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HomeMy WebLinkAboutNC0066516_Environmental Assessment_19890912r DIVISION OF ENVIRONMENTAL MANAGEMENT September 12, 1989 M E M O R A N D U M TO: Alan Clark THROUGH: Trevor Clements" SUBJECT: Revised Draft Environmental Assessment for the Proposed Fuquay-Varina WWTP on Terrible Creek NPDES No. NCO066516 Wake County Technical Support's comments on the initial Draft Environmental Assessment (EA) for the Fuquay-Varina WWTP (see memo dated f9/21/89) recommended that the ramifications of a total phosphorus limit of 0.5 mg/1 to 2 mg/1 and a total nitrogen limit of 3 mg/1 to 6 mg/1 be discussed in terms of alternative plant designs and associated costs. The intent of this recommendation was to promote an analysis of the environmental and economic trade-offs between biological and chemical nutrient removal. The proposed activated sludge treatment facility consists of a single stage extended aeration pro- cess with chemical feed for phosphorus removal. Nitrogen removal is not addressed in the EA. Apparently the potential for a total nitrogen limit was interpreted as a more stringent limit on ammonia. There is growing evidence that BOD, phosphorus, and nitrogen can be simulta- neously removed from municipal wastewater at little or no additional expense than removing BOD alone. This is attributed to the potential savings from reduced chemical storage and feed equipment costs and reduced sludge handling expenses. For facilities that nitrify, there may be a cost savings in incorporating de - nitrification in the treatment process. Mention; - is made in the EA of the ex- istence of several technologies for biological BOD, phosphorus, and nitrogen removal, however, no cost comparisons are developed. The EA states that.if the NPDES permit is modified)a comparison between biologi- cal and chemical nutrient removal would be made. It is recommended that the Environ- mental Assessment include a biological nutrient removal alternative explicitly tar- geted at developing a comparison between chemical and biological removal of total phosphorus to 0.5 mg/1 to 2 mg/l and total nitrogen to 3 mg/l to 6 mg/l. If you need further assistance on this matter, please contact me at ext. 515. cc: Tim Donnely w� 1 10-6✓0r- C L--i, OA 67 iNit S State of North Carolina Department of Natural Resources and Community Development Division of Environmental Management 512 North Salisbury Street • Raleigh, North Carolina 27611 James G. Martin, Governor �Tuly 19 , 19 8 9 William W. Cobey, Jr., Secretary Mr, Al.an R. Keith, P.E. Diehl. and Phillips, P.A. 219 East Chatham Street Cary, NC 27611 ` Dear Mr. Keith: R. Paul Wilms Director The Division of Environmental Management has reviewed the Enviroiunentai Assessment— (EA) for the Town of Fuquay-Varina' s proposed Terrible Creek wastewater treatment plant. Despite the lengthiness of the comments, presented below, the EA is generally thorough in identifying and discussing the major primary and secondary environmental impacts associated with construction and operation of the proposed plant. 1. Permit Limits and Plant Design The permit limits discussed in the EA are those that were issued in a draft NPDES permit in December 1986. However', an Environmental Management Commission (EMC) ruling in January 1988, that reclassified the Neuse River watershed as nutrient sensitive, requires that proposed new and expanding NPDES waste treatment facilities must limit phosporus to a maximum concentration of 2 mg/1 and that all plants must be meeting this phosphorus lirnit by May 1, 1993. In addition, ongoing studies in the Neuse River Basin indicate that further reductions in phosphorus and/or nitrogen may be needed in the future. It. possible that nutrient limits may be set from 2 mg/1 to 0.5 mg/1 for phosphorus and from 6gm/1 down to 3 mg/1 for nitrogen. Even though the Terrible Creek WWTP NPDES discharge permit application was submitted to DEM prior to January of 1988, the plant site has not yet been identified and no formal_ plant design work has begun. Therefore, there is a strong liklihood that DEM will consider imposing nutrient limits if a permit is approved for this project and the plant is operational prior to May 1, 1993. However, even if the permit does not contain a phosphorus limit until May 1993, the plant should be designed for phosporus, and possibly nitrogen, removal in anticipation of having to meet the May 1993 requirement. The EA, therefore, needs.to discuss P.O. Box 27687, Raleigh, North Carolina 27611-7687 Telephone 919-733-7015 An Equal Opportunity Affirmative Action Employer Mr. Alan R. Keith July 19, 1989 Page two what will be done to meet the May 1, 1993 phosphorus limit and should also discuss the ramifications in terms of cost and plant design to meet the possible tighter nutrient limits presented in the preceding paragraph. 