HomeMy WebLinkAboutNCG030486_SWPPP with Outfall Info_20231020 STORM WATER POLLUTION
PREVENTION PLAN (SWPPP)
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Innovation has a name.
WATER SYSTEMS DIVISION — STATE INDUSTRIES
DIVISION OF A.O. SMITH WATER PRODUCTS COMPANY
4302 RALEIGH STREET
CHARLOTTE, NORTH CAROLINA 28213
J U LY 2023
TABLE OF CONTENTS
INTRODUCTION......................................................... 1
.....................
Regulatory Background
SECTION 1 — RESPONSIBLE PARTY........................................... 2
Pollution Prevention Team
Management Certification
SECTION 2 — GENERAL FACILITY INFORMATION................................ 3
Facility Information
General Location Map (Figure 2-1
SECTION 3 — SITE DRAINAGE.. 5
.........................................................
Potential Pollutant Sources (Table 3-1)
Drainage Basin Characteristics (Table 3-2)
Site Ma (Figure 3-1
SECTION 4 — DESCRIPTION OF POTENTIAL POLLUTANT SOURCES...... 8
Description of Industrial Processes
Inventory of Exposed Materials Table 4-1
Summary of Significant Potential Pollution Sources
SARA 313 Water Priority Chemicals
SECTION 5 — FEASIBILITY REVIEW OF CHANGING OPERATIONS 10
SECTION 6 — EVALUATION OF STORMWATER OUTFALLS 11
SECTION 7 — STORMWATER BMP SUMMARY...................................... 12
Summary of Existing Control Measures (Table 7-1 )
SECTION 8 — SECONDARY CONTAINTMENT PLAN............................... 14
SECTION 9 — SPILL PREVENTION AND RESPONSE PROCEDURES........ 15
SECTION 10 — SOLVENT MANAGEMENT PLAN 16
..................................
SECTION 11 — PREVENTATIVE MAINTENANCE AND GOOD 17
HOUSEKEEPING..............................................................................
Preventative Maintenance and Good Housekeeping Program
Sediment and Erosion Control
SECTION 12 — EMPLOYEE TRAINING.. 19................................................
SECTION 13 — REPRESENTATIVE OUTFALL STATUS........................... 20
SECTION 14 — ANNUAL SWPPP REVIEW AND UPDATE........................ 21
SECTION 15 — ANNUAL ON-LINE SWPPP CERTIFICATION..................... 22
SECTION 16 — NOTICE TO MODIFY THE SWPPP.. 22
.................................
SECTION 17 — SWPPP DOCUMENTATION............................................ 22
SECTION 18 — STORMWATER MONITORING PLAN .............................. 23
Qualitative Monitoring Requirements (Part D)
Analytical Monitoring Requirements (Part E)
Pollutants to be Sampled
Storm Parameters to be Recorded
Sample Location
Sample Type and Frequency
Benchmark Values for Analytical Monitoring Requirements
Submission of Analytical Monitoring Requirements
APPENDICES
A — CERTIFICATE OF COVERAGE NCG030486
B - GENERAL STORMWATER PERMIT NCG030000
C - RESPONSIBLE PARTIES
D — NOT USED
E - SPILL PREVENTION CONTROL AND COUNTERMEASURE PLAN
F - PERIODIC INSPECTION CHECKLIST
G - ANNUAL PLAN REVIEWS FORM
H - QUALITATIVE MONITORING REPORT FORM SWU-242
I - ANALYTICAL DISCHARGE MONITORING REPORT FORM SWU-264
J — TIER 1 RESPONSE LOG
K — TIER 2 RESPONSE LOG
Introduction
REGULATORY BACKGROUND
In 1972, the Federal Water Pollution Control Act (also referred to as the Clean Water Act
[CWA])was amended to provide that the discharge of pollutants to waters of the United
States from any point source be prohibited, unless the discharge is in compliance with a
National Pollutant Discharge Elimination System (NPDES) permit. The 1987
amendments to the CWA added Section 401 (p) which established a framework for
regulating municipal and industrial stormwater discharges under the NPDES Program.
On November 16, 1990, the EPA published final regulations which established
application requirements for stormwater permits. These regulations required specific
categories of industrial facilities which discharge stormwater associated with industrial
activity, either directly to surface waters or indirectly through municipal separate storm
sewers to obtain an NPDES permit for these stormwater discharges. Facilities operating
under Standard Industrial Classification Code 3443 are required to obtain a stormwater
discharge permit if they have industrial activities actually exposed to stormwater. The A.
O. Smith Water Systems Division of State Industries has specific industrial activities
exposed to stormwater, and therefore, must obtain NPDES permit coverage for their
stormwater discharges.
The State of North Carolina Department of Environmental Quality (DEQ) has been
delegated the authority by the USEPA to administer the NPDES permit program. The
DEQ has elected to regulate the majority of industrial stormwater discharges under a
series of general permits. Permit No. NCG030000 applies to facilities operating under
SIC Codes 3398, 335, 34, 35, 36, 37, 38.
Since the original issuance of General Permit No. NCG030000 in the early 1990's, this
permit has expired and been reissued a number of times. Each time this permit expired,
the facility has submitted a timely reapplication for coverage under the next reissuance
of the permit. The current issuance of General Permit No. NCG030000 has an effective
date of July 1, 2021 and an expiration date of June 30, 2026. A copy of the notification
letter from DEQ received by the facility under the reissued permit, No. NCG030486 is
provided as Appendix A. A copy of the current issuance of General Permit No.
NCG030000 is provided in Appendix B.
Part B of General Permit No. NCG030000 (dated July 1, 2021) requires each permittee
to develop, implement and maintain a Storm Water Pollution Prevention Plan (SWPPP).
Facilities with an existing SWPPP are required to update this plan to address the
provisions of the new general permit. Due to the extensive updates required between the
previous (2008) permit and the current permit, the facility has decided to submit an
entirely reconfigured and updated SWPPP.
