HomeMy WebLinkAboutPAR 2023PAR Workshop 2023
Presented by:
Division of Water Resources
NPDES Municipal Permitting Unit - Pretreatment
Compliance Judgment,SNC, and PARs
What Do I Do?
February 8th, 2024
Learn about and refresh yourself on:
•How to Judge SIU Compliance
•When are Industries Really Bad
•What needs to be in the PAR
•How to Fill Out All Those Forms
•Who, What, and Where to Publish
•What DWR Wants to See in a Narrative
Compliance Judgment, SNC, and PAR Workshop
Introduction to the Basics of Judging Compliance,
Dealing with SNC, and Compiling Annual Reports
2
Today’s Outline
1. Introduction-NPDES Requirement
2. Compliance Judgment
•SNC Definition
•SNC for Reporting/Permit Conditions
•SNC for Limits Violations
•Data Summary Form
•Compliance Judgment Examples
Compliance Judgment, SNC, and PAR Workshop
Introduction to the Basics of Judging Compliance,
Dealing with SNC, and Compiling Annual Reports
3
Compliance Judgment, SNC, and PAR Workshop
Introduction to the Basics of Judging Compliance,
Dealing with SNC, and Compiling Annual Reports
Today’s Outline (cont.)
3. IDSF
4. SNCR Form
5. PPS Form
6. Narrative
7. Waste Reduction
8. Public Notice
9. Enforceable Compliance Schedules (Orders)
10. Allocation Table
4
Introduction -NPDES Requirements
PART IV (from NPDES Permit)
OTHER REQUIREMENTS
D. Pretreatment Program Requirements
10. Pretreatment Annual Reports (PAR)
The permittee shall report to the Division in accordance with 15 A NCAC 2 H .0908 (b) In lieu of submitting annual reports, Modified
Pretreatment Programs may be required to meet with Division personnel periodically to discuss the enforcement of pretreatment
requirements and other pretreatment implementation issues, 15A NCAC 2H .0908(c).
For all other active pretreatment programs, the permittee shall submit two copies of a Pretreatment Annual Report (PAR) describing
its pretreatment activities over the previous twelve months to the Division at the following address :
NC DENR / Division of Water Resources
NPDES Municipal Unit / Pretreatment
1617 Mail Service Center
RALEIGH, NC 27699-1617
5
Introduction -NPDES Requirements (cont.)
These reports shall be submitted by March 1 of each year and shall contain the following:
a.) Narrative
A narrative summary detailing actions taken, or proposed, by the Permittee to correct
significant non-compliance and to ensure compliance with pretreatment requirements;
b.) Pretreatment Program Summary (PPS)
A pretreatment program summary (PPS) on forms or in a format provided by the
Division;
c.)Significant Non-Compliance Report (SNCR)
A list of Industrial Users (IUs) in significant noncompliance (SNC) with pretreatment
requirements, and the nature of the violations on forms or in a format provided by the
Division. Note, for the 2023 PAR no SNC historical data will be provided by DWR;
6
Introduction -NPDES Requirements (cont.)
d.) Industrial Data Summary Forms (IDSF)
Monitoring data from samples collected by both the POTW and the Significant
Industrial Users (SIUs). These analytical results must be reported on Industrial Data
Summary Forms (IDSF) or on other forms or in a format provided by the Division ;
e.) Other Information
Copies of the POTW's allocation table, new or modified enforcement compliance
schedules, public notice of IUs in SNC, a summary of data or other information related
to significant noncompliance determinations for IUs that are not considered SIUs, and
any other information, upon request, which in the opinion of the Director is needed to
determine compliance with the pretreatment implementation requirements of this
permit;
7
Introduction – NC Pretreatment Rules
[North Carolina Administrative Code (NCAC)]
8
Introduction – NC Pretreatment Rules
•from 15A NCAC 2H .0908(b)
• Control Authorities with active approved pretreatment programs shall submit once per year a
pretreatment report describing its pretreatment activities over the previous 12 months. Two copies of
each pretreatment report shall be submitted to the Division by March 1 of each year for activities
conducted for two six -month periods, January 1 through June 30 and July 1 through December 31 of the
previous year. This annual report shall contain the following information in accordance with forms
specified by the Division:
•(1) a narrative summary of actions taken by the control authority to ensure compliance with
pretreatment requirements;
•(2) a pretreatment program summary on forms or in a format provided by the Division;
9
Introduction - NC Pretreatment Rules (cont.)