2. Sludge Management Sludge disposal from this plant will require a separate permit and possibly a separate EA or EIS. However, for the purposes of this EA, some additional information should be provided on sludge management since it is an integral part of the wastewater treatment process. It is recommended that the EA include an estimate of the volume of sludge that will be generated by the plant at full capacity and to estimate the acreage of land that will be required for land application of the sludge at agronomic rates. For the purposes of these estimations, it should be assumed that the plant is designed and operated to meet the range of nutrient limits presented earlier (0.5 to 2.0 mg/l for phophorus and 3.0 to 6.0 mg/l for nitrogen) The EA should also state that there is a reasonable liklihood that the Town can purchase or obtain permission from a sufficient number of private property owners to meet this acreage requirement. 3. Nonpoint Source Impacts The EA does a reasonably good job in addressing the potential increase in nonpoint source (NPS) pollution associated with urban, growth in the Terrible Creek watershed but the mitigation measures outlined in Section 7.6 are inadequate. Existing sedimentation and erosion control measures will help limit the impacts of land disturbing activities while work is in progress but they would not be expected to limit long term NPS pollutant loading rates associated with development. Also, it unclear how building code restrictions and industrial pretreatment regulations will have a significant affect on limiting NPS pollution. If the local government has any watershed management or stormwater ordinances that would would address NPS pollution, it would be helpful to describe them in the EA or include them in an appendix. The EA should also address the need to develop such ordinances, if they do not exist, and to offer examples of some measures that might be reasonably employed to limit NPS pollution. 4. Project Alternatives The fact that the Town has applied for a permit and is preparing an EA attests to the fact that it desires, or sees a need for the proposed project; however, in reading the EA, a strong argument could be made for the no build alternative. The EA states that the area will be developed whether the plant Mr. Alan R. Keith July 19, 1989 Page Three is built or not. The main advantage the proposed plant has over the no build alternative is that it would allow higher density development and would centralize wastewater treatment facilities in the basin as opposed to the possiblity of having several package plants (which is speculative and controllable through land development controls). The no build alternative, on the other hand, would seemingly cost the Town much less and would have much less impact on the creek and Neuse River by greatly decreasing the overall volume of point discharges, generating considerably less NPS pollution and eliminating the need for sludge disposal. The purpose for making these remarks is not necessarily to discourage construction of the plant nor to dictate how the area should be developed. Rather, it is being suggested that it would be helpful to include some additional thoughts and information on why the plant is needed/desired in light of the fact that it would seem less expensive and more environmentally sound not to build it. It would be good to include a discussion, from the Town's standpoint, on why higher density development (5 units per acre) is preferred over lower density development in the Terrible Creek basin (cost of services? quality of life? others?)? If there is a long range land use plan for the basin, it should be included in the EA to more clearly illustrate the Town's vision for development in this area. 5. Fish and Their Habitats Section 6.15 needs further work. It should at least include a list of the prominent fish species found in the stream and some assessment as to whether there is any fishing activity. It should then assess, in at least a qualitative manner, what effects the proposed discharge and the increase in nonpoint source runoff would have on fishery resources (and fishing?) in the creek looking at both water quality and water quantity effects. Depending on the findings of this -additional assessment, it may be necessary to add a new mitigation section in Part 7 to address impacts to fisheries. 