1
Section 1
RESPONSIBLE PARTY
Pollution Prevention Team
Part B-1 of Permit No. NCG030000 (dated July 1, 2021) requires the identification of
specific positions responsible for the overall coordination, development, implementation,
and revision of the SWPPP. For purposes of this plan, Ms. Alexandra Rice, Environmental
Coordinator, serves as the overall Pollution Prevention Coordinator. She is supported by
Laura Viers, Plant Manager, and Brandon Woo, Senior Project Engineer, and assisted
on an as-needed basis by representatives from the following departments.
• Production
• Maintenance
• Buildings and Grounds
• Wastewater Treatment
• Shipping
• Engineering
Responsible parties for all components of the SWPPP are provided in Appendix C.
Management Certification
In accordance with Part H Section H-1(b) and (d) of Permit No. NCG030000, the following
certification statement is provided with respect to the development of this SWPPP —
"I certify under penalty of law that this document and all attachments were
prepared under my direction or supervision in accordance with a system
designed to assure that qualified personnel properly gathered and evaluated
the information submitted. Based on my inquiry of the person or persons
who manage the system, or those persons directly responsible for gathering
the information, the information submitted is, to the best of my knowledge
and belief, true, accurate, and complete. I am aware that there are
significant penalties for submitting false information, including the possibility
of fine and imprisonment for knowing violations."
Signature: Date:
Laura Viers, Plant Manager
Water Systems Division
State Industries
2
Section 2
GENERAL FACILITY INFORMATION
Facility Information
NAME OF FACILITY: A. O. Smith Water Systems
Division of State Industries
PLANT LOCATION: 4302 Raleigh Street
Charlotte, North Carolina 28213
LATITUDE & LONGITUDE: Latitude 35' 15' 11" (35.253281)
Longitude 80' 47' 23" (-80.789798)
OWNER OF FACILITY: A.O. Smith Corporation
11270 West Park Place, Suite 170
Milwaukee, Wisconsin 53224
(414) 359-4100
FACILITY CONTACT: Ms. Laura Viers
Plant Manager
(704) 597-8910
TYPE OF INDUSTRY: SIC Code 3443
Fabricated Plate Work
NAICS Code 332420
Metal Tank Manufacturing
OPERATING SCHEDULE: 8 hours/day, 5 days/week
RECEIVING WATER: Little Sugar Creek, Class C waters in the
Catawba River Basin, via City of
Charlotte storm sewer system
NORTH CAROLINA NPDES GENERAL
STORMWATER PERMIT NUMBER: NCG030000
DATE OF PERMIT ISSUANCE: July 1, 2021
DATE OF PERMIT EXPIRATION: June 30, 2026
CERTIFICATE OF COVERAGE NO.: NCG030486
3
Figure 2-1 — General Location Map
SITE OUTFALL TO CITY OF CHARLOTTE MUNICIPAL
COLLECTION SYSTEM Iti RALEIGH STREET
ULTIMATE OUTFALL 70 LJTZLE SUGAR CREEK
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Little Sugar Creek, the receiving water for the site's stormwater discharge, is currently
considered impaired.
A TMDL exists for Dissolved Oxygen and Fecal Coliform.
4
Section 3
SITE DRAINAGE
A. O. Smith Water Systems Division of State Industries is located at 4302 Raleigh Street
in Charlotte, North Carolina. In accordance with Part B-3 of Permit No. NCG030000 (dated
July 1, 2021), a Site Map of the facility that clearly depicts all required features is provided
in Figure 3-1. This map identifies the drainage patterns and drainage area of each
stormwater outfall, the location of existing structural control measures used to reduce
pollutants in stormwater runoff, locations where significant materials are exposed to
stormwater, and all locations where potential pollutant sources could be exposed to
stormwater.
As shown on the Site Map, all of the stormwater which falls onto the site enters a City of
Charlotte municipal storm sewer that transects the site from approximately the midpoint
of the rear property boundary and flows in a northwesterly direction. The facility has three
(3) separate connections or outfalls to this storm sewer. Outfall 01 is located south of the
facility in a railroad right of way and captures sheet flow runoff from the southern portion
of the site, as well as runoff in the railroad right of way. It should be noted that there are
no industrial activities present in the drainage area for Outfall 001. Outfall 002 is a storm
sewer inlet that is located in the southwestern portion of the yard that captures runoff from
the yard and a portion of the roof runoff from Buildings A, B and C. Outfall 003 is a storm
sewer inlet that is located in the northeastern portion of the yard that captures runoff from
the yard and a portion of the roof runoff from Buildings A and C.
The City of Charlotte municipal storm sewer to which Outfalls 002 and 003 are connected
ultimately discharges into Little Sugar Creek which is located north and west of the subject
site. It should be noted that portions of Little Sugar Creek are on the State of North
Carolina's 303(d) list of impaired waters for ecological and biological integrity, and a TMDL
(Total Maximum Daily Load) has been established for portions of Little Sugar Creek for
Dissolved Oxygen and Fecal Coliform.
Table 3-1 Potential Pollutant Sources
1 Pole Barn
2 Air Compressors
3 Cooling Tower
4 Empty Washer Chemical Tote Storage Area
5 Wooden Pallet Storage Areas
6 Scrap / Solid Waste Storage Luggers
7 Material Handling Bin Storage Area
5
Table 3-2 Drainage Basin Characteristics
Outfall Impervious Pervious Total
001 48,350 sq. ft. 179,650 sq. ft 228,000 sq. ft.
002 199,500 sq. ft. 0 sq. ft. 199,500 sq. ft.
003 142,500 sq. ft. 0 sq. ft. 142,500 sq. ft.
TOTAL 390,350 sq. ft. 179,650 sq. ft. 570,000 sq. ft.