•from 15A NCAC 2H .0908(b) (cont.)
•(3) A list of industrial users in significant noncompliance with pretreatment requirements, the
nature of the violations, and actions taken or proposed to correct the violations; on forms or in a
format provided by the Division;
•(4) An allocation table as described in Rule .0916(c)(4) listing permit information for all significant
industrial users, including but not limited to permit limits, permit effective and expiration dates,
and a comparison of total permitted flows and loads with Division approved maximum allowable
loadings of the POTW, including flow, on forms or in a format provided by the Division;
10
Introduction - NC Pretreatment Rules (cont.)
•from 15A NCAC 2H .0908(b) (cont.)
•(5) Other information which in the opinion of the Division Director is needed to determine
compliance with the implementation of the pretreatment program, including, but not limited to,
significant industrial user compliance schedules, public notice of industrial users in significant
noncompliance, a summary of significant industrial user effluent monitoring data as described in
Paragraphs (a) and (e) of this Rule, a summary of information related to significant non -
compliance determination for industrial users that are not considered significant industrial users,
and Long or Short Term Monitoring Plan data on forms or in a format provided by the Division;
11
Introduction - NC Pretreatment Rules (cont.)
•40 CFR 403.12(i) Annual POTW reports
(1)Updated list of SIUs (AT)
(2)Compliance status (SNCR)
(3)Summary of enforcement activities (PPS & narrative)
(4)Summary of program changes (narrative & program info sheet)
(5)Any other relevant information
12
Compliance Judgment
13
Compliance Judgment
Detection of Violations of ALL Types:
1. Limits
2. Reporting
3. Permit Conditions
References:
•DWR Approved Enforcement Response Plan (ERP) for Your POTW
•Comprehensive Guide, Chapter 7, Compliance & Inspection, Sections D and E
•Comprehensive Guide, Chapter 8, Enforcement
•Pretreatment’s Annual Report web-site files “So your SIU has a limits violation-What do
you do?” and “So your SIU has a reporting violation -What do you do?”
14
Compliance Judgment – What must be
done
•POTW must identify all violations in a timely fashion as outlined in your ERP
(preferably monthly).
•POTW must issue a Notice of Violation (NOV) for all violations.
•Significant Noncompliance (SNC) is the way to separate out the more
significant violations for escalated enforcement action.
15
Compliance Judgment - What must be
done (cont.)
•POTW must do an SNC determination at a minimum of every six
months.
•It is strongly recommended that a preliminary SNC determination be
done halfway through the six -month period, especially where there
was SNC in the previous period.
•The SNC determination must be within 30 days of receiving all the data
for that period.
•SNC determination and follow-up enforcement action for the January
through June reporting period should be completed no later than
September 1st of that same year.
•SNC Determination and follow-up enforcement action for the July
through December reporting period should be completed no later than
March 1st of the following year.
16
Compliance Judgment - What must be done
(cont.)
Repeat SNCs
•Repeat SNCs are a serious matter.
•If an Industry will be in SNC for a second consecutive period for the same
parameter or requirement, the Division and EPA expect the POTW to take
“appropriate action.”
•The typical choices for “appropriate action” are:
1.modify permit
2.place SIU on an enforceable compliance schedule (compliance schedule
with stipulated penalties)
3.SIU ceases discharge (on their own or by order of POTW)
4.SIU dropped from POTW’s list of SIUs
17
Compliance Judgment - What must be
done (cont.)
Repeat SNCs (cont.)
•The POTW should make every effort to take the “appropriate action” before
the end of the second consecutive SNC Period.