6. Other Agency Comments Inclusion of agency letters in the Appendix was helpful in determining what concerns, if any, other agencies had toward this proposal. Other than DEM water quality -related concerns, discussed above, the two issues identified in the agency letters that will need followup work as the project progresses (some time subsequent to completion of the EA) will be potential impacts on wetlands and archeological resources. It is understood that the exact plant site and interceptor line routes are not yet known, thus making it difficult to accurately assess the impacts on these two resource areas at the present time. However, the EA Mr. Alan R. Keith July 19, 1989 Page Four does include commitments to a) perform an archeological survey prior to construction of the plant, b) avoid wetlands in siting the plant, and c) work with the Corps of Engineers in mitigating wetlands losses that may result from construction of the collection lines. For the time being, the EA's treatment of these issues appears to be adequate. Further work on these issues would only be required if other review agencies call for it during the next review stages. In conclusion, it is recommended that you revise the EA based on the recommendations presented above and then resubmit eight copies of the revised document to this office for a departmental (NRCD) review. Upon receipt, I will pass these on to our Division of Planning and Assessment for a two -week review and comment period. The next step after that will be to revise the EA, if necessary, depending on the comments we receive; prepare a Finding of No Significant Impact (if appropriate); and to forward the EA and FONSI to the State Clearinghouse for review. If there are no significant comments received during the Clearinghouse review, the SEPA process will be completed. Please call me if you have any questions. Sincerely, Alan R. Clark Project Coordinator TerCreek.Ltr cc: Boyd Devane Trevor Clements Tim Donnelly Dale Overcash Alan Klimek DIVISION OF ENVIRONMENTAL MANAGEMENT June 21, 1989 MEMORANDUM TO: Alan Clark FROM: Juan C. Mangles THROUGH: Tom Stockton -? ,t/ Trevor Clements SUBJECT: Draft Environmental Assessment for Proposed . Fuquay-Varina WWTP on Terrible Creek I have reviewed the subject Draft Environmental Assessment. The proposed WWTP will discharge into surface waters classified "nutrient sensitive'.' by EMC in January, 1988. Since the WLA and draft NPDES permit were prepared previous to this ruling, the issued draft NPDES permit does not contain a total phosphorus limitation. Therefore, in the absence of a total phosphorus limit in the current draft permit, the proposed treatment works do not provide phosphorus removal capabilities.. Although the submitted draft assessment recog- nizes the eutrophication potential of the receiving.surface waters as the result of the proposed discharge, it suggests that the limits the :raft permit should minimize the nutrient load:�nn. Current procedures recommend a 2 mg/1 total phosphorus limitation for new and expanding facilities (defined as having an NPDES applica- tion after January, 1988). Existing facilities with design flow rates of 0.5 MGD or greater are required to comply with the same lim- itation by May 1, 1993. The Division should rule on whether a 2 mg/1 total phosphorus limitation should be contained in the final permit or a requirement to comply by May 1, 1993. Since ongoing studies in the Neuse River basin indicate that fur- ther reductions in phosphorus and/or nitrogen inputs may be needed in the future, it is recommended the applicant be advised that as part of the planning and designing process, he should study.the engineer- ing and cost of having to comply not only with a 2 mg/1 total phos- phorus limitation but also more stringent phosphorus and nitrogen limitations. For engineering purposes, implications of a total phos- phorus limit of 0.5 mg/1 to 2 mg/1 and a nitrogen limit of 3 mg/1 and 6 mg/1 should be considered.. Tb,. provided environmental assessment predicts toxicants and nutrient loading rates to increase from non -point sources as the area is further developed. It is recommended the Non-P.oint,Source Plan- ning Group reviews the section on the "Effects of Terrible Creek WWTP and Interceptor Sewers on Non -Point Source Pollution". Other aspects of the impact of the proposed treatment works on the water quality of the receiving surface waters seem to have been properly addressed in the assessment. If you need further assistance on this matter, please contact me at ext. 510. cc: Dale Overcash Bill Kreutzberger