6
Figure 3-1 — Site Map
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PROPERTY BOUNDARY
PIPED STORMWATER INFRASTRUCTURE
- - - - - - - - - SITE OUTFALL DASIN BOUNDARY AND LABEL
Q STORMWATER STRUCTURE
SITE OUTFALL
PLOW DIRECTION
aLOCATION OF P07ENTIAL POLLUTANT SOURCE
7
Section 4
DESCRIPTION OF POTENTIAL POLLUTANT SOURCES
Description of Industrial Processes
In accordance with Part B-4 of Permit No. NCG030000 (dated July 1, 2021) the following
is a narrative description of the industrial processes present which have the potential to
expose polluting materials to stormwater discharges. These activities are summarized in
Table 4-1 and are shown on the site drainage map (Figure 3-1). Table 4-1 also identifies
the potential pollutants associated with each industrial activity.
Table 4-1 — Inventory of Exposed Materials
Potential Pollutant Source Potential Pollutants
1 . Paint Shed Oil & grease
2. Air Compressors Oil & grease
3. Cooling Tower Water treatment chemicals
4. Empty Washer Chemical Tote Storage Area Phosphates & alkaline cleaners
5. Wooden Pallet Storage Areas Solids
6. Scrap / Solid Waste Storage Luggers Solids, oil & grease, metals
7. Material Handling Bin Storage Area Solids, oil & grease
1. Paint Shed — The Paint Shed is located east of Building A and is used for the
storage of 55-gallon drums of hydraulic oil, lubricating oils, used oils and hazardous
and nonhazardous chemical wastes. It got its name because it was previously used
to store drums of liquid coatings prior to the conversion to powder coating at this
facility.
2. Air Compressors — Several air compressors are located outside to the east of
Building A.
3. Cooling Tower — A small cooling tower is located outside at the southeast corner
of Building A.
4. Empty Washer Chemical Tote Storage Area — Empty 275-gallon plastic totes
equipped with steel cages are stored at the southeast corner of the site.
5. Wooden Pallet Storage Areas — Wooden pallets are stored near the southeast
corner of the site and along the east side of Building C.
6. Scrap /Solid Waste Storage Luggers— Luggers are used for the collection of scrap
8
metal, trash/rubbish, wood and cardboard. These are staged in the southeast
corner of the main yard area south of Building A.
7. Material Handling Bin Storage Area — Empty metal material handling bins are
stored at the southwest corner of the site on an impervious surface.
Summary of Significant Potential Pollution Sources
Based upon a review of the inventory of exposed materials, it was determined that the
following areas have the greatest potential for contributing significant pollutant(s) to
stormwater discharges:
• Paint shed — Source 1
• Scrap / solid waste storage luggers — Source 6
SARA 313 Water Priority Chemicals
Based upon a review of 2007 manufacturing operations, the facility does not use any
SARA 313 chemicals in amounts that exceed the TRI reporting thresholds. Because of
this the facility is not required to submit a Toxics Release Inventory. Therefore by
definition, the facility does not handle any SARA 313 water priority chemicals.
9
Section 5
FEASIBILITY REVIEW OF CHANGING OPERATIONS
According to Part B-5 of Permit No. NCG030000 (dated July 1, 2021), a review of the
technical and economic feasibility of changing the methods of operations and/or storage
practices to eliminate or reduce exposure of materials and processes to rainfall and runoff
flows must be performed. Wherever practical, the permittee shall prevent exposure of all
storage areas, material handling operations, and manufacturing or fueling operations. In
areas where elimination of exposure is not practical, the review shall document the
feasibility of diverting the stormwater runoff away from areas of potential contamination.
The facility already employs a number of traditional stormwater management practices
to control and manage the quality and quantity of stormwater runoff. These include:
• Covering of potential pollutant sources
• Grading of industrial activity areas to divert storm flow from material exposure
• Use of grass lined channels for stormwater conveyance
• Containment basins or diking around chemical storage areas
Based upon a thorough review of site operations, no evidence of additional practices are
needed at this time; however, although no leaks were observed, the site has several
dumpsters without covers which could lead to future leaks if not addressed.
10
Section 6
EVALUATION OF STORMWATER OUTFALLS
As required by Part B-6 of Permit No. NCG030000 (dated July 1, 2021), the permittee
shall evaluate all stormwater outfalls on an annual basis for the presence of non-
stormwater discharges.
If no non-stormwater discharges are present, the permittee shall certify the evaluation
results. This certification shall be dated and signed in accordance with the requirements
found in Part H-1 (Signatory Requirements) of Permit No. NCG030000 and retained with
the SWPPP.
If non-stormwater discharges are present, the permittee shall identify the source and
record whether the discharge is otherwise permitted by rule or a different permit. The
permittee shall evaluate the environmental significance of the non-stormwater
discharges. A summary written record shall be dated and signed in accordance with the
requirements found in Part H-1 (Signatory Requirements) of Permit No. NCG030000 and
retained with the SWPPP.
Because all discharges from the site that enter the municipal storm sewer system must
first flow over land into an rm drain, any non-stormwater discharges that occur will be
visually observable. One source of a non-stormwater discharge that may periodically be
present is water used for the pressure testing of water tank diaphragms.
An examination for the presence of non-stormwater discharges is made during the
routine monthly inspections (See Section 11 Preventative Maintenance and Good
Housekeeping and Appendix F).
11
Section 7
STORMWATER BMP SUMMARY
There are existing stormwater best management practices (BMPs) associated with each
of the specific potential pollutant sources previously identified in Section 4. These specific
stormwater control measures are summarized below in Table 7-1.
As required by Part B-7 of Permit No. NCG030000 (dated July 1, 2021), the installation
and implementation of BMPs is based on the assessment of the potential for sources to
contribute significant quantities of pollutants to stormwater discharges and on data
collected through monitoring of stormwater discharges. The BMP Summary shall be
reviewed and updated annually. The BMP Summary shall include:
• Written record of the specific rational for installation and implementation of the
selected site BMPs.
o Outfall 001 is located south of the facility in a railroad right of way and
captures sheet flow runoff from the southern portion of the site, as well as
runoff in the railroad right of way. Outfall 002 is a storm sewer inlet that is
located in the southwestern portion of the yard that captures runoff from the
yard and a portion of the roof runoff from Buildings A, B and C. Outfall 003
is a storm sewer inlet that is located in the northeastern portion of the yard
that captures runoff from the yard and a portion of the roof runoff from
Buildings A and C. Each of the outfalls is located to collect runoff from the
site.
