek from 35
Class C to Class WS-IV. 36
D-122A-212
(q) The Cape Fear River Basin Classification Schedule was amended effective August 11, 2009 with the 1
reclassification of all Class C NSW waters and all Class B NSW waters upstream of the dam at B. Everett Jordan 2
Reservoir from Class C NSW and Class B NSW to Class WS-V NSW and Class WS-V & B NSW, respectively. All 3
waters within the B. Everett Jordan Reservoir Watershed are within a designated Critical Water Supply Watershed 4
and are subject to a special management strategy specified in Rules .0262 through .0273 of this Subchapter. 5
(r) The Cape Fear River Basin Classification Schedule was amended effective September 1, 2009 with the 6
reclassification of a portion of the Haw River [Index No. 16-(28.5)] from the Town of Pittsboro water supply intake, 7
which is located approximately 0.15 mile west of U.S. 15/501, to a point 0.5 mile upstream of the Town of Pittsboro 8
water supply intake from Class WS-IV to Class WS-IV CA. 9
(s) The Cape Fear River Basin Classification Schedule was amended effective March 1, 2012 with the 10
reclassification of the portion of the Haw River [Index No. 16-(1)] from the City of Greensboro's intake, located 11
approximately 650 feet upstream of Guilford County 2712, to a point 0.5 miles upstream of the intake from Class 12
WS-V NSW to Class WS-IV CA NSW, and the portion of the Haw River [Index No. 16-(1)] from a point 0.5 miles 13
upstream of the intake to a point 0.6 miles downstream of U.S. Route 29 from Class WS-V NSW to Class WS-IV 14
NSW. 15
(t) The Cape Fear River Basin Classification Schedule was amended effective June 30, 2017 with the 16
reclassification of a section of 18-(71) from upstream mouth of Toomers Creek to a line across the river between 17
Lilliput Creek and Snows Cut from Class SC to Class SC Sw. A site-specific management strategy is outlined in 18
15A NCAC 02B .0227. 19
(u) The Cape Fear River Basin Classification Schedule was amended effective September 1, 2019 with the 20
reclassification of a portion of Sandy Creek [Index No. 17-16-(1)] (including tributaries) from a point 0.4 mile 21
upstream of SR-2481 to a point 0.6 mile upstream of N.C. Hwy 22 from WS-III to WS-III CA. The reclassification 22
resulted in an updated representation of the water supply watershed for the Sandy Creek reservoir. 23
24
History Note: Authority G.S. 143-214.1; 143-215.1; 143-215.3(a)(1); 25
Eff. February 1, 1976; 26
Amended Eff. June 30, 2017; March 1, 2012; September 1, 2009; August 11, 2009; January 1, 27
2009; November 1, 2007; November 1, 2004; August 1, 2002; April 1, 1999; August 1, 1998; 28
September 1, 1994; June 1, 1994; August 3, 1992; August 1, 1990; 29
Readopted Eff. November 1, 2019. November 1, 2019; 30
Amended Eff. Xxxxx. 31
32
D-123A-213
59 | P a g e
Appendix B – Proposed Rule Amendments
A-214
1
15A NCAC 02B .0202 is amended as published in 35:22 NCR 2407-2433 with changes as follows: 1
2
15A NCAC 02B .0202 DEFINITIONS 3
The definition of any word or phrase used in this Section shall be the same as given in G.S. 143, Article 21. The 4
following words and phrases, which are not defined in this article, shall be interpreted as follows: 5
(1) "Acute toxicity to aquatic life" means lethality or other harmful effects sustained by either resident 6
aquatic populations or indicator species used as test organisms in a controlled toxicity test due to a 7
short-term exposure (relative to the life cycle of the organism) of 96 hours or less to a specific 8
chemical or mixture of chemicals (as in an effluent). Acute toxicity shall be determined using the 9
following procedures: 10
(a) for specific chemical constituents or compounds, acceptable levels shall be equivalent to 11
a concentration of one-half or less of the Final Acute Value (FAV) as determined 12
according to "Guidelines for Deriving Numerical Water Quality Criteria for the 13
Protection of Aquatic Life and its Uses" published by the Environmental Protection 14
Agency and referenced in the Federal Register (50 FR 30784, July 29, 1985) which is 15
incorporated by reference including subsequent amendments and editions. 16
(b) for specific chemical constituents or compounds for which values described under Sub-17
Item (a) of this Item cannot be determined, acceptable levels shall be equivalent to a 18
concentration of one-third or less of the lowest available LC50 value. 19
(c) for effluents, acceptable levels shall be defined as no statistically measurable lethality (99 20
percent confidence level using Student's t-test) during a specified exposure period. 21
Concentrations of exposure shall be based on permit requirements and procedures in 22
accordance with 15A NCAC 02H .1110. 23
(d) in instances where detailed dose response data indicate that levels of acute toxicity are 24
different from those defined in this Rule, the Director may determine on a case-by-case 25
basis an alternate acceptable level through statistical analyses of the dose response in 26
accordance with 15A NCAC 02H .1110. 27
(2) "Acute to Chronic Ratio" or "ACR" means the ratio of acute toxicity expressed as an LC50 for a 28
specific toxicant or an effluent to the chronic value for the same toxicant or effluent. 29
(3) "Agricultural uses" means the use of waters for stock watering, irrigation, and other farm 30
purposes. 31
(4) "Applicator" means any person, firm, corporation, wholesaler, retailer, or distributor; any local, 32
State, or federal governmental agency; or any other person who applies fertilizer to the land of a 33
consumer or client or to land that they own, lease, or otherwise hold rights. 34
(5) "Approved treatment," as applied to water supplies, means treatment approved by the Division in 35
accordance with 15A NCAC 18C .0301 through .0309, as authorized by G.S. 130A-315 and G.S. 36
130A-317. 37
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(6) "Attainable water uses" means uses that can be achieved by the imposition of effluent limits and 1
cost effective and reasonable best management practices (BMP) for nonpoint source control. 2
(7) “Available cyanide” means inorganic cyanides that are free (HCN and CN-) and metal-cyanide 3
complexes that are dissociated into free cyanide ions under mildly acidic conditions (pH 3 to 6). 4
(7)(8) "Average" means the arithmetical average of the analytical results of all representative samples 5
taken under prevailing environmental conditions during a specified period (for example: daily, 6
weekly, or monthly). 7
(8)(9) "Best Management Practice" or "BMP" means a structural or nonstructural management-based 8
practice used singularly or in combination to reduce point source or nonpoint source inputs to 9
receiving waters in order to achieve water quality protection goals. 10
(9)(10) "Best usage" or "Best use" of waters, as specified for each class, means those uses as determined 11
by the Environmental Management Commission in accordance with the provisions of G.S. 12
143-214.1. 13
(10)(11) "Bioaccumulation factor" or "BAF" means a unitless value that describes the degree to which 14
substances are taken up or accumulated into tissues of aquatic organisms from water directly and 15
from food or other ingested materials containing the accumulated substances, and is measured as a 16
ratio of a substance's concentration in tissue versus its concentration in water in situations where 17
exposure to the substance occurs from both water and the food chain. 18
(11)(12) "Bioconcentration factor" or "BCF" means a unitless value that describes the degree to which 19
substances are absorbed or concentrated into tissues of aquatic organisms from water directly and 20
is measured as a ratio of substance's concentration in tissue versus its concentration in water in 21
situations where exposure to the substance occurs from water only. 22
(12)(13) "Biological integrity" means the ability of an aquatic ecosystem to support and maintain a 23
balanced and indigenous community of organisms having species composition, diversity, 24
population densities, and functional organization similar to that of reference conditions. 25
(13)(14) "Buffer" means a natural or vegetated area through which stormwater runoff flows in a diffuse 26
manner so that the runoff does not become channelized and which provides for infiltration of the 27
runoff and filtering of pollutants. 28
(14)(15) "Chronic toxicity to aquatic life" means any harmful effect sustained by either resident aquatic 29
populations or indicator species used as test organisms in a controlled toxicity test due to 30
long-term exposure (relative to the life cycle of the organism) or exposure during a substantial 31
portion of the duration of a sensitive period of the life cycle to a specific chemical substance or 32
mixture of chemicals (as in an effluent). In absence of extended periods of exposure, early life 33
stage or reproductive toxicity tests may be used to define chronic impacts. 34
(15)(16) "Chronic value for aquatic life" means the geometric mean of two concentrations identified in a 35
controlled toxicity test as the No Observable Effect Concentration (NOEC) and the Lowest 36
Observable Effect Concentration (LOEC). 37
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(16)(17) "Commercial applicator" means any person, firm, corporation, wholesaler, retailer, distributor, or 1
any other person who for hire or compensation applies fertilizer to the land of a consumer or 2
client. 3
(17)(18) "Concentration" means the mass of a substance per volume of water and, for the purposes of this 4
Section, shall be expressed as milligrams per liter (mg/l), micrograms per liter (ug/l), or 5
nanograms per liter (ng/l). 6
(18)(19) "Contiguous" means those wetlands landward of the mean high water line or normal water level 7
and within 575 feet of classified surface waters that appear as solid blue lines on the most recently 8
published versions of U.S.G.S. 1:24,000 (7.5 minute) scale topographic maps, which are available 9
at no cost at http://www.usgs.gov/pubprod/. 10
(19)(20) "Critical area" means the area adjacent to a water supply intake or reservoir where risk associated 11
with pollution is greater than risk associated with pollution from the remaining portions of the 12
watershed. The boundary of a critical area is defined as: 13
(a) extending either 1/2 mile in a straight line fashion upstream from and draining to the 14
normal pool elevation of the reservoir in which the intake is located or to the ridge line of 15
the watershed, whichever is nearest the normal pool elevation of the reservoir; 16
(b) extending either 1/2 mile in a straight line fashion upstream from and draining to the 17
intake (or other appropriate downstream location associated with the water supply) 18
located directly in the stream or river (run-of-the-river) or to the ridge line of the 19
watershed, whichever is nearest the intake; or 20
(c) extending a different distance from the reservoir or intake as adopted by the Commission 21
during the reclassification process pursuant to Rule .0104 of this Subchapter. 22
Since WS-I watersheds are essentially undeveloped, establishment of a critical area is not 23
required. 24
(20)(21) "Cropland" means agricultural land that is not covered by a certified animal waste management 25
plan and is used for growing corn, grains, oilseed crops, cotton, forages, tobacco, beans, or other 26
vegetables or fruits. 27
(21)(22) "Designated Nonpoint Source Agency" means an agency specified by the Governor in the North 28
Carolina Nonpoint Source Management Program, as approved by the Environmental Protection 29
Agency pursuant to the 1987 amendments to the federal Clean Water Act 33 U.S.C. 1329 that 30
established Section 319 Nonpoint source management programs. 31
(22)(23) "Director" means the Director of the Division. 32
(23)(24) "Discharge" means the addition of any man-induced waste effluent either directly or indirectly to 33
State surface waters. 34
(24)(25) "Division" means the Division of Water Resources or its successors. 35
(25)(26) "Domestic wastewater discharge" means the discharge of sewage, non-process industrial 36
wastewater, other domestic wastewater, or any combination of these items. Domestic wastewater 37
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includes, but is not limited to, liquid waste generated by domestic water using fixtures and 1
appliances from any residence, place of business, or place of public assembly, even if it contains 2
no sewage. Examples of domestic wastewater include once-through non-contact cooling water, 3
seafood packing facility discharges, and wastewater from restaurants. 4
(26)(27) "Effluent channel" means a discernable confined and discrete conveyance that is used for 5
transporting treated wastewater to a receiving stream or other body of water, as provided in Rule 6
.0228 of this Section. 7
(27)(28) "Existing uses" mean uses actually attained in the water body on or after November 28, 1975, 8
whether or not they are included in the water quality standards. 9
(28)(29) "Fertilizer" means any substance containing nitrogen or phosphorus that is used primarily as plant 10
food. 11
(29)(30) "Fishing" means the taking of fish by recreational or commercial methods, the consumption of fish 12
or shellfish, the propagation of fish, or the propagation of other aquatic life as is necessary to 13
protect the biological integrity of the environment for fish. 14
(30)(31) "Forest vegetation" means the plants of an area that grow in disturbed or undisturbed conditions in 15
wooded plant communities in any combination of trees, saplings, shrubs, vines, and herbaceous 16
plants, including mature and successional forests and cutover stands. 17
(31)(32) "Freshwater" means all waters that under natural conditions have a chloride ion content of 500 18
mg/l or less. 19
(32)(33) "Industrial discharge" means the discharge of industrial process treated wastewater or wastewater 20