•In those special cases where this is not possible, take the “appropriate
action” within two months after the end of that second period. If this is not
done, the Division may take enforcement action against the POTW for failure
to take adequate enforcement.
•Call DWR to discuss extenuating circumstances
18
SNC Definition
19
SNC Definition
Significant Noncompliance is defined by 15A NCAC 2H
.0903(b)(31) and Section 1.2(a)(35) of the NC Model Sewer
Use Ordinance (SUO) as follows:
“Significant Noncompliance” or “SNC” is the
status of noncompliance of a significant
industrial user when one or more of the
following criteria are met:….
20
SNC Definition (cont.)
(A) “Chronic violations” of wastewater discharge limits, defined
here as those in which sixty-six percent or more of all the
measurements taken for the same pollutant parameter (not
including flow) during a six-month period exceed (by any
magnitude) a numeric pretreatment standard or requirement
including instantaneous limits, as defined by 40 CFR Part
403.3(l);
Chronic SNC is when 66% or more are > limit!
21
SNC Definition (cont.)
(B) “Technical Review Criteria” (TRC) violations, defined here as those in
which thirty-three percent or more of the measurements taken for the same
pollutant parameter (not including flow) during a six-month period equal or
exceed the product of the numeric pretreatment standard or requirement,
including instantaneous limits, as defined by 40 CFR 403.3(l) multiplied by
the applicable TRC; (TRC = 1.4 for BOD, TSS, fats, oil and grease, 1.2 for
all other pollutants (except flow and pH));
TRC SNC is when 33% or more are > or = TRC value!
22
SNC Definition (continued)
(C) Any other violation of a pretreatment standard or requirement as defined by 40
CFR 403.3(l) (daily maximum, long-term average, instantaneous limit, or narrative
standard) that the control authority (or POTW, if different from the control authority)
determines has caused, alone or in combination with other discharges, interference
or pass through (including endangering the health of POTW personnel or the
general public);
(D) Any discharge of a pollutant or wastewater that has caused imminent
endangerment to human health, welfare or to the environment or has resulted in
either the control authority’s or the POTW’s, if different than the control authority,
exercise of its emergency authority under 40 CFR Part 403.8(f)(1)(vi)(B) to halt or
prevent such a discharge;
23
SNC Definition (continued)
(E)Failure to meet, within 90 days after the schedule date, a compliance schedule
milestone contained in a pretreatment permit or enforcement order for starting construction,
completing construction, or attaining final compliance;
(F)Failure to provide, within 45 days after the due date, required reports such as baseline
monitoring reports, 90-day compliance reports, self-monitoring reports, and reports on
compliance with compliance schedules;
(G)Failure to accurately report noncompliance;
(H) Any other violation or group of violations that the control authority or POTW determines
will adversely affect the operation or implementation of the local pretreatment program.
24
Compliance Judgment for Reporting
(includes permit condition)
Applies to any kind of report or notification:
• Failure to collect self-monitoring samples
• Failure to submit reports or follow permit conditions. Includes reports being late
or incomplete as well as a complete failure to submit a report or follow IUP
condition at all. Types of reports include but are not limited to:
✓sample results
✓flow monitoring reports
✓24-hour notification
✓resample and submit results within 30
days
✓properly operate pretreatment units
✓change in process
✓obtain authorization to Construct
✓file application for IUP renewal
✓sludge management plans
✓slug/spill plans
✓TTO certification
✓TOMP compliance assessment
25
SNC For Reporting/Permit Conditions (cont.)
POTW Prerogative:
H)Any other violation or group of violations that the control
authority or POTW determines will adversely affect the operation
or implementation of the local pretreatment program.
26
SNC For Reporting/Permit Conditions (cont.)
•To be completed on a Six-Month Basis, but really applies to each report
Examples:
1) An Industry is required by their IUP to sample monthly for 10
parameters and report the results to the POTW by the 20th day of
the month following the month in which the samples were
collected. The results of the samples collected in July, due
August 20, are not received until October 23.