• Structural and nonstructural practices to minimize the exposure and transport of
materials in stormwater.
o At this time, Outfalls 001, 002, and 003 do not have structural practices
being implemented on site. The facility has recently replaced/repaired their
roofs, which was a previous source of pollutant contamination in the
stormwater runoff. The facility also performs periodic sweeping and has
dumpsters located from outfall locations.
• BMPs for vehicle maintenance activities.
o No vehicular maintenance is performed at the subject facility. Maintenance
by a third party is performed on forklifts internal to the buildings.
12
Table 7-1 — Summary of Existing Control Measures
POTENTIAL POLLUTANT SOURCE EXISTING CONTROL MEASURE
1. Paint Shed a) Canopy roof over entire area
b) Adequate secondary containment
c) Control measures handled in SPCC plan
d Periodic inspections of area
2. Air Compressors a) Canopy roof over compressors
b) Scheduled preventive maintenance
c) Periodic inspections of area
3. Cooling Tower a) Canopy roof over tower
b) Scheduled preventive maintenance
c) Periodic inspections of area
4. Empty Washer Chemical a)Bungs and valves tightly closed
Tote Storage Area b)Periodic inspections of area
5. Wooden Pallet Storage Areas a) Good housekeeping is practiced
b) Periodic inspections of area
6. Scrap / Solid Waste Storage Luggers a)Good housekeeping is practiced
b)Luggers have sealed bottoms
c Periodic inspections of area
7. Material Handling Bin Storage Area a)Good housekeeping is practiced
b Periodic inspections of area
13
Section 8
SECONDARY CONTAINMENT PLAN
In order to prevent leaks and spills from contaminating stormwater runoff, Part B-8 of
Permit No. NCG030000 (dated July 1, 2021) requires secondary containment for:
• bulk storage of liquid materials including petroleum products;
• storage in any amount of water priority chemicals listed in Section 313 of Title III
of the Superfund Amendments and Reauthorization Act (SARA);
• and storage of hazardous substances in any amount.
For facilities subject to the federal Spill Prevention, Control, and Countermeasure (SPCC)
regulation, the SPCC Plan may be used to support compliance with this requirement. The
Secondary Containment Plan shall include:
• A table or summary of tanks and stored materials equipped with secondary
containment systems;
• Manually activated valves or other similar devices that are securely closed with a
locking mechanism if the secondary containment devices are connected to the
stormwater conveyance system;
• A commitment to visually observe any accumulated stormwater prior to release for
color, foam, outfall staining, visible sheens, and dry weather flow;
• A commitment to only release accumulated stormwater that is uncontaminated by
any material; and
• Records on every release from a secondary containment system that include: the
individual making the observation, a description of the accumulated stormwater,
and the date and time of the release. These records shall be kept for a period of
five (5) years.
The Paint Shed, located east of Building A, is used for the storage of 55-gallon drums of
hydraulic oil, lubricating oils, used oils and hazardous and nonhazardous wastes. The
entire area is provided with a canopy roof and the drum storage area is surrounded by
two-inch angle iron that provides approximately 2,500 gallons of secondary containment.
The hazardous waste storage area is fenced and surrounded by a twelve-inch concrete
containment curb. Access to this area is via a concrete ramp. Other than the Paint Shed,
there are no other outside chemical storage areas.
A copy of the facility's Secondary Containment Plan is enclosed in the Spill Prevention
Control, and Countermeasure Plan enclosed in Appendix E.
14
Section 9
SPILL PREVENTION AND RESPONSE PROCEDURES
Part B-9 of Permit No. NCG030000 (dated July 1, 2021) requires that a responsible
person shall be on-site at all times during facility operations that have potential to
contaminate stormwater runoff through spills or exposure of materials associated with the
facility operations.
The Spill Prevention and Response Procedures (SPRP) shall include:
• An assessment of areas of the facility where there is the potential for spills;
• A list of trained facility personnel responsible for implementing the SPRP;
• A signed and dated acknowledgement in which staff members accept
responsibilities for the SPRP;
• An inventory of spill response materials and equipment and the locations for
storing these items;
• Written procedures for proper cleanup and disposal of spilled materials; and
• A list of significant spills or leaks of pollutants that have occurred during the
previous three 3) years and any corrective actions taken to mitigate spill impacts
or the notation that no spills have occurred. This list shall be updated on annual
basis.
The facility's Spill Prevention Control and Countermeasure (SPCC) Plan describes the
preventive measures in place to prevent the release of oil and other petroleum products
to the environment and contains established procedures for responding to releases that
may occur. This Plan fulfills the federal SPCC regulation compliance requirements of the
permit. See Appendix E for the facility's SPCC Plan.
There are three (3) areas at the facility where oils or chemicals are stored in quantities
where the potential for spills to occur exists. These include:
1. Paint Shed — Source 1
2. Washer Chemical Tote Staging Area — not identified previously as a stormwater
source because these chemicals are staged inside Building C prior to being used.
3. Empty Washer Chemical Tote Storage Area — Source 4
The Paint Shed is designed to provide adequate secondary containment for all materials
stored in this area. The washer chemical tote staging area is provided with secondary
containment by means of a concrete containment berm. Totes of washer chemicals are
stored in Building C and are provided with adequate secondary containment by virtue of
the absence of floor drains within the building.