other than sewage. Stormwater shall not be considered to be an industrial wastewater unless it is 21
contaminated with industrial wastewater. Industrial discharge includes: 22
(a) wastewater resulting from any process of industry or manufacture or from the 23
development of any natural resource; 24
(b) wastewater resulting from processes of trade or business, including wastewater from 25
laundromats and car washes, but not wastewater from restaurants; and 26
(c) for the purpose of prohibiting discharges to waters classified as Water Supply (WS) in 27
accordance with Rules .0212, .0214, .0215, .0216, and .0218 of this Section, wastewater 28
discharged from a municipal wastewater treatment plant requiring required to administer 29
a pretreatment program. program pursuant to 15A NCAC 02H .0904. 30
(33)(34) "Land-disturbing activity" means any use of the land that results in a change in the natural cover 31
or topography that may cause or contribute to sedimentation. 32
(34)(35) "LC50" means that concentration of a toxic substance that is lethal or immobilizing to 50 percent 33
of the sensitive aquatic toxicity testing species tested during a specified exposure period, as 34
required by NPDES permit, under aquatic conditions characteristic of the receiving waters. 35
Sensitive species for aquatic toxicity testing is defined by Subparagraph (50) of this Rule. 36
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[(35)](36) "Lentic" means an aquatic ecosystem with standing or slow flowing water such as a lake, 1
pond, or reservoir. 2
(35)[(36)](37) "Local government" means a city or county in singular or plural as defined in G.S. 3
160A-1(2) and G.S. 158A-10. 4
[(37)](38) "Lotic" means an aquatic ecosystem with rapidly flowing water such as a stream or river. 5
(36)[(38)](39) "Lower piedmont and coastal plain waters" means those waters of the Catawba River 6
Basin below Lookout Shoals Dam; the Yadkin River Basin below the junction of the Forsyth, 7
Yadkin, and Davie County lines; and all of the waters of Cape Fear, Lumber, Roanoke, Neuse, 8
Tar-Pamlico, Chowan, Pasquotank, and White Oak River Basins; except tidal salt waters which 9
are assigned S classifications. 10
(37)[(39)](40) "MF" means the membrane filter procedure for bacteriological analysis. 11
(38)[(40)](41) "Mixing zone" means a region of the receiving water in the vicinity of a discharge within 12
which dispersion and dilution of constituents in the discharge occurs. Zones shall be subject to 13
conditions established in accordance with Rule .0204(b) of this Section. 14
(39)[(41)](42) "Mountain and upper piedmont waters" means all of the waters of the Hiwassee; Little 15
Tennessee, including the Savannah River drainage area; French Broad; Broad; New; and Watauga 16
River Basins; and those portions of the Catawba River Basin above Lookout Shoals Dam and the 17
Yadkin River Basin above the junction of the Forsyth, Yadkin, and Davie County lines. 18
(40)[(42)](43) "Nonpoint source pollution" means pollution that enters waters mainly as a result of 19
precipitation and subsequent runoff from lands that have been disturbed by man's activities and 20
includes all sources of water pollution that are not required to have a permit in accordance with 21
G.S. 143-215.1(c). 22
(41)[(43)](44) "Non-process discharge" means industrial effluent not directly resulting from the 23
manufacturing process. An example is non-contact cooling water from a compressor. 24
(42)[(44)](45) "Offensive condition" means any condition or conditions resulting from the presence of 25
sewage, industrial wastes, or other wastes within the waters of the State or along the shorelines 26
thereof that shall either directly or indirectly cause foul or noxious odors, unsightly conditions, or 27
breeding of abnormally large quantities of mosquitoes or other insect pests; damage private or 28
public water supplies or other structures; result in the development of gases which destroy or 29
damage surrounding property, herbage or grasses; cause the impairment of taste such as from fish 30
flesh tainting; or affect the health of any person residing or working in the area. 31
(43)[(45)](46) "Primary contact recreation" means swimming, diving, skiing, and similar uses involving 32
human body contact with water where such activities take place in an organized or on a frequent 33
basis. 34
(44)[(46)](47) "Primary nursery area" or "PNA" means tidal saltwaters that provide essential habitat for 35
the early development of commercially important fish and shellfish and are so designated by the 36
Marine Fisheries Commission. 37
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6
(45)[(47)](48) "Protected area" means the area adjoining and upstream of the critical area in a WS-IV 1
water supply in which protection measures are required. The boundary of a protected area is 2
defined as: 3
(a) extending either five miles in an as-the-river-runs manner upstream from and draining to 4
the normal pool elevation of the reservoir in which the intake is located or to the ridge 5
line of the watershed, whichever is nearest the normal pool elevation of the reservoir; 6
(b) extending either 10 miles in an as-the-river-runs manner upstream from and draining to 7
the intake located directly in the stream or river run-of-the-river or to the ridge line of the 8
watershed, whichever is nearest the intake. In some cases the protected area shall 9
encompass the entire watershed; or 10
(c) extending a different distance from the reservoir or intake as adopted by the Commission 11
during the reclassification process pursuant to Rule .0104 of this Subchapter. 12
(46)[(48)](49) "Residential development" means buildings for residence such as attached and detached 13
single family dwellings, apartment complexes, condominiums, townhouses, cottages, and their 14
associated outbuildings such as garages, storage buildings, and gazebos. 15
(47)[(49)](50) "Residuals" has the same meaning as in 15A NCAC 02T .0103. 16
(48)[(50)](51) "Riparian area" means an area that is adjacent to a body of water. 17
(49)[(51)](52) "Secondary contact recreation" means wading, boating, other uses not involving human 18
body contact with water, and activities involving human body contact with water where such 19
activities take place on an infrequent, unorganized, or incidental basis. 20
(50)[(52)](53) "Sensitive species for aquatic toxicity testing" means any species utilized in procedures 21
accepted by the Commission or its designee in accordance with Rule .0103 of this Subchapter, and 22
the following genera: 23
(a) Daphnia; 24
(b) Ceriodaphnia; 25
(c) Salmo; 26
(d) Pimephales; 27
(e) Mysidopsis; 28
(f) Champia; 29
(g) Cyprinodon; 30
(h) Arbacia; 31
(i) Penaeus; 32
(j) Menidia; 33
(k) Notropis; 34
(l) Salvelinus; 35
(m) Oncorhynchus; 36
(n) Selenastrum; 37
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(o) Chironomus; 1
(p) Hyalella; 2
(q) Lumbriculus. 3
(51)[(53)](54) "Shellfish culture" means the use of waters for the propagation, storage, and gathering of 4
oysters, clams, and other shellfish for market purposes. 5
(52)[(54)](55) "Swamp waters" means those waters that are classified as such by the Environmental 6
Management Commission, pursuant to Rule .0101 of this Subchapter, and that have natural 7
characteristics due to topography, such as low velocity, dissolved oxygen, or pH, that are different 8
from streams draining steeper topography. 9
(53)[(55)](56) "Tidal salt waters" means all waters that have a natural chloride ion content in excess of 10
500 parts per million. 11
(54)[(56)](57) "Toxic substance" or "Toxicant" means any substance or combination of substances 12
(including disease-causing agents) that, after discharge and upon exposure, ingestion, inhalation, 13
or assimilation into any organism, either directly from the environment or indirectly by ingestion 14
through food chains, has the potential to cause death, disease, behavioral abnormalities, cancer, 15
genetic mutations, physiological malfunctions (including malfunctions or suppression in 16
reproduction or growth), or physical deformities in such organisms or their offspring. 17
(55)[(57)](58) "Trout waters" means those waters that are classified as such by the Environmental 18
Management Commission, pursuant to Rule .0101 of this Subchapter, and have conditions that 19
sustain and allow for natural trout propagation and survival and for year-round maintenance of 20
stocked trout. 21
(56)[(58)](59) "Water dependent structures" means those structures that require access or proximity to 22
or siting within surface waters to fulfill its purpose, such as boat ramps, boat houses, docks, and 23
bulkheads. Ancillary facilities such as restaurants, outlets for boat supplies, parking lots, and 24
commercial boat storage areas are not water dependent structures. 25
(57)[(59)](60) "Water quality based effluent limits (or limitations) and management practices" mean 26
limits and practices developed by the Division to protect water quality standards and best uses of 27
surface waters, consistent with the requirements of G.S. 143-214.1 and the federal Water Pollution 28
Control Act, as amended. 29
(58)[(60)](61) "Waters with quality higher than the standards" means waters that the Director 30
determines (pursuant to Rule .0206 of this Section) have the capacity to receive additional 31
pollutant loading and continue to meet applicable water quality standards. 32
(59)[(61)](62) "Watershed" means a natural area of drainage, including all tributaries contributing to the 33
supply of at least one major waterway within the State, the specific limits of each separate 34
watershed to be designated by the Commission as defined by G.S. 143-213(21). 35
(60)[(62)](63) "WER" or "Water effect ratio" expresses the difference between the measures of the 36
toxicity of a substance in laboratory waters and the toxicity in site water. 37
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8
(61)[(63)](64) "Wetlands" are "waters" as defined by G.S. 143-212(6) that are inundated or saturated by 1
an accumulation of surface or ground water at a frequency and duration sufficient to support, and 2
that under normal circumstances do support, a prevalence of vegetation typically adapted for life 3
in saturated soil conditions. Wetlands do not include prior converted cropland as defined in the 4
National Food Security Act Manual, Fifth Edition, which is hereby incorporated by reference, not 5
including subsequent amendments and editions, and is available free of charge at 6
https://directives.sc.egov.usda.gov/RollupViewer.aspx?hid=29340. 7
8
History Note: Authority G.S. 143-213; 143-214.1; 143-215.3(a)(1); 9
Eff. February 1, 1976; 10
Amended Eff. August 1, 1995; February 1, 1993; August 3, 1992; August 1, 1990; 11
RRC Objection Eff. July 18, 1996 due to lack of authority and ambiguity; 12
Amended Eff. August 1, 1998; October 1, 1996; 13
Readopted Eff. November 1, 2019. November 1, 2019; 14
Amended Eff. May 1, 2022. 15
16
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1
15A NCAC 02B .0208 is amended as published in 35:22 NCR 2407-2433 as follows: 1
2
15A NCAC 02B .0208 STANDARDS FOR TOXIC SUBSTANCES AND TEMPERATURE 3
(a) Toxic Substances: the concentration of toxic substances, either alone or in combination with other wastes, in 4
surface waters shall not render waters injurious to aquatic life or wildlife, recreational activities, or public health, nor 5
shall it impair the waters for any designated uses. Specific standards for toxic substances to protect freshwater and 6
tidal saltwater uses are listed in Rules .0211 and .0220 of this Section, respectively. The narrative standard for toxic 7
substances and numerical standards applicable to all waters shall be interpreted as follows: 8
(1) The concentration of toxic substances shall not result in chronic toxicity to aquatic life. Any levels 9
in excess of the chronic value for aquatic life shall be considered to result in chronic toxicity. In 10
the absence of direct measurements of chronic toxicity, the concentration of toxic substances shall 11
not exceed the concentration specified by the fraction of the lowest LC50 value that predicts a no 12
effect chronic level as determined by the use of an acceptable Acute to Chronic Ratio (ACR) in 13
accordance with U.S. Environmental Protection Agency (EPA) "Guidelines for Deriving 14
Numerical Water Quality Criteria for the Protection of Aquatic Life and its Uses." In the absence 15
of an ACR, that toxic substance shall not exceed one-one hundredth (0.01) of the lowest LC50 or, 16
if it is demonstrated that a toxic substance has a half-life of less than 96 hours, the maximum 17
concentration shall not exceed one-twentieth (0.05) of the lowest LC50. 18
(2) The concentration of toxic substances shall not exceed the level necessary to protect human health 19
through exposure routes of fish tissue consumption, water consumption, recreation, or other route 20
identified for the water body. Fish tissue consumption shall include the consumption of shellfish. 21
These concentrations of toxic substances shall be determined as follows: 22
(A) For non-carcinogens, these concentrations shall be determined using a Reference Dose 23
(RfD) as published by the EPA pursuant to Section 304(a) of the Federal Water Pollution 24
Control Act as amended, a RfD issued by the EPA as listed in the Integrated Risk 25
Information System (IRIS) file, or a RfD approved by the Director after consultation with 26
the State Health director. Water quality standards or criteria used to calculate water 27
quality based effluent limitations to protect human health through the different exposure 28
routes shall be determined as follows: 29
(i) Fish tissue consumption: 30
WQS = (RfD x RSC) x Body Weight / (FCR x BCF) 31
where: 32
WQS = water quality standard or criteria; 33
RfD = reference dose; 34
RSC = Relative Source Contribution; 35
FCR = fish consumption rate (based upon 17.5 gm/person-day); 36
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2