15
Section 10
SOLVENT MANAGEMENT PLAN
The Solvent Management Plan, also known as the Toxic Organic Management Plan, is
required by Part B-10 of Permit No. NCG030000 (dated July 1, 2021) and shall include:
• an annually updated and quantified inventory of solvents present on site during
the previous three years;
• a narrative description of the facility locations and uses of solvents;
• the method of disposal, including quantities disposed on -site and off-site; and
• the management procedures and engineering measures for assuring that solvents
do not spill or leak into stormwater.
The facility's Plan contains procedures for managing the use and handling of toxic organic
chemicals to prevent their release into either the sanitary or storm sewer systems.
A Toxic Organic Management Plan (aka a Solvent Control Plan)for the facility is enclosed
with the SPCC in Appendix E and contains procedures for managing the use and
handling of toxic organic chemicals to prevent their release into either the sanitary or
storm sewer systems.
16
Section 11
PREVENTATIVE MAINTENANCE AND GOOD HOUSEKEEPING
Preventative Maintenance and Good Housekeeping Program
Part B-11 of Permit No. NCG030000 (dated July 1, 2021) requires a preventative
maintenance and good housekeeping program (PMGHP) to be developed and
implemented for any stormwater management control systems or plant systems which
have the ability to impact stormwater discharges. The PMGHP ensures that good
housekeeping practices are incorporated into the facility's stormwater management
programs and that the facility practices good housekeeping in those areas where
significant potential exists for material contact with stormwater.
The PMGHP shall include:
• A schedule of inspections, maintenance, and housekeeping measures for
industrial activity areas. For the facility these areas include:
o Material loading and unloading areas
o Pallet storage areas
o Empty washer chemical tote storage area
o Scrap material storage luggers
Periodic inspections will be made of these areas to assure that they are maintained in a
clean and orderly manner. The need to practice good housekeeping in these areas will
be incorporated into appropriate employee training programs. Inspections shall occur at
a minimum on a quarterly schedule (January - March, April - June, July - September,
October - December). These monthly inspections are documented on a Periodic
Inspection Checklist (see Appendix F). These checklists identify the date of the
inspection, the person(s) conducting the inspection, areas inspected, problems or
deficiencies found, and appropriate corrective actions. The Pollution Prevention
Coordinator retains the completed Periodic Inspection Checklists in a separate file. Any
exceptions noted during these inspections are documented on a written exception report
and distributed to appropriate personnel for corrective action where required.
• A plan for disposing spent lubricants and fuels properly and in accordance with
applicable federal disposal regulations.
• A record of inspections, maintenance, and housekeeping activities.
The facility does not currently have any stormwater management control systems in place
that require periodic preventive maintenance. There are several air compressors and a
small cooling tower that are located outside that have the ability to impact stormwater
discharges. These devices are periodically inspected in accordance with the facility's
preventive maintenance schedule for all major pieces of operating equipment.
17
Sediment and Erosion Control
There are presently no areas on the site where erosion can occur to any significant
degree. The majority of the land surface is either paved, grassed, or occupied by a
physical structure. Filters installed at outfall structures should be inspected quarterly and
after significant rainfall events for sediment collection from the paved vehicular areas.
Sediment should be removed from the filters as needed to ensure the filters function as
designed.
18
Section 12
EMPLOYEE TRAINING
Part B-12 of Permit No. NCG030000 (dated July 1, 2021) requires that periodic training
be developed and provided on an annual basis with respect to the content of this plan for
facility personnel responsible for operations that have the potential to contaminate
stormwater runoff. Employees are trained at the time of hire if appropriate and annual
reviews on the procedures identified in this plan are conducted thereafter. All aspects of
this and any associated documents are reviewed during these training sessions. The
members of the Pollution Prevention Team (as presented in Appendix C) and any
employee who is involved in the use, storage, or transfer of materials outside the facility
or within the loading/unloading areas at the plant will be familiar with the contents of this
plan.
Records from the training sessions are retained by the Pollution Prevention Coordinator,
and include the date of the training session, leader of the training session, attendees'
names and signatures, and a brief description of the topics covered. As situations change
and the plan is updated, the employees will be informed of the modifications to the plan
by means of such training sessions.
These annual employee training sessions will, at a minimum cover the following topics:
• General stormwater awareness;
• The provisions of the current NCG030000 general permit.
• Spill response training;
• Used oil management;
• Spent solvent management;
• Secondary containment releases;
• Fueling procedures;
• Disposal of spent abrasives;
• Sanding, painting, and blasting procedures, and
• Used battery management.
19
Section 13
REPRESENTATIVE OUTFALL STATUS
If a facility has multiple discharge locations with substantially identical stormwater
discharges that are required to be sampled, the permittee may petition the Director for
representative outfall status ROS). If it is established that the stormwater discharges are
substantially identical and the permittee is granted representative outfall status, then
analytical sampling requirements may be performed at a reduced number of outfalls.
If the Division has granted ROS, documentation from the Division shall be part of the
SWPPP. The permittee shall notify the Division of any site or activity modifications that
result in a change to ROS.
The permittee must request reissuance of ROS by submitting a written request to the
Division's Central Office within thirty (30) days prior to the expiration of this General
Permit to maintain ROS.
At this time, the facility feels it is reasonable to monitor Outfalls 002 and 003 and is not
seeking Representative Outfall Status. If after continued sampling it is determined that
pollutants are substantially identical, the facility may opt to seek ROS.
20
Section 14
ANNUAL SWPPP REVIEW AND UPDATE
In addition to the periodic inspections discussed in Section 11, an annual comprehensive
plan review is conducted in order to assure that all components of this plan remain current
and accurate. This annual review is required by Part B-14 of Permit No. NCG030000
(dated July 1 , 2021). The annual SWPPP review shall include a review and comparison
of sample analytical data to benchmark values over the past year, including a discussion
about Tiered Response status. The Division's Annual Summary Data Monitoring Form
shall be used. Where revisions or modifications to the plan are deemed necessary, they
are incorporated into this plan and implemented as soon as possible. A report
summarizing the results of this annual review and any necessary follow-up actions is
prepared and maintained by the Environmental Coordinator. An example of this form is
provided in Appendix G.