BCF = bioconcentration factor or bioaccumulation factor (BAF), as 1
appropriate. 2
Pursuant to Section 304(a) of the Federal Water Pollution Control Act as amended, BCF 3
or BAF values, literature values, or site specific bioconcentration data shall be based on 4
EPA publications; FCR values shall be average consumption rates for a 70 Kg adult for 5
the lifetime of the population; alternative FCR values may be used when it is considered 6
necessary to protect localized populations that may be consuming fish at a higher rate; 7
RSC values, when made available through EPA publications pursuant to Section 304(a) 8
of the Federal Clean Water Pollution Control Act to account for non-water sources of 9
exposure may be either a percentage (multiplied) or amount subtracted, depending on 10
whether multiple criteria are relevant to the chemical; 11
(ii) Water consumption (including a correction for fish consumption): 12
WQS = (RfD x RSC) x Body Weight / [WCR + (FCR x BCF)] 13
where: 14
WQS = water quality standard or criteria; 15
RfD = reference dose; 16
RSC = Relative Source Contribution; 17
FCR = fish consumption rate (based upon 17.5 gm/person-day); 18
BCF = bioconcentration factor or bioaccumulation factor (BAF), as 19
appropriate; 20
WCR = water consumption rate (assumed to be two liters per day for 21
adults). 22
To protect sensitive groups, exposure shall be based on a 10 Kg child drinking one liter 23
of water per day. Standards may also be based on drinking water standards based on the 24
requirements of the Federal Safe Drinking Water Act, 42 U.S.C. 300(f)(g)-1. For 25
non-carcinogens, specific numerical water quality standards have not been included in 26
this Rule because water quality standards to protect aquatic life for all toxic substances 27
for which standards have been considered are more stringent than numerical standards to 28
protect human health from non-carcinogens through consumption of fish. Standards to 29
protect human health from non-carcinogens through water consumption are listed under 30
the water supply classification standards in Rule .0211 of this Section. The equations 31
listed in this Subparagraph shall be used to develop water quality based effluent 32
limitations on a case-by-case basis for toxic substances that are not presently included in 33
the water quality standards. Alternative FCR values may be used when it is necessary to 34
protect localized populations that may be consuming fish at a higher rate; 35
(B) For carcinogens, the concentrations of toxic substances shall not result in unacceptable 36
health risks and shall be based on a Carcinogenic Potency Factor (CPF). An unacceptable 37
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3
health risk for cancer shall be more than one case of cancer per one million people 1
exposed (10-6 risk level). The CPF is a measure of the cancer-causing potency of a 2
substance estimated by the upper 95 percent confidence limit of the slope of a straight 3
line calculated by the Linearized Multistage Model or other appropriate model according 4
to U.S. Environmental Protection Agency Guidelines, FR 51 (185): 33992-34003; and FR 5
45 (231 Part V): 79318-79379. Water quality standards or criteria for water quality based 6
effluent limitations shall be calculated using the procedures given in this Part and in Part 7
(A) of this Subparagraph. Standards to protect human health from carcinogens through 8
water consumption are listed under the water supply classification standards in Rules 9
.0212, .0214, .0215, .0216, and .0218 of this Section. Standards to protect human health 10
from carcinogens through the consumption of fish (and shellfish) only shall be applicable 11
to all waters as follows: 12
(i) Aldrin: 0.05 ng/l; 13
(ii) Arsenic: 10 ug/l; 14
(iii) Benzene: 51 ug/l; 15
(iv) Carbon tetrachloride: 1.6 ug/l; 16
(v) Chlordane: 0.8 ng/l; 17
(vi) DDT: 0.2 ng/l; 18
(vii) Dieldrin: 0.05 ng/l; 19
(viii) Dioxin: 0.000005 ng/l; 20
(ix) Heptachlor: 0.08 ng/l; 21
(x) Hexachlorobutadiene: 18 ug/l; 22
(xi) Polychlorinated biphenyls (total of all identified PCBs and congeners): 0.064 23
ng/l; 24
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 31.1 ng/l; 25
(xiii) Tetrachloroethane (1,1,2,2): 4 ug/l; 26
(xiv) Tetrachloroethylene: 3.3 ug/L; ug/l; 27
(xvi) Trichloroethylene: 30 ug/l; 28
(xvii) Vinyl chloride: 2.4 ug/l. ug/l; 29
(xviii) 1,4-Dioxane: 80 ug/l. 30
The values listed in Subparts (i) through (xvii) (xviii) of this Part may be adjusted by the 31
Commission or its designee on a case-by-case basis to account for site-specific or 32
chemical-specific information pertaining to the assumed BCF, FCR, or CPF values or 33
other data. 34
(b) Temperature: the Commission may establish a water quality standard for temperature for specific water bodies 35
other than the standards specified in Rules .0211 and .0220 of this Section upon a case-by-case determination that 36
thermal discharges to these waters that serve or may serve as a source or receptor of industrial cooling water provide 37
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4
for the maintenance of the designated best use throughout a portion of the water body. Such revisions of the 1
temperature standard shall be consistent with the provisions of Section 316(a) of the Federal Water Pollution 2
Control Act, as amended. A list of such revisions shall be maintained and made available to the public by the 3
Division. 4
5
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 6
Eff. February 1, 1976; 7
Amended Eff. May 1, 2007; April 1, 2003; February 1, 1993; October 1, 1989; January 1, 1985; 8
September 9, 1979; 9
Readopted Eff. November 1, 2019. November 1, 2019; 10
Amended Eff. May 1, 2022. 11
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1
15A NCAC 02B .0211 is amended as published in 35:22 NCR 2407-2433 with changes as follows: 1
2
15A NCAC 02B .0211 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS C WATERS 3
In addition to the standards set forth in Rule .0208 of this Section, the following water quality standards shall apply 4
to all Class C waters. Additional standards applicable to other freshwater classifications are specified in Rules .0212, 5
.0214, .0215, .0216, .0218, .0219, .0223, .0224, .0225, and .0231 of this Section. 6
(1) The best usage of waters shall be aquatic life propagation, survival, and maintenance of biological 7
integrity (including fishing and fish); wildlife; secondary contact recreation as defined in Rule 8
.0202 of this Section; agriculture; and any other usage except for primary contact recreation or as a 9
source of water supply for drinking, culinary, and food processing purposes. All freshwaters shall 10
be classified to protect these uses at a minimum. 11
(2) The conditions of waters shall be such that waters are suitable for all best uses specified in this 12
Rule. Sources of water pollution that preclude any of these uses on either a short-term or 13
long-term basis shall be deemed to violate a water quality standard; 14
(3) Chlorine, total residual: 17 ug/l; 15
(4) Chlorophyll a (corrected): not greater than 40 ug/l for lakes, reservoirs, and other waters subject to 16
growths of macroscopic or microscopic vegetation not designated as trout waters, and not greater 17
than 15 ug/l for lakes, reservoirs, and other waters subject to growths of macroscopic or 18
microscopic vegetation designated as trout waters (not applicable to lakes or reservoirs less than 19
10 acres in surface area). The Commission or its designee may prohibit or limit any discharge of 20
waste into surface waters if the surface waters experience or the discharge would result in growths 21
of microscopic or macroscopic vegetation such that the standards established pursuant to this Rule 22
would be violated or the intended best usage of the waters would be impaired; 23
(5) Cyanide, [free or] available or total: 5.0 ug/l; 24
(6) Dissolved oxygen: not less than 6.0 mg/l for trout waters; for non-trout waters, not less than a 25
daily average of 5.0 mg/l with an instantaneous value of not less than 4.0 mg/l; swamp waters, 26
lake coves, or backwaters, and lake bottom waters may have lower values if caused by natural 27
conditions; 28
(7) Fecal coliform: shall not exceed a geometric mean of 200/100ml (MF count) based upon at least 29
five samples taken over a 30-day period, nor exceed 400/100ml in more than 20 percent of the 30
samples examined during such period. Violations of this Item are expected during rainfall events 31
and may be caused by uncontrollable nonpoint source pollution. All coliform concentrations shall 32
be analyzed using the membrane filter technique. If high turbidity or other conditions would cause 33
the membrane filter technique to produce inaccurate data, the most probable number (MPN) 5-34
tube multiple dilution method shall be used. 35
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2
(8) Floating solids, settleable solids, or sludge deposits: only such amounts attributable to sewage, 1
industrial wastes, or other wastes as shall not make the water unsafe or unsuitable for aquatic life 2
and wildlife or impair the waters for any designated uses; 3
(9) Fluoride: 1.8 mg/l; 4
(10) Gases, total dissolved: not greater than 110 percent of saturation; 5
(11) Metals: 6
(a) With the exception of mercury and selenium, mercury, acute and chronic freshwater 7
aquatic life standards for metals shall be based upon measurement of the dissolved 8
fraction of the metal. Mercury and selenium water quality standards shall be based upon 9
measurement of the total recoverable metal; 10
(b) With the exception of mercury and selenium, mercury, aquatic life standards for metals 11
listed in this Sub-Item shall apply as a function of the pollutant's water effect ratio 12
(WER). The WER shall be assigned a value equal to one unless any person demonstrates 13
to the Division's satisfaction in a permit proceeding that another value is developed in 14
accordance with the "Water Quality Standards Handbook: Second Edition" published by 15
the US Environmental Protection Agency (EPA-823-B-12-002), which is hereby 16
incorporated by reference, including subsequent amendments and editions, and can be 17
obtained free of charge at http://water.epa.gov/scitech/swguidance/standards/handbook/. 18
Alternative site-specific standards may also be developed when any person submits 19
values that demonstrate to the Commission that they were derived in accordance with the 20
"Water Quality Standards Handbook: Second Edition, Recalculation Procedure or the 21
Resident Species Procedure", which is hereby incorporated by reference including 22
subsequent amendments and can be obtained free of charge at 23
http://water.epa.gov/scitech/swguidance/standards/handbook/. 24
(c) Freshwater metals standards that are not hardness-dependent shall be as follows: 25
(i) Arsenic, dissolved, acute: WER∙ 340 ug/l; 26
(ii) Arsenic, dissolved, chronic: WER∙ 150 ug/l; 27
(iii) Beryllium, dissolved, acute: WER∙ 65 ug/l; 28
(iv) Beryllium, dissolved, chronic: WER∙ 6.5 ug/l; 29
(v) Chromium VI, dissolved, acute: WER∙ 16 ug/l; 30
(vi) Chromium VI, dissolved, chronic: WER∙ 11 ug/l; 31
(vii) Mercury, total recoverable, chronic: 0.012 ug/l; 32
(viii) Selenium, total recoverable, chronic: 5 ug/l; 33
(ix)(viii) Silver, dissolved, chronic: WER∙ 0.06 ug/l; 34
(d) Selenium, chronic: The standard for chronic selenium has the following components: fish 35
egg/ovary tissue, fish whole body or muscle tissue, and water column (lentic and lotic). 36
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3
These components shall be used in the following order of preference provided data is 1
available: 2
(i) Fish egg/ovary tissue; 3
(ii) Fish whole body or muscle tissue; 4
(iii) Water column. 5
Fish tissue concentrations are determined as dry weight and water column concentrations 6
are based on the dissolved fraction of selenium. Fish tissue components are expressed as 7
steady-state concentrations and provide instantaneous point measurements that reflect 8
integrative accumulation of selenium over time and space in fish populations at a given 9
site. Fish tissue components [supersedes] supersede the water column [element] 10
component when both fish tissue and water concentrations are measured. Egg-ovary 11
tissue results, where available, supersede all other tissue [elements] and water column 12
[concentrations] components. The chronic selenium standards are as follows: 13
Component Magnitude Duration
Fish tissue
Fish
egg/ovary
tissue
15.1 mg/kg Instantaneous
Fish whole
body or
muscle
tissue
8.5 mg/kg
whole body
Instantaneous
11.3 mg/kg
muscle
Instantaneous
Water
column
Lentic or
Lotic
1.5 ug/l lentic 30-day average
3.1 ug/l lotic 30-day average
14
(d)(e) Hardness-dependent freshwater metals standards shall be derived using the equations 15
specified in Table A: Dissolved Freshwater Standards for Hardness-Dependent Metals. If 16
the actual instream hardness (expressed as CaCO3 or Ca+Mg) is less than 400 mg/l, 17
standards shall be calculated based upon the actual instream hardness. If the instream 18
hardness is greater than 400 mg/l, the maximum applicable hardness shall be 400 mg/l. 19
Table A: Dissolved Freshwater Standards for Hardness-Dependent Metals 20
Numeric standards calculated at 25 mg/l hardness are listed below for illustrative 21
purposes. The Water Effects Ratio (WER) is equal to one unless determined otherwise 22
under Sub-Item (11)(b) of this Rule. 23
24
Metal Equations for Hardness-Dependent Freshwater Metals (ug/l) Standard
at 25 mg/l
hardness
A-229
4
(ug/l)
Cadmium,
Acute
WER∙ [{1.136672-[ln hardness](0.041838)} ∙ e^{0.9151 [ln
hardness]-3.1485}] [WER∙[{1.136672-[ln
hardness](0.041838) ∙ e^{0.9789[ln hardness]-3.345}]]
[WER∙[{1.136672-[ln hardness](0.041838)} ∙ e^{0.9789 [ln
hardness]-3.443}]
0.82
[0.83]
0.75
Cadmium,
Acute,
Trout
waters
WER∙ [{1.136672-[ln hardness](0.041838)} ∙ e^{0.9151[ln
hardness]-3.6236}] WER∙[{1.136672-[ln
hardness](0.041838)} ∙ e^{0.9789 [ln hardness]-3.866}]
0.51 0.49
Cadmium,
Chronic
WER∙ [{1.101672-[ln hardness](0.041838)} ∙ e^{0.7998[ln
hardness]-4.4451}] WER∙[{1.101672-[ln
hardness](0.041838)} ∙ e^{0.7977[ln hardness]-3.909}]
0.15 0.25
Chromium
III, Acute
WER∙ [0.316 ∙ e^{0.8190[ln hardness]+3.7256}] 180
Chromium
III, Chronic
WER∙ [0.860 ∙ e^{0.8190[ln hardness]+0.6848}]
24
Copper,
Acute
WER∙ [0.960 ∙ e^{0.9422[ln hardness]-1.700}]
Or,
Aquatic Life Ambient Freshwater Quality Criteria-Copper
2007 Revision
(EPA-822-R-07-001)
3.6
NA
Copper,
Chronic
WER∙ [0.960 ∙ e^{0.8545[ln hardness]-1.702}]
Or,
Aquatic Life Ambient Freshwater Quality Criteria-Copper
2007 Revision
(EPA-822-R-07-001)
2.7
NA
Lead,
Acute
WER∙ [{1.46203-[ln hardness](0.145712)} ∙ e^{1.273[ln
hardness]-1.460}]
14
Lead,
Chronic
WER∙ [{1.46203-[ln hardness](0.145712)} ∙ e^{1.273[ln
hardness]-4.705}]
0.54
Nickel,
Acute
WER∙ [0.998 ∙ e^{0.8460[ln hardness]+2.255}] 140
Nickel,
Chronic
WER∙ 0.997 ∙ e^{0.8460[ln hardness]+0.0584}] 16
Silver, WER∙ 0.85 ∙ e^{1.72[ln hardness]-6.59}] 0.30
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5
Acute
Zinc, Acute WER∙ [0.978 ∙ e^{0.8473[ln hardness]+0.884}] 36
Zinc,
Chronic
WER∙ 0.986 ∙ e^{0.8473[ln hardness]+0.884}] 36
1
(e)(f) Compliance with acute instream metals standards shall only be evaluated using an 2
average of two or more samples collected within one hour. Compliance with chronic 3
instream metals standards, except for selenium shall only be evaluated using an average 4
of a minimum of four samples taken on consecutive days or as a 96-hour average; 5
(12) Oils, deleterious substances, or colored or other wastes: only such amounts as shall not render the 6
waters injurious to public health, secondary recreation, or to aquatic life and wildlife, or adversely 7
affect the palatability of fish, aesthetic quality, or impair the waters for any designated uses. For 8
the purpose of implementing this Rule, oils, deleterious substances, or colored or other wastes 9
shall include substances that cause a film or sheen upon or discoloration of the surface of the water 10
or adjoining shorelines, as described in 40 CFR 110.3(a)-(b), incorporated by reference including 11
subsequent amendments and editions. This material is available, free of charge, at: 12
http://www.ecfr.gov/; 13
(13) Pesticides: 14
(a) Aldrin: 0.002 ug/l; 15
(b) Chlordane: 0.004 ug/l; 16
(c) DDT: 0.001 ug/l; 17
(d) Demeton: 0.1 ug/l; 18
(e) Dieldrin: 0.002 ug/l; 19
(f) Endosulfan: 0.05 ug/l; 20
(g) Endrin: 0.002 ug/l; 21
(h) Guthion: 0.01 ug/l; 22
(i) Heptachlor: 0.004 ug/l; 23
(j) Lindane: 0.01 ug/l; 24
(k) Methoxychlor: 0.03 ug/l; 25
(l) Mirex: 0.001 ug/l; 26
(m) Parathion: 0.013 ug/l; and 27
(n) Toxaphene: 0.0002 ug/l; 28
(14) pH: shall be between 6.0 and 9.0 except that swamp waters may have a pH as low as 4.3 if it is the 29
result of natural conditions; 30
(15) Phenolic compounds: only such levels as shall not result in fish-flesh tainting or impairment of 31
other best usage; 32
(16) Polychlorinated biphenyls (total of all PCBs and congeners identified): 0.001 ug/l; 33
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6
(17) Radioactive substances, based on at least one sample collected per quarter: 1
(a) Combined radium-226 and radium-228: the average annual activity level for combined 2
radium-226 and radium-228 shall not exceed five picoCuries per liter; 3
(b) Alpha Emitters: the average annual gross alpha particle activity (including radium-226, 4
but excluding radon and uranium) shall not exceed 15 picoCuries per liter; 5
(c) Beta Emitters: the average annual activity level for strontium-90 shall not exceed eight 6
picoCuries per liter, nor shall the average annual gross beta particle activity (excluding 7
potassium-40 and other naturally occurring radionuclides) exceed 50 picoCuries per liter, 8
nor shall the average annual activity level for tritium exceed 20,000 picoCuries per liter; 9
(18) Temperature: not to exceed 2.8 degrees C (5.04 degrees F) above the natural water temperature, 10
and in no case to exceed 29 degrees C (84.2 degrees F) for mountain and upper piedmont waters 11
and 32 degrees C (89.6 degrees F) for lower piedmont and coastal plain Waters; the temperature 12
for trout waters shall not be increased by more than 0.5 degrees C (0.9 degrees F) due to the 13
discharge of heated liquids, but in no case to exceed 20 degrees C (68 degrees F); 14
(19) Toluene: 0.36 ug/l in trout classified waters or 11 ug/l in all other waters; 15
(20) Trialkyltin compounds: 0.07 ug/l expressed as tributyltin; 16
(21) Turbidity: the turbidity in the receiving water shall not exceed 50 Nephelometric Turbidity Units 17
(NTU) in streams not designated as trout waters and 10 NTU in streams, lakes, or reservoirs 18
designated as trout waters; for lakes and reservoirs not designated as trout waters, the turbidity 19
shall not exceed 25 NTU; if turbidity exceeds these levels due to natural background conditions, 20
the existing turbidity level shall not be increased. Compliance with this turbidity standard shall be 21
deemed met when land management activities employ Best Management Practices (BMPs), as 22
defined by Rule .0202 of this Section, recommended by the Designated Nonpoint Source Agency, 23
as defined by Rule .0202 of this Section. 24
(22) Toxic Substance Level Applicable to NPDES Permits: Chloride: 230 mg/l. If chloride is 25
determined by the waste load allocation to be exceeded in a receiving water by a discharge under 26
the specified 7Q10 criterion for toxic substances, the discharger shall monitor the chemical or 27
biological effects of the discharge. Efforts shall be made by all dischargers to reduce or eliminate 28
chloride from their effluents. Chloride shall be limited as appropriate in the NPDES permit if 29
sufficient information exists to indicate that it may be a causative factor resulting in toxicity of the 30
effluent. 31
32
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 33
Eff. February 1, 1976; 34
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; August 1, 2000; October 1, 1995; 35
August 1, 1995; April 1, 1994; February 1, 1993; 36
Readopted Eff. November 1, 2019. November 1, 2019; 37
A-232
7
Amended Eff. May 1, 2022. 1
A-233
1
15A NCAC 02B .0212 is amended as published in 35:22 NCR 2407-2433 as follows: 1
2
15A NCAC 02B .0212 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-I 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as WS-I. 5
Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also apply to 6
Class WS-I waters. 7
(1) The best usage of waters classified as WS-I shall be as a source of water supply for drinking, 8
culinary, or food processing purposes for those users desiring maximum protection of their water 9
supplies in the form of the most stringent WS classification, and any best usage specified for Class 10
C waters. Class WS-I waters are waters located on land in public ownership and waters located in 11
undeveloped watersheds. 12
(2) The best usage of waters classified as WS-I shall be maintained as follows: 13
(a) Water quality standards in a WS-I watershed shall meet the requirements as specified in 14
Item (3) of this Rule. 15
(b) Wastewater and stormwater point source discharges in a WS-I watershed shall meet the 16
requirements as specified in Item (4) of this Rule. 17
(c) Nonpoint source pollution in a WS-I watershed shall meet the requirements as specified in 18
Item (5) of this Rule. 19
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall 20
meet the Maximum Contaminant Level concentrations considered safe for drinking, 21
culinary, and food-processing purposes that are specified in 40 CFR Part 141 National 22
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public 23
Water Supplies, 15A NCAC 18C .1500, incorporated by reference including subsequent 24
amendments and editions. 25
(e) Sources of water pollution that preclude any of the best uses on either a short-term or 26
long-term basis shall be deemed to violate a water quality standard. 27
(f) The Class WS-I classification may be used to protect portions of Class WS-II, WS-III, and 28
WS-IV water supplies. For reclassifications occurring after the July 1, 1992 statewide 29
reclassification, a WS-I classification that is requested by local governments shall be 30
considered by the Commission if all local governments having jurisdiction in the affected 31
areas have adopted a resolution and the appropriate ordinances as required by G.S. 143-32
214.5(d) to protect the watershed or if the Commission acts to protect a watershed when 33
one or more local governments has failed to adopt protective measures as required by this 34
Sub-Item. 35
(3) Water quality standards applicable to Class WS-I Waters shall be as follows: 36
A-234
2
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the 1
aesthetic qualities of water supplies and to prevent foaming; 2
(b) Total coliforms shall not exceed 50/100 ml (MF count) as a monthly geometric mean value 3
in watersheds serving as unfiltered water supplies; 4
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from 5
taste and odor problems from chlorinated phenols; 6
(d) Solids, total dissolved: not greater than exceed 500 mg/l; 7
(e) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); 8
(f) Toxic and other deleterious substances that are non-carcinogens: 9
(i) Barium: 1.0 mg/l; 10
(ii) Chloride: 250 mg/l; 11
(iii) Nickel: 25 ug/l; 12
(iv) Nitrate nitrogen: 10.0 mg/l; 13
(v) 2,4-D: 70 ug/l; 14
(vi) 2,4,5-TP (Silvex): 10 ug/l; and 15
(vii) Sulfates: 250 mg/l; 16
(g) Toxic and other deleterious substances that are carcinogens: 17
(i) Aldrin: 0.05 ng/1; 18
(ii) Arsenic: 10 ug/l; 19
(iii) Benzene: 1.19 ug/1; 20
(iv) Carbon tetrachloride: 0.254 ug/l; 21
(v) Chlordane: 0.8 ng/1; 22
(vi) Chlorinated benzenes: 488 ug/l; 23
(vii) DDT: 0.2 ng/1; 24
(viii) Dieldrin: 0.05 ng/1; 25
(ix) Dioxin: 0.000005 ng/l; 26
(x) Heptachlor: 0.08 ng/1; 27
(xi) Hexachlorobutadiene: 0.44 ug/l; 28
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; 29
(xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; 30
(xiv) Tetrachloroethylene: 0.7 ug/l; 31
(xv) Trichloroethylene: 2.5 ug/l; and 32
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and 33
(xvii) 1,4-Dioxane: 0.35 ug/l. 34
(4) Wastewater and stormwater point source discharges in a WS-I watershed shall be permitted pursuant 35
to 15A NCAC 02B .0104. 36
A-235
3
(5) Nonpoint source pollution in a WS-I watershed shall not have an adverse impact, as defined in 15A 1
NCAC 02H .1002, on use as a water supply or any other designated use. 2
3
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 4
Eff. February 1, 1976; 5
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; October 1, 1995; February 1, 1993; 6
March 1, 1991; October 1, 1989; 7
Readopted Eff. November 1, 2019. November 1, 2019; 8
Amended Eff. May 1, 2022. 9
10
A-236
1
15A NCAC 02B .0214 is amended as published in 35:22 NCR 2407-2433 as follows: 1
2
15A NCAC 02B .0214 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-II 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as 5
WS-II. Water quality standards applicable to Class C waters as described in Rule .0211of this Section shall also apply 6
to Class WS-II waters. 7
(1) The best usage of waters classified as WS-II shall be as a source of water supply for drinking, 8
culinary, or food-processing purposes for those users desiring maximum protection for their water 9
supplies where a WS-I classification is not feasible as determined by the Commission in accordance 10
with Rule .0212 of this Section and any best usage specified for Class C waters. 11
(2) The best usage of waters classified as WS-II shall be maintained as follows: 12
(a) Water quality standards in a WS-II watershed shall meet the requirements as specified in 13
Item (3) of this Rule. 14
(b) Wastewater and stormwater point source discharges in a WS-II watershed shall meet the 15
requirements as specified in Item (4) of this Rule. 16
(c) Nonpoint source pollution in a WS-II watershed shall meet the requirements as specified 17
in Item (5) of this Rule. 18
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall 19
meet the Maximum Contaminant Level concentrations considered safe for drinking, 20
culinary, and food-processing purposes that are specified in 40 CFR Part 141 National 21
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public 22
Water Supplies, 15A NCAC 18C .1500. 23
(e) Sources of water pollution that preclude any of the best uses on either a short-term or 24
long-term basis shall be deemed to violate a water quality standard. 25
(f) The Class WS-II classification may be used to protect portions of Class WS-III and WS-IV 26
water supplies. For reclassifications of these portions of Class WS-III and WS-IV water 27
supplies occurring after the July 1, 1992 statewide reclassification, a WS-II classification 28
that is requested by local governments shall be considered by the Commission if all local 29
governments having jurisdiction in the affected areas have adopted a resolution and the 30
appropriate ordinances as required by G.S. 143-214.5(d) to protect the watershed or if the 31
Commission acts to protect a watershed when one or more local governments has failed to 32
adopt protective measures as required by this Sub-Item. 33
(3) Water quality standards applicable to Class WS-II Waters shall be as follows: 34
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the 35
aesthetic qualities of water supplies and to prevent foaming; 36
A-237
2
(b) Odor producing substances contained in sewage or other wastes: only such amounts, 1
whether alone or in combination with other substances or wastes, as shall not cause 2
organoleptic effects in water supplies that cannot be corrected by treatment, impair the 3
palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H .1002, on any 4
best usage established for waters of this class; 5
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from 6