In accordance with Part B-14 of Permit No. NCG030000 (dated July 1, 2021), this Storm
Water Pollution Prevention Plan will be amended in accordance with the following
requirements:
1. Whenever there is a change in design, construction, operation, or maintenance of
the facility, which has a significant effect on the potential for the discharge of
pollutants to surface waters; or
2. If NCDEQ provides notification that the plan does not meet one or more of the
minimum permit requirements. Within 30 days of such notice, the facility must
submit a time schedule to the NCDEQ for modifying this plan to meet the minimum
permit requirements. The facility must also provide written certification to the
NCDEQ that the required changes have been made.
21
Section 15
ANNUAL ON-LINE SWPPP CERTIFICATION
After the Division's ePermitting system develops the capability to receive this information,
the permittee shall submit an on-line certification that the annual SWPPP review and
update has been completed in a manner that meets the conditions of this permit.
Section 16
NOTICE TO MODIFY THE SWPPP
The Director may notify the permittee when the SWPPP does not meet one or more of
the minimum requirements of the permit. Within 30 days of such notice, the permittee
shall submit a time schedule to the Director for modifying the SWPPP to meet minimum
requirements. Upon completion of the modifications, the permittee shall provide
certification in writing in accordance with HH1 and HH7 of this permit to the Director that
the changes have been made.
Section 17
SWPPP DOCUMENTATION
The Environmental Coordinator/Pollution Prevention Coordinator will retain a copy of all
Periodic Inspection Report Sheets, Preventive Maintenance Report Sheets, Employee
Training Records, Spill Reports, and Annual Site Compliance Evaluations. Part B-17 of
Permit No. NCG030000 (dated July 1, 2021) requires copies of the SWPPP to be
maintained on-site and be available electronically to the Division upon request. These
records or copies shall be maintained for a period of at least five (5) years. This period
may be extended by request of the Director at any time [40 CFR 122. 41].
22
Section 18
STORMWATER MONITORING PLAN
Although not specifically required by Permit No. NCG030000 (dated July 1, 2021), A. O.
Smith State Industries believes it is appropriate to include within this plan a summary of
the stormwater monitoring plan developed for the facility. This monitoring plan was
prepared to comply with the monitoring requirements found in Parts D and E of Permit
No. NCG030000.
QUALITATIVE MONITORING REQUIREMENTS (PART D)
In addition to the quarterly analytical monitoring requirements described above, visual
inspections of stormwater runoff entering Outfalls 002 and 003 must be made during the
same storm event from which samples are collected for analytical monitoring purposes.
These visual inspections must consider the following parameters:
➢ Color
➢ Odor
➢ Clarity
➢ Floating solids
➢ Suspended solids
➢ Foam
➢ Oil sheen
➢ Erosion or deposition at the outfall
➢ Other obvious indicators of stormwater pollution
The results of this qualitative monitoring must be recorded on Stormwater Discharge
Outfall Qualitative Monitoring Report form SWU-242 (Appendix H). These results do not
need to be submitted to NCDEQ but must be maintained on-site as part of this SWPPP.
If the qualitative monitoring indicates that the SWPPP or existing stormwater BMPs are
ineffective, or that significant stormwater contamination is present, then the permittee
shall investigate potential causes, evaluate the feasibility of corrective actions, and
implement those feasible corrective actions withing sixty (60) days.
ANALYTICAL MONITORING REQUIREMENTS (PART E)
Pollutants to be Sampled
At a minimum, Part E-2 of Permit No. NCG030000 requires monitoring for the following
pollutants:
➢ pH
➢ Oil and Grease
➢ Total Suspended Solids (TSS)
23
➢ Chemical Oxygen Demand (COD)
➢ Lead
➢ Copper
➢ Zinc
➢ Total Rainfall
Storm Parameters to be Recorded
For each storm event sampled, the following storm parameters are recorded and
reported:
➢ Date of storm event
➢ Duration of storm event (in hours)
➢ Total precipitation received during storm event
➢ Time duration since last measurable storm event (greater than 0.1 inch rainfall)
Sample Location
Samples will be collected from Outfalls 002 and 003, as these are the outfalls that receive
the majority of stormwater runoff from areas where industrial activities are present.
Sample Type and Frequency
Grab samples of the stormwater discharge entering Outfalls 002 and 003 must be
collected within thirty minutes of the time stormwater begins to flow into the outfall. The
samples must be collected during a storm event that meets the definition of a
representative storm event. A representative storm event is defined as a storm event
that measures greater than 0.1 inches of rainfall and that is preceded by at least 72 hours
in which no storm event measuring greater than 0.1 inches has occurred. A single storm
event may contain up to ten (10) consecutive hours of no precipitation.
Samples must be collected quarterly from four separate monitoring periods per year
unless the facility is in Tier Two or Tier Three status.
A minimum of 30 days must separate each sample event during the following periods:
➢ January 1 — March 31
➢ April 1 — June 30
➢ July 1 — September 30
➢ October 1 — December 31
Benchmark Values for Analytical Monitoring Requirements
The results of all analytical monitoring must be compared to the benchmark values
contained in the following table.
24
Parameter Benchmark Value
pH Within range 6.0 — 9.0
Oil and Grease 15 mg/I
Total Suspended Solids (TSS) 100 m /I
Chemical Oxygen Demand (COD) 120 mg/L
Lead T 0.075 m /I
Copper (Cu) 0.01 mg/L
Zinc (Zn) 0.126 mg/I
An exceedance of any benchmark value shall require a tiered response for that outfall. A
single exceedance of a benchmark value shall require a Tier One response for that outfall.
Two benchmark value exceedances in a row shall require a Tier Two response for that
outfall. Four benchmark exceedances for a parameter within the permit term shall require
a Tier Three response for that outfall.