taste and odor problems from chlorinated phenols; 7
(d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); 8
(e) Solids, total dissolved: not greater than 500 mg/l; 9
(f) Toxic and other deleterious substances that are non-carcinogens: 10
(i) Barium: 1.0 mg/l; 11
(ii) Chloride: 250 mg/l; 12
(iii) Nickel: 25 ug/l; 13
(iv) Nitrate nitrogen: 10.0 mg/l; 14
(v) 2,4-D: 70 ug/l; 15
(vi) 2,4,5-TP (Silvex): 10 ug/l; and 16
(vii) Sulfates: 250 mg/l; 17
(g) Toxic and other deleterious substances that are carcinogens: 18
(i) Aldrin: 0.05 ng/1; 19
(ii) Arsenic: 10 ug/l; 20
(iii) Benzene: 1.19 ug/1; 21
(iv) Carbon tetrachloride: 0.254 ug/l; 22
(v) Chlordane: 0.8 ng/1; 23
(vi) Chlorinated benzenes: 488 ug/l; 24
(vii) DDT: 0.2 ng/1; 25
(viii) Dieldrin: 0.05 ng/1; 26
(ix) Dioxin: 0.000005 ng/l; 27
(x) Heptachlor: 0.08 ng/1; 28
(xi) Hexachlorobutadiene: 0.44 ug/l; 29
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; 30
(xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; 31
(xiv) Tetrachloroethylene: 0.7 ug/l; 32
(xv) Trichloroethylene: 2.5 ug/l; and 33
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and 34
(xvii) 1,4-Dioxane: 0.35 ug/l. 35
(4) Wastewater and stormwater point source discharges in a WS-II watershed shall meet the following 36
requirements: 37
A-238
3
(a) Discharges that qualify for a General NPDES Permit pursuant to 15A NCAC 02H .0127 1
shall be allowed in the entire watershed. 2
(b) Discharges from trout farms that are subject to Individual NPDES Permits shall be allowed 3
in the entire watershed. 4
(c) Stormwater discharges that qualify for an Individual NPDES Permit pursuant to 15A 5
NCAC 02H .0126 shall be allowed in the entire watershed. 6
(d) No discharge of sewage, industrial, or other wastes shall be allowed in the entire watershed 7
except for those allowed by Sub-Items (a) through (c) of this Item or Rule .0104 of this 8
Subchapter, and none shall be allowed that have an adverse effect on human health or that 9
are not treated in accordance with the permit or other requirements established by the 10
Division pursuant to G.S. 143-215.1. Upon request by the Commission, a discharger shall 11
disclose all chemical constituents present or potentially present in their wastes and 12
chemicals that could be spilled or be present in runoff from their facility that may have an 13
adverse impact on downstream water quality. These facilities may be required to have spill 14
and treatment failure control plans as well as perform special monitoring for toxic 15
substances. 16
(e) New domestic and industrial discharges of treated wastewater that are subject to Individual 17
NPDES Permits shall not be allowed in the entire watershed. 18
(f) No new landfills shall be allowed in the Critical Area, and no NPDES permits shall be 19
issued for landfills that discharge treated leachate in the remainder of the watershed. 20
(g) No new permitted sites for land application of residuals or petroleum contaminated soils 21
shall be allowed in the Critical Area. 22
(5) Nonpoint source pollution in a WS-II watershed shall meet the following requirements: 23
(a) Nonpoint source pollution shall not have an adverse impact on waters for use as a water 24
supply or any other designated use. 25
(b) Class WS-II waters shall be protected as water supplies that are located in watersheds that 26
meet average watershed development density levels specified for Class WS-II waters in 27
Rule .0624 of this Subchapter. 28
29
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 30
Eff. May 10, 1979; 31
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; January 1, 1996; October 1, 1995; 32
Readopted Eff. November 1, 2019. November 1, 2019; 33
Amended Eff. May 1, 2022. 34
35
A-239
1 of 3
15A NCAC 02B .0215 is amended as published in 35:22 NCR 2407-2433 as follows: 1
2
15A NCAC 02B .0215 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-III 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as 5
WS-III. Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also 6
apply to Class WS-III waters. 7
(1)The best usage of waters classified as WS-III shall be as a source of water supply for drinking,8
culinary, or food-processing purposes for those users where a more protective WS-I or WS-II9
classification is not feasible as determined by the Commission in accordance with Rules .0212 and10
.0214 of this Section and any other best usage specified for Class C waters.11
(2)The best usage of waters classified as WS-III shall be maintained as follows:12
(a)Water quality standards in a WS-III watershed shall meet the requirements as specified in13
Item (3) of this Rule.14
(b)Wastewater and stormwater point source discharges in a WS-III watershed shall meet the15
requirements as specified in Item (4) of this Rule.16
(c)Nonpoint source pollution in a WS-III watershed shall meet the requirements as specified17
in Item (5) of this Rule.18
(d)Following approved treatment, as defined in Rule .0202 of this Section, the waters shall19
meet the Maximum Contaminant Level concentrations considered safe for drinking,20
culinary, or food-processing purposes that are specified in 40 CFR Part 141 National21
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public22
Water Supplies, 15A NCAC 18C .1500.23
(e)Sources of water pollution that preclude any of the best uses on either a short-term or24
long-term basis shall be deemed to violate a water quality standard.25
(f)The Class WS-III classification may be used to protect portions of Class WS-IV water26
supplies. For reclassifications of these portions of WS-IV water supplies occurring after27
the July 1, 1992 statewide reclassification, a WS-II classification more protective28
classification, such as WS-III, that is requested by local governments shall be considered29
by the Commission if all local governments having jurisdiction in the affected areas have30
adopted a resolution and the appropriate ordinances as required by G.S. 143-214.5(d) to31
protect the watershed or if the Commission acts to protect a watershed when one or more32
local governments has failed to adopt protective measures as required by this Sub-Item.33
(3)Water quality standards applicable to Class WS-III Waters shall be as follows:34
(a)MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the35
aesthetic qualities of water supplies and to prevent foaming;36
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(b)Odor producing substances contained in sewage, industrial wastes, or other wastes: only1
such amounts, whether alone or in combination with other substances or wastes, as shall2
not cause organoleptic effects in water supplies that cannot be corrected by treatment,3
impair the palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H4
.1002, on any best usage established for waters of this class;5
(c)Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from6
taste and odor problems from chlorinated phenols;7
(d)Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg);8
(e)Solids, total dissolved: not greater than 500 mg/l;9
(f)Toxic and other deleterious substances that are non-carcinogens:10
(i)Barium: 1.0 mg/l;11
(ii)Chloride: 250 mg/l;12
(iii)Nickel: 25 ug/l;13
(iv)Nitrate nitrogen: 10.0 mg/l;14
(v)2,4-D: 70 ug/l;15
(vi)2,4,5-TP (Silvex): 10 ug/l; and16
(vii)Sulfates: 250 mg/l;17
(g)Toxic and other deleterious substances that are carcinogens:18
(i)Aldrin: 0.05 ng/1;19
(ii)Arsenic: 10 ug/l;20
(iii)Benzene: 1.19 ug/1;21
(iv)Carbon tetrachloride: 0.254 ug/l;22
(v)Chlordane: 0.8 ng/1;23
(vi)Chlorinated benzenes: 488 ug/l;24
(vii)DDT: 0.2 ng/1;25
(viii)Dieldrin: 0.05 ng/1;26
(ix)Dioxin: 0.000005 ng/l;27
(x)Heptachlor: 0.08 ng/1;28
(xi)Hexachlorobutadiene: 0.44 ug/l;29
(xii)Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l;30
(xiii)Tetrachloroethane (1,1,2,2): 0.17 ug/l;31
(xiv)Tetrachloroethylene: 0.7 ug/l;32
(xv)Trichloroethylene: 2.5 ug/l; and33
(xvi)Vinyl Chloride: 0.025 ug/l. ug/l; and34
(xvii)1,4-Dioxane: 0.35 ug/l.35
(4)Wastewater and stormwater point source discharges in a WS-III watershed shall meet the following36
requirements:37
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(a) Discharges that qualify for a General NPDES Permit pursuant to 15A NCAC 02H .0127 1
shall be allowed in the entire watershed. 2
(b) Discharges from trout farms that are subject to Individual NPDES Permits shall be allowed 3
in the entire watershed. 4
(c) Stormwater discharges that qualify for an Individual NPDES Permit pursuant to 15A 5
NCAC 02H .0126 shall be allowed in the entire watershed. 6
(d) New domestic wastewater discharges that are subject to Individual NPDES Permits shall 7
not be allowed in the Critical Area and are allowed in the remainder of the watershed. 8
(e) New industrial wastewater discharges that are subject to Individual NPDES Permits except 9
non-process industrial discharges shall not be allowed in the entire watershed. 10
(f) No discharge of sewage, industrial, or other wastes shall be allowed in the entire watershed 11
except for those allowed by Sub-Items (a) through (e) of this Item or Rule .0104 of this 12
Subchapter, and none shall be allowed that have an adverse effect on human health or that 13
are not treated in accordance with the permit or other requirements established by the 14
Division pursuant to G.S. 143-215.1. Upon request by the Commission, a discharger shall 15
disclose all chemical constituents present or potentially present in their wastes and 16
chemicals that could be spilled or be present in runoff from their facility that may have an 17
adverse impact on downstream water quality. These facilities may be required to have spill 18
and treatment failure control plans as well as perform special monitoring for toxic 19
substances. 20
(g) No new landfills shall be allowed in the Critical Area, and no NPDES permits shall be 21
issued for landfills to discharge treated leachate in the remainder of the watershed. 22
(h) No new permitted sites for land application of residuals or petroleum contaminated soils 23
shall be allowed in the Critical Area. 24
(5) Nonpoint source pollution in a WS-III watershed shall meet the following requirements: 25
(a) Nonpoint source pollution shall not have an adverse impact on waters for use as a water 26
supply or any other designated use. 27
(b) Class WS-III waters shall be protected as water supplies that are located in watersheds that 28
meet average watershed development density levels specified Class WS-III waters in Rule 29
.0624 of this Subchapter. 30
31
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 32
Eff. September 9, 1979; 33
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; January 1, 1996; October 1, 1995; 34
October 1, 1989; 35
Readopted Eff. November 1, 2019. November 1, 2019; 36
Amended Eff. May 1, 2022. 37
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15A NCAC 02B .0216 is amended as published in 35:22 NCR 2407-2433 as follows: 1
2
15A NCAC 02B .0216 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-IV 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as WS-5
IV. Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also apply to 6
Class WS-IV waters. 7
(1) The best usage of waters classified as WS-IV shall be as a source of water supply for drinking, 8
culinary, or food-processing purposes for those users where a more protective WS-I, WS-II or WS-9
III classification is not feasible as determined by the Commission in accordance with Rules .0212 10
through .0215 of this Section and any other best usage specified for Class C waters. 11
(2) The best usage of waters classified as WS-IV shall be maintained as follows: 12
(a) Water quality standards in a WS-IV watershed shall meet the requirements as specified in 13
Item (3) of this Rule. 14
(b) Wastewater and stormwater point source discharges in a WS-IV watershed shall meet the 15
requirements as specified in Item (4) of this Rule. 16
(c) Nonpoint source pollution in a WS-IV watershed shall meet the requirements as specified 17
in Item (5) of this Rule. 18
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall 19
meet the Maximum Contaminant Level concentrations considered safe for drinking, 20
culinary, or food-processing purposes that are specified in 40 CFR Part 141 National 21
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public 22
Water Supplies, 15A NCAC 18C .1500. 23
(e) Sources of water pollution that preclude any of the best uses on either a short-term or 24
long-term basis shall be deemed to violate a water quality standard. 25
(f) The Class WS-II or WS-III classifications may be used to protect portions of Class WS-IV 26
water supplies. For reclassifications of these portions of WS-IV water supplies occurring 27
after the July 1, 1992 statewide reclassification, a WS-IV classification more protective 28
classification, such as a WS-II or WS-III, that is requested by local governments shall be 29
considered by the Commission if all local governments having jurisdiction in the affected 30
areas have adopted a resolution and the appropriate ordinances as required by G.S. 143-31
214.5(d) to protect the watershed or if the Commission acts to protect a watershed when 32
one or more local governments has failed to adopt protective measures as required by this 33
Sub-Item. 34
(3) Water quality standards applicable to Class WS-IV Waters shall be as follows: 35
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the 36
aesthetic qualities of water supplies and to prevent foaming; 37
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(b) Odor producing substances contained in sewage, industrial wastes, or other wastes: only 1
such amounts, whether alone or in combination with other substances or waste, as will not 2
cause organoleptic effects in water supplies that cannot be corrected by treatment, impair 3
the palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H .1002, on 4
any best usage established for waters of this class; 5
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from 6