Tier One (Section E-5) — Single Benchmark Exceedance
The facility will remain in Tier One status until three consecutive samples are under the
benchmark or are inside the benchmark range for all parameters.
a) If any sampling result is above the benchmark value for any parameter at any
outfall, then the permittee shall respond in accordance with Table 3 in Section E-
5 of Permit No. NCG030000 (dated July 1, 2021) to identify and address the source
of that exceedance for that parameter.
b) Each required response shall be documented in the SWPPP as each action occurs
including; the date and value of the benchmark exceedance, the date the Division'
s Regional Office was notified of the exceedance, the inspection date, the
personnel conducting the inspection, the selected feasible actions, and the date
the selected feasible actions were completed. A response log is included in
Appendix J.
c) Each exceedance of a benchmark parameter shall individually require a Tier One
response.
d) The Tier One response shall be in accordance with Table 3 in Section E-5 of
Permit No. NCG030000 (dated July 1, 2021).
Tier 2 (Section E-6) — Two Consecutive Benchmark Exceedances
The facility will remain in Tier Two status until three consecutive samples are under the
benchmark or are inside the benchmark range for all parameters.
a) If any two consecutive sampling results in a row for the same parameter are above
the benchmark value at an outfall, then the permittee shall respond in accordance
with Table 4 in Section E-6 of Permit No. NCG030000 (dated July 1, 2021) to
identify and address the source of exceedances for that parameter. Immediately
institute monthly monitoring for all parameters at every outfall where a sampling
25
result exceeded the benchmark value for two consecutive samples. Monthly
monitoring (both analytical and qualitative) shall continue until three consecutive
sample results are below the benchmark values, or within the benchmark range.
b) After implementing the specific feasible courses of action, perform monthly
monitoring at every outfall where a sampling result exceeded the benchmark value
for two consecutive samples for all parameters until three samples in a row are
below the benchmark value or are inside the benchmark range. Maintain a record
of the Tier Two response in the SWPPP (Appendix K).
c) Each required response shall be documented in the SWPPP as each action occurs
including; the dates and values of the benchmark exceedances, the date the
Division's Regional Office was notified of the consecutive exceedances, the
inspection date, the personnel conducting the inspection, the selected feasible
actions, the date the selected feasible actions were completed, and the monthly
monitoring results.
d) Each pair of two consecutive exceedances of a single benchmark parameter at a
single outfall shall constitute an event that requires a Tier Two response.
e) The Tier Two response shall be in accordance with Table 4 in Section E-6 of
Permit No. NCG030000 (dated July 1, 2021).
f) Alternatively, in lieu of the Tier Two response, the permittee may, after two
consecutive exceedances, implement a Tier Three response.
Tier 3 (Section E-7) — Four Benchmark Exceedances Within the Permit Term
The facility will remain in Tier Three status until three consecutive samples are under the
benchmark or are inside the benchmark range for all parameters.
a) If any four sampling results within the permit term for any single parameter are
above the benchmark value at a sampled outfall, then the permittee shall respond
in accordance with Table 5 in Section E-7 of Permit No. NCG030000 (dated July
1, 2021) to identify and address the source of exceedances for that parameter at
that outfall.
b) The permittee shall prepare a written Action Plan and submit to the Division' s
Regional Office for review and approval within thirty (30) days of receipt of the
fourth analytic monitoring data point that exceeds the benchmark value. At a
minimum, the Action Plan shall include:
i. documentation of the four benchmark exceedances,
ii. an inspection report that covers the industrial activities within the drainage
area of the outfall with the exceedances (including the date of the inspection
and the personnel conducting the inspection),
iii. an evaluation of standard operating procedures and good housekeeping
procedures,
iv. identification of the source(s) of exceedances,
V. specific actions that will be taken to remedy the identified source(s) with a
schedule for completing those actions, and
vi. a monitoring plan to verify that the Action Plan has addressed the source(s).
c) The permittee shall keep the Action Plan in the SWPPP and document when each
26
specific action was carried out and by whom.
d) The permittee shall contact the Division' s Regional Office when all actions in the
Action Plan are completed.
e) The Tier Three response shall be in accordance with Table 5 in Section E-7 of
Permit No. NCG030000 (dated July 1, 2021).
SUBMISSION OF ANALYTICAL MONITORING RESULTS
In accordance with Part F of Permit No. NCG030000, all samples analyzed in accordance
with the terms of Permit No. NCG030000 must be submitted to the Division of Water
Quality on the Stormwater Discharge Outfall Monitoring Report form SWU-264 provided
by NCDEQ (Appendix 1). These monitoring reports must be submitted no later than 30
days from the date the facility receives the sampling results from the laboratory. The DMR
shall be signed by a person meeting the Signatory requirements in Section H-1 of Permit
No. NCG030000.
In accordance with Section F-2, paper reports should be submitted to the following
address:
Mooresville Regional Office
610 East Center Avenue, Suite 301
Mooresville, North Carolina 28115
Electronic submittal of the DMR forms is available at this time. The permittee shall
register in eDMR and begin reporting discharge monitoring data upon completion of the
registration.
27
APPENDIX A
CERTIFICATE OF COVERAGE NCG030486
APPENDIX B
GENERAL STORM WATER PERMIT NCG030000
APPENDIX C
RESPONSIBLE PARTIES
RESPONSIBLE PARTIES
Name Title
Alexandra Rice Environmental Coordinator
Laura Viers Plant Manager
Brandon Woo Senior Project Engineer
Kevin Clark Distribution Manager
Scott Vernon Maintenance Manager
Bradley Crosby Production Manager
Kurt Sala EHS Manager
APPENDIX D
NOT USED
APPENDIX E
SPILL PREVENTION CONTROL AND COUNTERMEASURE
PLAN
APPENDIX F
PERIODIC INSPECTION CHECKLIST
STATE INDUSTRIES —CHARLOTTE
MONTHLY STORMWATER INSPECTION
POTENTIAL POLLUTANT SOURCE STORM WATER CONTROLS
(See Map Below) ADEQUATE (Y/N)
Pole Barn
➢ All drums stored within containment area
➢ All drums properly sealed & labeled
➢ Any leakage from stored drums
➢ Adequate spill response supplies available
➢ No evidence of chemical sheen on any ponding water
➢ Canopy roof over entire area
➢ Adequate secondary containment
Air Compressors
➢ No evidence of oil leakage from compressor
➢ Canopy roof over compressors
➢ Scheduled preventative maintenance as needed
Cooling Tower
➢ No evidence of chemical leakage from tower
➢ Canopy over tower
➢ Scheduled preventative maintenance as needed
Empty Washer Chemical Tote Storage Area
➢ All bungs properly closed
➢ No leaking valves
➢ No evidence of chemical leakage on surrounding
ground surface
➢ No cracks in storage containers
Wooden Pallet Storage Areas(s)
➢ No oil or chemical soaked pallets stored outside
➢ General housekeeping of areas
Scrap/Solid Waste Storage Luggers
➢ All scrap materials placed in appropriate lugger
➢ No evidence of fluid leakage from luggers
➢ No evidence of scrap materials on surrounding ground
surface
➢ No evidence of leaking from storage luggers
Material Handling Bin Storage Area
➢ No evidence of fluid leakage or staining on surrounding
ground surface
➢ General housekeeping of areas
NON-STORMWATER DISCHARGES
Were any non-stormwater discharges present at Outfall 002? Yes No
Were any non-stormwater discharges present at Outfall 003? Yes No
OUTFALL FILTERS PERIODIC INSPECTION AND MAINTENANCE
OUTFALL ADEQUATE? Y/N
Outfall 002 Filter
➢ Is filter pulled taut on all edges (there
should be no evident edges of the filter
where water can bypass)
➢ Is filter cleared of sediment?
➢ Perform monthly maintenance to
remove sediment and debris from
within filter. Inspect replacement of
filter to ensure correct installation.
Outfall 003 Filter
➢ Is filter pulled taut on all edges (there
should be no evident edges of the filter
where water can bypass)
➢ Is filter cleared of sediment?
➢ Perform monthly maintenance to
remove sediment and debris from
within filter. Inspect replacement of
filter to ensure correct installation.
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CHARLOTTE.NC 28213
f THREE ONSITE OUTFALLS -
Table 3-1 Potential Pollutant Sources
Pole Barn
Air Compressors
Cooling Tower
Empty Washer Chemical Tote Storage Area
Wooden Pallet Storage Areas
Scrap / Solid Waste Storage Luggers
Material Handling Bin Storage Area
COMMENTS:
Conducted By: Date:
APPENDIX G
ANNUAL PLAN REVIEWS
ANNUAL PLAN REVIEW
Water Systems Division of State Industries
4302 Raleigh Street
Charlotte, North Carolina 28213
Has the SWPPP been amended for any new construction that YES NO
would affect the site map or drainage conditions at the facility?
Has the SWPPP been amended for any change in facility
operations that could- be identified as new source areas for YES NO
contamination of storm water?
Are there any maintenance of material handling activities YES NO
conducted outdoors that have not been addressed in the SWPPP?
Are outside areas kept in a neat and orderly condition? YES NO
Are regular housekeeping inspections made? YES NO
Do you see spots, pools, puddles, or other traces of oils, grease, or YES NO
other chemicals on the ground?
Are particulates on the ground from industrial operations or YES NO
processes being controlled?
Do you see leaking equipment, pipes or containers? YES NO
Do drips, spills, or leaks occur when materials are being transferred YES NO
from one source to another?
Are drips or leaks from equipment of machinery being controlled? YES NO
Are cleanup procedures used for spilled solids? YES NO
Are absorbent materials (floor dry, kitty litter, etc.) regularly used in YES NO
certain areas to absorb spills?
Can you find discoloration, residue, or corrosion on the roof or YES NO
around vents or pipes that ventilate or drain work areas?
Are Best Management Practices implemented to reduce or
eliminate contamination of storm water from source areas at the YES NO
facility?
Are Best Management Practices adequately maintained? YES NO
Are there significant changes that will have to be made to the
SWPPP to correct any inadequacies that the Plan may have to YES NO
effectively control a discharge of contaminated storm water from
your facility?
ANNUAL PLAN REVIEW - PAGE 2
Comments:
Name of Person Conducting Job Title:
Inspection:
Date of Inspection:
Certification of Permit Compliance: YES NO
Will SWPPP require updating as a YES NO
result of this Annual Plan Review?:
Signature:
APPENDIX H
QUALITATIVE MONITORING REPORT
FORM SWU-242
APPENDIX I
ANALYTICAL DISCHARGE MONITORING REPORT
FORM SWU-264
APPENDIX J
TIER 1 RESPONSE LOG
TIER 1 (SINGLE BENCHMARK EXCEEDANCE) RESPONSE LOG
DATE OF DATE OF
NOTIFICATION INSPECTION INSPECTION SELECTED COMPLETION
DATE PARAMETER VALUE TO DIVISION'S DATE PERSONNEL FEASIBLE FOR
REGIONAL ACTIONS FEASIBLE
OFFICE ACTIONS
Kimberly Seddon
Mark Van Auken
1/17/2023 Zinc 571 ug/I 2/24/2023 1/09/2023 Alexandra Rice Install Filter Mats at
(Outfall 002) Outfall March 2023
Laura Viers
Brandon Woo
Kimberly Seddon
Mark Van Auken
1/17/2023 Copper 10.3 ug/I 2/24/2023 1/09/2023 Alexandra Rice Install Filter Mats at
(Outfall 003) Outfall March 2023
Laura Viers
Brandon Woo
APPENDIX K
TIER 2 RESPONSE LOG
TIER 2 (SINGLE BENCHMARK EXCEEDANCE) RESPONSE LOG
DATE PARAMETER VALUE DATE OF NOTIFICATION TO INSPECTION INSPECTION
DIVISION'S REGIONAL OFFICE DATE PERSONNEL