taste and odor problems due to chlorinated phenols shall be allowed. Specific phenolic 7
compounds may be given a different limit if it is demonstrated not to cause taste and odor 8
problems and not to be detrimental to other best usage; 9
(d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); 10
(e) Solids, total dissolved: not greater than 500 mg/l; 11
(f) Toxic and other deleterious substances that are non-carcinogens: 12
(i) Barium: 1.0 mg/l; 13
(ii) Chloride: 250 mg/l; 14
(iii) Nickel: 25 ug/l; 15
(iv) Nitrate nitrogen: 10.0 mg/l; 16
(v) 2,4-D: 70 ug/l; 17
(vi) 2,4,5-TP (Silvex): 10 ug/l; and 18
(vii) Sulfates: 250 mg/l; 19
(g) Toxic and other deleterious substances that are carcinogens: 20
(i) Aldrin: 0.05 ng/1; 21
(ii) Arsenic: 10 ug/l; 22
(iii) Benzene: 1.19 ug/1; 23
(iv) Carbon tetrachloride: 0.254 ug/l; 24
(v) Chlordane: 0.8 ng/1; 25
(vi) Chlorinated benzenes: 488 ug/l; 26
(vii) DDT: 0.2 ng/1; 27
(viii) Dieldrin: 0.05 ng/1; 28
(ix) Dioxin: 0.000005 ng/l; 29
(x) Heptachlor: 0.08 ng/1; 30
(xi) Hexachlorobutadiene: 0.44 ug/l; 31
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; 32
(xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; 33
(xiv) Tetrachloroethylene: 0.7 ug/l; 34
(xv) Trichloroethylene: 2.5 ug/l; and 35
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and 36
(xvii) 1,4-Dioxane: 0.35 ug/l. 37
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(4) Wastewater and stormwater point source discharges in a WS-IV watershed shall meet the following 1
requirements: 2
(a) Discharges that qualify for a General NPDES Permit pursuant to 15A NCAC 02H .0127 3
shall be allowed in the entire watershed. 4
(b) Discharges from domestic facilities, industrial facilities and trout farms that are subject to 5
Individual NPDES Permits shall be allowed in the entire watershed. 6
(c) Stormwater discharges that qualify for an Individual NPDES Permit pursuant to 15A 7
NCAC 02H .0126 shall be allowed in the entire watershed. 8
(d) No discharge of sewage, industrial wastes, or other wastes shall be allowed in the entire 9
watershed except for those allowed by Sub-Items (a) through (c) of this Item or Rule .0104 10
of this Subchapter, and none shall be allowed that have an adverse effect on human health 11
or that are not treated in accordance with the permit or other requirements established by 12
the Division pursuant to G.S. 143-215.1. Upon request by the Commission, dischargers or 13
industrial users subject to pretreatment standards shall disclose all chemical constituents 14
present or potentially present in their wastes and chemicals that could be spilled or be 15
present in runoff from their facility which may have an adverse impact on downstream 16
water supplies. These facilities may be required to have spill and treatment failure control 17
plans as well as perform special monitoring for toxic substances. 18
(e) New industrial discharges of treated wastewater in the critical area shall meet the 19
provisions of Rule .0224(c)(2)(D), (E), and (G) of this Section and Rule .0203 of this 20
Section. 21
(f) New industrial connections and expansions to existing municipal discharges with a 22
pretreatment program pursuant to 15A NCAC 02H .0904 shall be allowed in the entire 23
watershed. 24
(g) No new landfills shall be allowed in the Critical Area. 25
(h) No new permitted sites for land application residuals or petroleum contaminated soils shall 26
be allowed in the Critical Area. 27
(5) Nonpoint source pollution in a WS-IV watershed shall meet the following requirements: 28
(a) Nonpoint source pollution shall not have an adverse impact on waters for use as a water 29
supply or any other designated use. 30
(b) Class WS-IV waters shall be protected as water supplies that are located in watersheds that 31
meet average watershed development density levels specified for Class WS-IV waters in 32
Rule .0624 of this Subchapter. 33
34
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 35
Eff. February 1, 1986; 36
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Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; June 1, 1996; October 1, 1995; August 1
1, 1995; June 1, 1994; 2
Readopted Eff. November 1, 2019. November 1, 2019; 3
Amended Eff. May 1, 2022. 4
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15A NCAC 02B .0218 is amended as published in 35:22 NCR 2407-2433 as follows: 1
2
15A NCAC 02B .0218 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS WS-V 3
WATERS 4
The following water quality standards shall apply to surface waters within water supply watersheds classified as 5
WS-V. Water quality standards applicable to Class C waters as described in Rule .0211 of this Section shall also apply 6
to Class WS-V waters. 7
(1) The best usage of waters classified as WS-V shall be as waters that are protected as water supplies 8
which are generally upstream and draining to Class WS-IV waters; waters previously used for 9
drinking water supply purposes; or waters used by industry to supply their employees, but not 10
municipalities or counties, with a raw drinking water supply source, although this type of use is not 11
restricted to WS-V classification; and all Class C uses. 12
(2) The best usage of waters classified as WS-V shall be maintained as follows: 13
(a) Water quality standards in a WS-V water shall meet the requirements as specified in Item 14
(3) of this Rule. 15
(b) Wastewater and stormwater point source discharges in a WS-V water shall meet the 16
requirements as specified in Item (4) of this Rule. 17
(c) Nonpoint source pollution in a WS-V water shall meet the requirements as specified in 18
Item (5) of this Rule. 19
(d) Following approved treatment, as defined in Rule .0202 of this Section, the waters shall 20
meet the Maximum Contaminant Level concentrations considered safe for drinking, 21
culinary, or food-processing purposes that are specified in 40 CFR Part 141 National 22
Primary Drinking Water Regulations and in the North Carolina Rules Governing Public 23
Water Supplies, 15A NCAC 18C .1500. 24
(e) The Commission or its designee may apply management requirements for the protection 25
of waters downstream of receiving waters provided in Rule .0203 of this Section. 26
(f) The Commission shall consider a more protective classification for the water supply if a 27
resolution requesting a more protective classification is submitted from all local 28
governments having land use jurisdiction within the affected watershed. 29
(g) Sources of water pollution that preclude any of the best uses on either a short-term or 30
long-term basis shall be deemed to violate a water quality standard; 31
(3) Water quality standards applicable to Class WS-V Waters shall be as follows: 32
(a) MBAS (Methylene-Blue Active Substances): not greater than 0.5 mg/l to protect the 33
aesthetic qualities of water supplies and to prevent foaming; 34
(b) Odor producing substances contained in sewage, industrial wastes, or other wastes: only 35
such amounts, whether alone or in combination with other substances or waste, as will not 36
cause organoleptic effects in water supplies that can not be corrected by treatment, impair 37
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the palatability of fish, or have an adverse impact, as defined in 15A NCAC 02H .1002, on 1
any best usage established for waters of this class; 2
(c) Chlorinated phenolic compounds: not greater than 1.0 ug/l to protect water supplies from 3
taste and odor problems due to chlorinated phenols. Specific phenolic compounds may be 4
given a different limit if it is demonstrated not to cause taste and odor problems and not to 5
be detrimental to other best usage; 6
(d) Total hardness: not greater than 100 mg/l as calcium carbonate (CaCO3 or Ca + Mg); 7
(e) Solids, total dissolved: not greater than 500 mg/l; 8
(f) Toxic and other deleterious substances that are non-carcinogens: 9
(i) Barium: 1.0 mg/l; 10
(ii) Chloride: 250 mg/l; 11
(iii) Nickel: 25 ug/l; 12
(iv) Nitrate nitrogen: 10.0 mg/l; 13
(v) 2,4-D: 70 ug/l; 14
(vi) 2,4,5-TP (Silvex): 10 ug/l; and 15
(vii) Sulfates: 250 mg/l; 16
(g) Toxic and other deleterious substances that are carcinogens: 17
(i) Aldrin: 0.05 ng/1; 18
(ii) Arsenic: 10 ug/l; 19
(iii) Benzene: 1.19 ug/1; 20
(iv) Carbon tetrachloride: 0.254 ug/l; 21
(v) Chlordane: 0.8 ng/1; 22
(vi) Chlorinated benzenes: 488 ug/l; 23
(vii) DDT: 0.2 ng/1; 24
(viii) Dieldrin: 0.05 ng/1; 25
(ix) Dioxin: 0.000005 ng/l; 26
(x) Heptachlor: 0.08 ng/1; 27
(xi) Hexachlorobutadiene: 0.44 ug/l; 28
(xii) Polynuclear aromatic hydrocarbons (total of all PAHs): 2.8 ng/l; 29
(xiii) Tetrachloroethane (1,1,2,2): 0.17 ug/l; 30
(xiv) Tetrachloroethylene: 0.7 ug/l; 31
(xv) Trichloroethylene: 2.5 ug/l; and 32
(xvi) Vinyl Chloride: 0.025 ug/l. ug/l; and 33
(xvii) 1,4-Dioxane: 0.35 ug/l. 34
(4) No discharge of sewage, industrial wastes, or other wastes shall be allowed that have an adverse 35
effect on human health or that are not treated in accordance with the permit or other requirements 36
established by the Division pursuant to G.S. 143-215.1. Upon request by the Commission, 37
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dischargers or industrial users subject to pretreatment standards shall disclose all chemical 1
constituents present or potentially present in their wastes and chemicals that could be spilled or be 2
present in runoff from their facility which may have an adverse impact on downstream water quality. 3
These facilities may be required to have spill and treatment failure control plans as well as perform 4
special monitoring for toxic substances. 5
(5)Nonpoint Source pollution in a WS-V water shall not have an adverse impact on waters for use as6
water supply or any other designated use.7
8
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 9
Eff. October 1, 1989; 10
Amended Eff. January 1, 2015; May 1, 2007; April 1, 2003; October 1, 1995; 11
Readopted Eff. November 1, 2019. November 1, 2019; 12
Amended Eff. May 1, 2022. 13
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15A NCAC 02B .0219 is amended as published in 35:22 NCR 2407-2433 with changes as follows: 1
2
15A NCAC 02B .0219 FRESH SURFACE WATER QUALITY STANDARDS FOR CLASS B WATERS 3
The following water quality standards shall apply to surface waters that are for primary contact recreation as defined 4
in Rule .0202 of this Section, and are classified as Class B waters. Water quality standards applicable to Class C 5
waters as described in Rule .0211 of this Section also apply to Class B waters. 6
(1) The best usage of Class B waters shall be primary contact recreation and any other best usage 7
specified for Class C waters. 8
(2) Class B waters shall meet the standards of water quality for outdoor bathing places as specified in 9
Item (3) of this Rule and shall be of sufficient size and depth for primary contact recreation. In 10
assigning the B classification to waters intended for primary contact recreation, the Commission 11
shall consider the relative proximity of sources of water pollution and the potential hazards 12
involved in locating swimming areas close to sources of water pollution and shall not assign this 13
classification to waters in which such water pollution could result in a hazard to public health. 14
Sources of water pollution that preclude any of these uses on either a short-term or long-term basis 15
shall be deemed to violate a water quality standard. 16
(3) Quality standards applicable to Class B waters: 17
(a) Sewage, industrial wastes, or other wastes: none shall be allowed that are not treated to 18
the satisfaction of the Commission. In determining the degree of treatment required for 19
such waste when discharged into waters to be used for bathing, the Commission shall 20
consider the quality and quantity of the sewage and wastes involved and the proximity of 21
such discharges to waters in this class. Discharges in the immediate vicinity of bathing 22
areas shall not be allowed if the Director determines that the waste cannot be treated to 23
ensure the protection of primary contact recreation; 24
(b) Fecal coliforms shall not exceed a geometric mean of 200/100 ml (MF count) based on at 25
least five samples taken over a 30 day period, nor exceed 400/100 ml in more than 20 26
percent of the samples examined during such period. period; 27
[(c)] [For the counties listed in this Sub-Item, Escherichia coli (E. coli) shall be used as the 28
bacterial indicator in lieu of Sub-Item (b) of this Item. E. coli shall not exceed a 29
geometric mean of 100 colony forming units (cfu) per 100 ml (MF count) or a most 30
probable number value (MPN) of 100 per 100 ml based upon a minimum of five samples 31
taken over a 30 day period, and E. coli shall not exceed 320 cfu/100 ml or 320 MPN/100 32
ml in more than 20 percent of the samples examined during the same 30-day period. The 33
counties subject to this site-specific standard are: 34
(i) Avery; 35
(ii) Buncombe; 36
(iii) Burke; 37
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(iv) Caldwell; 38
(v) Cherokee; 39
(vi) Clay; 40
(vii) Graham; 41
(viii) Haywood; 42
(ix) Henderson; 43
(x) Jackson; 44
(xi) Macon; 45
(xii) Madison; 46
(xiii) McDowell; 47
(xiv) Mitchell; 48
(xv) Polk; 49
(xvi) Rutherford; 50
(xvii) Swain; 51
(xviii) Transylvania; and 52
(xix) Yancey.] 53
(4) Wastewater discharges to waters classified as B shall meet the reliability requirements specified in 54
15A NCAC 02H .0124. Discharges to waters where a primary contact recreational use is 55
determined by the Director to be attainable shall be required to meet water quality standards and 56
reliability requirements to protect this use concurrently with reclassification efforts. 57
58
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 59
Eff. January 1, 1990; 60
Amended Eff. October 1, 1995; 61
Readopted Eff. November 1, 2019. November 1, 2019; 62
Amended Eff. May 1, 2022. 63
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15A NCAC 02B .0220 is amended as published in 35:22 NCR 2407-2433 as follows: 1 2
15A NCAC 02B .0220 TIDAL SALT WATER QUALITY STANDARDS FOR CLASS SC WATERS 3
In addition to the standards set forth in Rule .0208 of this Section, the following water quality standards shall apply 4
to all Class SC waters. Additional standards applicable to other tidal salt water classifications are specified in Rules 5
.0221 and .0222 of this Section. 6
(1) The best usage of waters classified as SC shall be aquatic life propagation, survival, and maintenance 7
of biological integrity (including fishing, fish, and Primary Nursery Areas (PNAs)); wildlife; 8
secondary contact recreation as defined in Rule .0202 in this Section; and any usage except primary 9
contact recreation or shellfishing for market purposes. All saltwaters shall be classified to protect 10
these uses at a minimum. 11
(2) The best usage of waters classified as SC shall be maintained as specified in this Rule. Any source 12
of water pollution that precludes any of these uses on either a short-term or a long-term basis shall 13
be deemed to violate a water quality standard; 14
(3) Chlorophyll a (corrected): not greater than 40 ug/l in sounds, estuaries, and other waters subject to 15
growths of macroscopic or microscopic vegetation. The Commission or its designee may prohibit 16
or limit any discharge of waste into surface waters if the Director determines that the surface waters 17
experience or the discharge would result in growths of microscopic or macroscopic vegetation such 18
that the standards established pursuant to this Rule would be violated or the intended best usage of 19
the waters would be impaired; 20
(4) Cyanide: 1 ug/l; 21
(5) Dissolved oxygen: not less than 5.0 mg/l, except that swamp waters, poorly flushed tidally 22
influenced streams or embayments, or estuarine bottom waters may have lower values if caused by 23
natural conditions; 24
(6) Enterococcus, including Enterococcus faecalis, Enterococcus faecium, Enterococcus avium and 25
Enterococcus gallinarium: not exceed a geometric mean of 35 enterococci per 100 ml based upon a 26
minimum of five samples taken over a 30-day period. For the purposes of beach monitoring and 27
notification, "Coastal Recreational Waters Monitoring, Evaluation and Notification" regulations 28
(15A NCAC 18A .3400), available free of charge at: http://www.ncoah.com/, are incorporated by 29
reference including subsequent amendments and editions; 30
(7) Floating solids, settleable solids, or sludge deposits: only such amounts attributable to sewage, 31
industrial wastes, or other wastes as shall not make the waters unsafe or unsuitable for aquatic life 32
and wildlife, or impair the waters for any designated uses; 33
(8) Gases, total dissolved: not greater than 110 percent of saturation; 34
(9) Metals: 35
(a) With the exception of mercury and selenium, acute and chronic tidal salt water quality 36
standards for metals shall be based upon measurement of the dissolved fraction of the 37
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2
metals. Mercury and selenium shall be based upon measurement of the total recoverable 1
metal; 2
(b) With the exception of mercury and selenium, acute and chronic tidal saltwater quality 3
aquatic life standards for metals listed in this Sub-Item shall apply as a function of the 4
pollutant's water effect ratio (WER). The WER shall be assigned a value equal to one unless 5
any person demonstrates to the Division in a permit proceeding that another value is 6
developed in accordance with the "Water Quality Standards Handbook: Second Edition" 7
published by the US Environmental Protection Agency (EPA-823-B-12-002). Alternative 8
site-specific standards may also be developed when any person submits values that 9
demonstrate to the Commission that they were derived in accordance with the "Water 10
Quality Standards Handbook: Second Edition, Recalculation Procedure or the Resident 11
Species Procedure." 12
(c) Acute and chronic tidal salt water quality metals standards shall be as follows: 13
(i) Arsenic, acute: WER∙ 69 ug/l; 14
(ii) Arsenic, chronic: WER∙ 36 ug/l; 15
(iii) Cadmium, acute: WER∙ 40 33 ug/l; 16
(iv) Cadmium, chronic: WER∙ 8.8 7.9 ug/l; 17
(v) Chromium VI, acute: WER∙ 1100 ug/l; 18
(vi) Chromium VI, chronic: WER∙ 50 ug/l; 19
(vii) Copper, acute: WER∙ 4.8 ug/l; 20
(viii) Copper, chronic: WER∙ 3.1 ug/l; 21
(ix) Lead, acute: WER∙ 210 ug/l; 22
(x) Lead, chronic: WER∙ 8.1 ug/l; 23
(xi) Mercury, total recoverable, chronic: 0.025 ug/l; 24
(xii) Nickel, acute: WER∙ 74 ug/l; 25
(xiii) Nickel, chronic: WER∙ 8.2 ug/l; 26
(xiv) Selenium, total recoverable, chronic: 71 ug/l; 27
(xv) Silver, acute: WER∙ 1.9 ug/l; 28
(xvi) Silver, chronic: WER∙ 0.1 ug/l; 29
(xvii) Zinc, acute: WER∙ 90 ug/l; and 30
(xviii) Zinc, chronic: WER∙ 81 ug/l; 31
(d) Compliance with acute instream metals standards shall only be evaluated using an average 32
of two or more samples collected within one hour. Compliance with chronic instream 33
metals standards shall only be evaluated using averages of a minimum of four 34
samples taken on consecutive days, or as a 96-hour average; 35
(10) Oils, deleterious substances, or colored or other wastes: only such amounts as shall not render the 36
waters injurious to public health, secondary recreation, aquatic life, and wildlife or adversely affect 37
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3
the palatability of fish, aesthetic quality, or impair the waters for any designated uses. For the 1
purpose of implementing this Rule, oils, deleterious substances, or colored or other wastes shall 2
include substances that cause a film or sheen upon or discoloration of the surface of the water or 3
adjoining shorelines, as described in 40 CFR 110.3, incorporated by reference including any 4
subsequent amendments and editions. This material is available free of charge at 5
https://www.govinfo.gov. 6
(11) Pesticides: 7
(a) Aldrin: 0.003 ug/l; 8
(b) Chlordane: 0.004 ug/l; 9
(c) DDT: 0.001 ug/l; 10
(d) Demeton: 0.1 ug/l; 11
(e) Dieldrin: 0.002 ug/l; 12
(f) Endosulfan: 0.009 ug/l; 13
(g) Endrin: 0.002 ug/l; 14
(h) Guthion: 0.01 ug/l; 15
(i) Heptachlor: 0.004 ug/l; 16
(j) Lindane: 0.004 ug/l; 17
(k) Methoxychlor: 0.03 ug/l; 18
(l) Mirex: 0.001 ug/l; 19
(m) Parathion: 0.178 ug/l; and 20
(n) Toxaphene: 0.0002 ug/l; 21
(12) pH: shall be between 6.8 and 8.5, except that swamp waters may have a pH as low as 4.3 if it is the 22
result of natural conditions; 23
(13) Phenolic compounds: only such levels as shall not result in fish-flesh tainting or impairment of other 24
best usage; 25
(14) Polychlorinated biphenyls: (total of all PCBs and congeners identified) 0.001 ug/l; 26
(15) Radioactive substances, based on at least one sample collected per quarter: 27
(a) Combined radium-226 and radium-228: the average annual activity level for combined 28
radium-226, and radium-228 shall not exceed five picoCuries per liter; 29
(b) Alpha Emitters: the average annual gross alpha particle activity (including radium-226, but 30
excluding radon and uranium) shall not exceed 15 picoCuries per liter; 31
(c) Beta Emitters: the average annual activity level for strontium-90 shall not exceed eight 32
picoCuries per liter, nor shall the average annual gross beta particle activity (excluding 33
potassium-40 and other naturally occurring radionuclides exceed 50 picoCuries per liter, 34
nor shall the average annual activity level for tritium exceed 20,000 picoCuries per liter; 35
(16) Salinity: changes in salinity due to hydrological modifications shall not result in removal of the 36
functions of a PNA. Projects that are determined by the Director to result in modifications of salinity 37
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4
such that functions of a PNA are impaired shall employ water management practices to mitigate 1
salinity impacts; 2
(17) Temperature: shall not be increased above the natural water temperature by more than 0.8 degrees 3
C (1.44 degrees F) during the months of June, July, and August, shall not be increased by more than 4
2.2 degrees C (3.96 degrees F) during other months, and shall in no case exceed 32 degrees C (89.6 5
degrees F) due to the discharge of heated liquids; 6
(18) Trialkyltin compounds: 0.007 ug/l expressed as tributyltin; 7
(19) Turbidity: the turbidity in the receiving water shall not exceed 25 Nephelometric Turbidity Units 8
(NTU); if turbidity exceeds this level due to natural background conditions, the existing turbidity 9
level shall not be increased. Compliance with this turbidity standard shall be deemed met when land 10
management activities employ Best Management Practices (BMPs), defined by Rule .0202 of this 11
Section, recommended by the Designated Nonpoint Source Agency, as defined by Rule .0202 of 12
this Section. 13
14
History Note: Authority G.S. 143-214.1; 143-215.3(a)(1); 15
Eff. October 1, 1995; 16
Amended Eff. January 1, 2015; May 1, 2007; August 1, 2000; 17
Readopted Eff. November 1, 2019. November 1, 2019; 18
Amended May 1, 2022. 19
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1
15A NCAC 02B .0301 is amended as published in 35:22 NCR 2407-2433 as follows: 1
2
SECTION .0300 - ASSIGNMENT OF STREAM CLASSIFICATIONS 3
4
15A NCAC 02B .0301 CLASSIFICATIONS: GENERAL 5
(a) The classifications assigned to the waters of the State of North Carolina are set forth in river basin classification 6
schedules provided at https://deq.nc.gov/about/divisions/water-resources/water-planning/classification-7
standards/river-basin-classification and in Rules .0302 to .0317 of this Section. These classifications are based upon 8
procedures described in Rule .0101 of this Subchapter. 9
(b) Classifications. The classifications assigned to the waters of North Carolina are denoted by the letters C, B, WS-10
I, WS-II, WS-III, WS-IV, WS-V, WL, SC, SB, SA, SWL, Tr, Sw, NSW, ORW, HQW, and UWL. The "best usage", 11
as defined in Rule .0202 of this Subchapter, for each classification is defined in the rules as follows: 12
(1) Fresh Waters Classifications: 13
(A) Class C: Rule .0211 of this Subchapter; 14
(B) Class B: Rule .0219 of this Subchapter; 15
(C) Class WS-I (Water Supply): Rule .0212 of this Subchapter; 16
(D) Class WS-II (Water Supply): Rule .0214 of this Subchapter; 17
(E) Class WS-III (Water Supply): Rule .0215 of this Subchapter; 18
(F) Class WS-IV (Water Supply): Rule .0216 of this Subchapter; 19
(G) Class WS-V (Water Supply): Rule .0218 of this Subchapter; and 20
(H) Class WL (Wetlands): Rule .0231 of this Subchapter. 21
(2) Tidal Salt Waters Classifications: 22
(A) Class SC: Rule .0220 of this Subchapter; 23
(B) Class SB: Rule .0222 of this Subchapter; 24
(C) Class SA: Rule .0221 of this Subchapter; and 25
(D) Class SWL: Rule .0231 of this Subchapter. 26
(3) Supplemental Classifications: 27
(A) Class Tr (Trout Waters): Rule .0202 of this Subchapter; 28
(B) Class Sw (Swamp): Rule .0202 of this Subchapter; 29
(C) Class NSW (Nutrient Sensitive Waters): Rule .0223 of this Subchapter; 30
(D) Class ORW (Outstanding Resource Waters): Rule .0225 of this Subchapter; 31
(E) Class HQW (High Quality Waters): Rule .0224 of this Subchapter; and 32
(F) Class UWL (Unique Wetlands): Rule .0231 of this Subchapter. 33
(c) Water Quality Standards. The water quality standards applicable to each classification assigned are those 34
established in the rules of Section .0200 of this Subchapter. 35
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(d) Index Number. The index number is an identification number assigned to each stream or segment of a stream, 1
indicating the specific tributary progression between the main stem stream and tributary stream. The index number 2
can be referenced to the Division's river basin classification schedules (hydrologic and alphabetic) for each river basin. 3
(e) Classification Date. The classification date indicates the date on which enforcement of the provisions of General 4
Statutes 143-215.1 became effective with reference to the classification assigned to the various streams in North 5
Carolina. 6
(f) Unnamed Streams. 7
(1) Any stream that is not listed in a river basin classification schedule carries the same classification 8
as that assigned to the stream segment to which it is tributary except: 9
(A) unnamed freshwaters tributary to tidal saltwaters will be classified "C"; or 10
(B) after November 1, 1986, any areas of tidal saltwater created by dredging projects approved 11
in accordance with 15A NCAC 07H .0208 and connected to Class SA waters shall be 12
classified "SC" unless case-by-case reclassification proceedings are conducted per Rule 13
.0101 of this Subchapter. 14
(2) In addition to Subparagraph (f)(1) (1) of this Rule, Paragraph, for unnamed streams entering other 15
states, states, tribes approved for treatment as a state and administering a U.S. Environmental 16
Protection Agency approved water quality standards program, or for specific areas of a river basin, 17
the following Rules shall apply: 18
(A) Hiwassee River Basin (Rule .0302 of this Section); 19
(B) Little Tennessee River Basin and Savannah River Drainage Area (Rule .0303 of this 20
Section); 21
(C) French Broad River Basin (Rule .0304 of this Section); 22
(D) Watauga River Basin (Rule .0305 of this Section); 23
(E) Broad River Basin (Rule .0306 of this Section); 24
(F) New River Basin (Rule .0307 of this Section); 25
(G) Catawba River Basin (Rule .0308 of this Section); 26
(H) Yadkin-Pee Dee River Basin (Rule .0309 of this Section); 27
(I) Lumber River Basin (Rule .0310 of this Section); 28
(J) Roanoke River Basin (Rule .0313 of this Section); 29
(K) Tar-Pamlico River Basin (Rule .0316 of this Section); and 30
(L) Pasquotank River Basin (Rule .0317 of this Section). 31
32
History Note: Authority G.S. 143-214.1; 143-214.5; 143-215.1; 143-215.3(a)(1); 33
Eff. February 1, 1976; 34
Amended Eff. August 1, 1995; August 3, 1992; August 1, 1990; October 1, 1989; 35
Readopted Eff. November 1, 2019. November 1, 2019; 36
Amended Eff. May 1, 2022. 37
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15A NCAC 02B .0311 is amended as published in 35:22 NCR 2407-2433 with changes as follows: 1
2
15A NCAC 02B .0311 CAPE FEAR RIVER BASIN 3
(a) Classifications assigned to the waters within the Cape Fear River Basin are set forth in the Cape Fear River Basin 4
Classification Schedule, which may be inspected at the following places: 5
(1) the Internet at https://deq.nc.gov/about/divisions/water-resources/water-planning/classification-6
standards/river-basin-classification; and 7
(2) the following offices of the North Carolina Department of Environmental Quality: 8
(A) Winston-Salem Regional Office 9
450 West Hanes Mill Road 10
Winston-Salem, North Carolina; 11
(B) Fayetteville Regional Office 12
225 Green Street 13
Systel Building Suite 714 14
Fayetteville, North Carolina; 15
(C) Raleigh Regional Office 16
3800 Barrett Drive 17
Raleigh, North Carolina; 18
(D) Washington Regional Office 19
943 Washington Square Mall 20
Washington, North Carolina; 21
(E) Wilmington Regional Office 22
127 Cardinal Drive Extension 23
Wilmington, North Carolina; and 24
(F) Division of Water Resources 25
Central Office 26
512 North Salisbury Street 27
Raleigh, North Carolina. 28
(b) The Cape Fear River Basin Classification Schedule was amended effective: 29
(1) March 1, 1977; 30
(2) December 13, 1979; 31
(3) December 14, 1980; 32
(4) August 9, 1981; 33
(5) April 1, 1982; 34
(6) December 1, 1983; 35
(7) January 1, 1985; 36
(8) August 1, 1985; 37
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2
(9)December 1, 1985;1
(10)February 1, 1986;2
(11)July 1, 1987;3
(12)October 1, 1987;4
(13)March 1, 1988;5
(14)August 1, 1990.6
(c) The Cape Fear River Basin Classification Schedule was amended effective June 1, 1988 as follows:7
(1)Cane Creek [Index No. 16-21-(1)] from source to a point 0.5 mile north of N.C. Hwy. 54 (Cane8
Reservoir Dam) including the Cane Creek Reservoir and all tributaries has been reclassified from9
Class WS-III to WS-I.10
(2)Morgan Creek [Index No. 16-41-1-(1)] to the University Lake dam including University Lake and11
all tributaries has been reclassified from Class WS-III to WS-I.12
(d) The Cape Fear River Basin Classification Schedule was amended effective July 1, 1988 by the reclassification of13
Crane Creek (Crains Creek) [Index No. 18-23-16-(1)] from source to mouth of Beaver Creek including all tributaries 14
from C to WS-III. 15
(e) The Cape Fear River Basin Classification Schedule was amended effective January 1, 1990 as follows:16
(1)Intracoastal Waterway (Index No. 18-87) from southern edge of White Oak River Basin to western17
end of Permuda Island (a line from Morris Landing to Atlantic Ocean), from the eastern mouth of18
Old Topsail Creek to the southwestern shore of Howe Creek and from the southwest mouth of Shinn19
Creek to channel marker No. 153 including all tributaries except the King Creek Restricted Area,20
Hardison Creek, Old Topsail Creek, Mill Creek, Futch Creek and Pages Creek were reclassified21
from Class SA to Class SA ORW.22
(2)Topsail Sound and Middle Sound ORW Area which includes all waters between the Barrier Islands23
and the Intracoastal Waterway located between a line running from the western most shore of Mason 24
Inlet to the southwestern shore of Howe Creek and a line running from the western shore of New25
Topsail Inlet to the eastern mouth of Old Topsail Creek was reclassified from Class SA to Class SA26
ORW.27
(3)Masonboro Sound ORW Area which includes all waters between the Barrier Islands and the28
mainland from a line running from the southwest mouth of Shinn Creek at the Intracoastal Waterway 29
to the southern shore of Masonboro Inlet and a line running from the Intracoastal Waterway Channel 30
marker No. 153 to the southside of the Carolina Beach Inlet was reclassified from Class SA to Class31
SA ORW.32
(f) The Cape Fear River Basin Classification Schedule was amended effective January 1, 1990 as follows: Big33
Alamance Creek [Index No. 16-19-(1)] from source to Lake Mackintosh Dam including all tributaries has been 34
reclassified from Class WS-III NSW to Class WS-II NSW. 35
(g) The Cape Fear River Basin Classification Schedule was amended effective August 3, 1992 with the reclassification 36
of all water supply waters (waters with a primary classification of WS-I, WS-II or WS-III). These waters were 37
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reclassified to WS-I, WS-II, WS-III, WS-IV or WS-V as defined in the revised water supply protection rules (15A 1
NCAC 02B .0100, .0200 and .0300), which became effective on August 3, 1992. In some cases, streams with primary 2
classifications other than WS were reclassified to a WS classification due to their proximity and linkage to water 3
supply waters. In other cases, waters were reclassified from a WS classification to an alternate appropriate primary 4
classification after being identified as downstream of a water supply intake or identified as not being used for water 5
supply purposes. 6
(h) The Cape Fear River Basin Classification Schedule was amended effective June 1, 1994 as follows: 7
(1) The Black River from its source to the Cape Fear River [Index Nos. 18-68-(0.5), 18-68-(3.5) and 8
18-65-(11.5)] was reclassified from Classes C Sw and C Sw HQW to Class C Sw ORW. 9
(2) The South River from Big Swamp to the Black River [Index Nos. 18-68-12-(0.5) and 18-68-10
12(11.5)] was reclassified from Classes C Sw and C Sw HQW to Class C Sw ORW. 11
(3) Six Runs Creek from Quewhiffle Swamp to the Black River [Index No. 18-68-2] was reclassified 12
from Class C Sw to Class C Sw ORW. 13
(i) The Cape Fear River Basin Classification Schedule was amended effective September 1, 1994 with the 14
reclassification of the Deep River [Index No. 17-(36.5)] from the Town of Gulf-Goldston water supply intake to US 15
highway 421 including associated tributaries from Class C to Classes C, WS-IV and WS-IV CA. 16
(j) The Cape Fear River Basin Classification Schedule was amended effective August 1, 1998 with the revision to the 17
primary classification for portions of the Deep River [Index No. 17-(28.5)] from Class WS-IV to Class WS-V, Deep 18
River [Index No. 17-(41.5)] from Class WS-IV to Class C, and the Cape Fear River [Index 18-(10.5)] from Class WS-19
IV to Class WS-V. 20
(k) The Cape Fear River Basin Classification Schedule was amended effective April 1, 1999 with the reclassification 21
of Buckhorn Creek (Harris Lake)[Index No. 18-7-(3)] from the backwaters of Harris Lake to the Dam at Harris Lake 22
from Class C to Class WS-V. 23
(l) The Cape Fear River Basin Classification Schedule was amended effective April 1, 1999 with the reclassification 24
of the Deep River [Index No. 17-(4)] from the dam at Oakdale-Cotton Mills, Inc. to the dam at Randleman Reservoir 25
(located 1.6 mile upstream of U.S. Hwy 220 Business), and including tributaries from Class C and Class B to Class 26
WS-IV and Class WS-IV & B. Streams within the Randleman Reservoir Critical Area have been reclassified to WS-27
IV CA. The Critical Area for a WS-IV reservoir is defined as 0.5 mile and draining to the normal pool elevation of 28
the reservoir. All waters within the Randleman Reservoir Water Supply Watershed are within a designated Critical 29
Water Supply Watershed and are subject to a special management strategy specified in Rule .0248 of this Subchapter. 30
(m) The Cape Fear River Basin Classification Schedule was amended effective August 1, 2002 as follows: 31
(1) Mill Creek [Index Nos. 18-23-11-(1), 18-23-11-(2), 18-23-11-3, 18-23-11-(5)] from its source to 32
the Little River, including all tributaries was reclassified from Class WS-III NSW and Class WS-III 33
B NSW to Class WS-III NSW HQW@ and Class WS-III B NSW HQW@. 34
(2) McDeed's Creek [Index Nos. 18-23-11-4, 18-23-11-4-1] from its source to Mill Creek, including all 35
tributaries was reclassified from Class WS III NSW and Class WS-III B NSW to Class WS-III NSW 36
HQW@ and Class WS-III B NSW HQW@. 37
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The "@" symbol as used in this Paragraph means that if the governing municipality has deemed that a development 1
is covered under a "5/70 provision" as described in Rule .0215(3)(b)(i)(E) of this Subchapter Rule .0624 of this 2
Subchapter, then that development is not subject to the stormwater requirements as described in 15A NCAC 02H 3
.1006 15A NCAC 02H .1021. 4
(n) The Cape Fear River Basin Classification Schedule was amended effective November 1, 2004 as follows: 5
(1) the portion of Rocky River [Index Number 17-43-(1)] from a point 0.3 mile upstream of Town of 6
Siler City upper reservoir dam to a point 0.3 mile downstream of Lacy Creek from WS-III to WS-7
III CA. 8
(2) the portion of Rocky River [Index Number 17-43-(8)] from dam at lower water supply reservoir for 9
Town of Siler City to a point 65 feet below dam (site of proposed dam) from C to WS-III CA. 10
(3) the portion of Mud Lick Creek (Index No. 17-43-6) from a point 0.4 mile upstream of Chatham 11
County SR 1355 to Town of Siler City lower water supply reservoir from WS-III to WS-III CA. 12
(4) the portion of Lacy Creek (17-43-7) from a point 0.6 mile downstream of Chatham County SR 1362 13
to Town of Siler City lower water supply reservoir from WS-III to WS-III CA. 14
(o) The Cape Fear River Basin Classification Schedule was amended effective November 1, 2007 with the 15
reclassifications listed below, and the North Carolina Division of Water Resources maintains a Geographic 16
Information Systems data layer of these UWLs. 17
(1) Military Ocean Terminal Sunny Point Pools, all on the eastern shore of the Cape Fear River [Index 18
No. 18-(71)] were reclassified to Class WL UWL. 19
(2) Salters Lake Bay near Salters Lake [Index No. 18-44-4] was reclassified to Class WL UWL. 20
(3) Jones Lake Bay near Jones Lake [Index No. 18-46-7-1] was reclassified to Class WL UWL. 21
(4) Weymouth Woods Sandhill Seep near Mill Creek [18-23-11-(1)] was reclassified to Class WL 22
UWL. 23
(5) Fly Trap Savanna near Cape Fear River [Index No. 18-(71)] was reclassified to Class WL UWL. 24
(6) Lily Pond near Cape Fear River [Index No. 18-(71)] was reclassified to Class WL UWL. 25
(7) Grassy Pond near Cape Fear River [Index No. 18-(71)] was reclassified to Class WL UWL. 26
(8) The Neck Savanna near Sandy Run Swamp [Index No. 18-74-33-2] was reclassified to Class WL 27
UWL. 28
(9) Bower's Bog near Mill Creek [Index No. 18-23-11-(1)] was reclassified to Class WL UWL. 29
(10) Bushy Lake near Turnbull Creek [Index No. 18-46] was reclassified to Class WL UWL. 30
(p) The Cape Fear River Basin Classification Schedule was amended effective January 1, 2009 as follows: 31
(1) the portion of Cape Fear River [Index No. 18-(26)] (including tributaries) from Smithfield Packing 32
Company's intake, located approximately 2 miles upstream of County Road 1316, to a point 0.5 33
miles upstream of Smithfield Packing Company's intake from Class C to Class WS-IV CA. 34
(2) the portion of Cape Fear River [Index No.18-(26)] (including tributaries) from a point 0.5 miles 35
upstream of Smithfield Packing Company's intake to a point 1 mile upstream of Grays Creek from 36
Class C to Class WS-IV. 37
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(q) The Cape Fear River Basin Classification Schedule was amended effective August 11, 2009 with the 1
reclassification of all Class C NSW waters and all Class B NSW waters upstream of the dam at B. Everett Jordan 2
Reservoir from Class C NSW and Class B NSW to Class WS-V NSW and Class WS-V & B NSW, respectively. All 3
waters within the B. Everett Jordan Reservoir Watershed are within a designated Critical Water Supply Watershed 4
and are subject to a special management strategy specified in Rules .0262 through .0273 of this Subchapter. 5
(r) The Cape Fear River Basin Classification Schedule was amended effective September 1, 2009 with the6
reclassification of a portion of the Haw River [Index No. 16-(28.5)] from the Town of Pittsboro water supply intake, 7
which is located approximately 0.15 mile west of U.S. 15/501, to a point 0.5 mile upstream of the Town of Pittsboro 8
water supply intake from Class WS-IV to Class WS-IV CA. 9
(s) The Cape Fear River Basin Classification Schedule was amended effective March 1, 2012 with the reclassification10
of the portion of the Haw River [Index No. 16-(1)] from the City of Greensboro's intake, located approximately 650 11
feet upstream of Guilford County 2712, to a point 0.5 miles upstream of the intake from Class WS-V NSW to Class 12
WS-IV CA NSW, and the portion of the Haw River [Index No. 16-(1)] from a point 0.5 miles upstream of the intake 13
to a point 0.6 miles downstream of U.S. Route 29 from Class WS-V NSW to Class WS-IV NSW. 14
(t) The Cape Fear River Basin Classification Schedule was amended effective June 30, 2017 with the reclassification15
of a section of 18-(71) from upstream mouth of Toomers Creek to a line across the river between Lilliput Creek and 16
Snows Cut from Class SC to Class SC Sw. A site-specific management strategy is outlined in 15A NCAC 02B .0227. 17
(u) The Cape Fear River Basin Classification Schedule was amended effective September 1, 2019 November 19,18
2019 with the reclassification of a portion of Sandy Creek [Index No. 17-16-(1)] (including tributaries) from a point 19
0.4 mile upstream of SR-2481 to a point 0.6 mile upstream of N.C. Hwy 22 from WS-III to WS-III CA. The 20
reclassification resulted in an updated representation of the water supply watershed for the Sandy Creek reservoir. 21
22
History Note: Authority G.S. 143-214.1; 143-215.1; 143-215.3(a)(1); 23
Eff. February 1, 1976; 24
Amended Eff. June 30, 2017; March 1, 2012; September 1, 2009; August 11, 2009; January 1, 2009; 25
November 1, 2007; November 1, 2004; August 1, 2002; April 1, 1999; August 1, 1998; September 26
1, 1994; June 1, 1994; August 3, 1992; August 1, 1990; 27
Readopted Eff. November 1, 2019. 2019; 28
Amended Eff. May 1, 2022. 29
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