27
SNC For Reporting/Permit Conditions (cont.)
2) Industry fails to collect the required samples in November at all.
3) An Industry is required by their IUP to re-apply by February 1 (180 days before
the IUP expires on August 1) and the application is not received until May 15.
Call Pretreatment Staff to discuss any extenuating circumstances
See PAR Guidance for discussion and
some examples of extenuating
circumstances
28
SNC for Limits Violations
For any typical violations, the POTW must make a determination
based on the following categories that may elevate a violation to
SNC:
SNC for Limits Categories
a)Pass -through/Interference
b)Threat to Human Health, Welfare or the Environment
c)Emergency Suspension from such a Discharge
*The POTW must provide evidence to justify making this
determination.
29
SNC for Limits Violations
SNC for Limits Categories (cont.)
d)Chronic Violations (those that exceed limit by any quantity)
•66% or more of all measurements during the 6 -month period.
e)Technical Review Criteria (TRC) Violations
(those that equal or exceed a TRC adjusted limit by any quantity)
•Limit * 1.4 for BOD, TSS, fats, oils, and grease
•Limit * 1.2 for all other parameters, except pH
•33% or more of all measurements during the 6 -month period.
30
SNC for Limits Violations
SNC for Limits Categories (cont.)
H)Any other violation or group of violations that the control
authority or POTW determines will adversely affect the operation or
implementation of the local pretreatment program.
31
SNC for Limits Violations (continued)
Completed on a Six Month Basis
Calculated For Each Limit
For Example:
An Industry has both a daily maximum concentration limit as well as a monthly
average concentration limit for BOD. At the end of the six -month period, when
calculating SNC for the parameter of BOD, you judge SNC for BOD separately for
the daily max and the monthly average limits.
32
SNC for Limits Violations (continued)
Forms Used For SNC
•Industrial Data Summary Forms (IDSF) or other forms or in a format provided by the
Division;
•Compliance Judgment Worksheet (Ch. 7, North Carolina Comprehensive Guidance for
Pretreatment Programs)
Other
•SNC for pH (no TRC required)
•SNC for Flow (flow is not a “pollutant”)
Call Pretreatment Staff to discuss extenuating circumstances
See PAR Guidance for discussion of SNC for pH, flow,
and some examples of extenuating circumstances.
33
Data Summary Form
FLOW BOD TSS AMMONIA ARSENIC
Sample Date
POTW
or SIU
Sample MGD <mg/L <mg/L <mg/L
7/17/12 SIU 0.0752
7/24/12 POTW 0.0469
8/7/12 SIU 0.0313
8/23/12 SIU 0.0538
9/3/12 SIU 0.079
10/9/12 SIU 0.0676
10/21/12 SIU 0.0681
11/1/12 SIU 0.0657
11/16/12 SIU 0.0678
12/11/12 SIU 0.0292
Column Averages =>0.0585
Maximum 0.0790
Minimum 0.0292
Sample Location:
Will Plateit
Spreadsheet
Instructions:
1) Data
entered only in
Heavy
Bordered
cells. Rest of
worksheet is
protected,
password is
"2".
2) For below
detection data,
enter "<" in "<"
column, and
enter
detection level
in Influent or
Effluent mg/l
columns.
Spreadsheet
will auto -
matically
calculate
averages and
removal rates
using 1/2
value entered.
34
Data Summary Form
FLOW ARSENIC CADMIUM CHROMIUM COPPER
Sample Date
POTW
or SIU
Sample MGD <mg/L <mg/L <mg/L
7/17/12 SIU 0.0752 0.042 0.042 0.0263 0.32 0.315 0.1976
7/24/12 POTW 0.0469 0.086 0.086 0.0336 0.53 0.532 0.2081
8/7/12 SIU 0.0313 0.087 0.087 0.0227 0.37 0.373 0.0974
8/23/12 SIU 0.0538 0.077 0.077 0.0345
9/3/12 SIU 0.079 0.067 0.067 0.0441 0.82 0.818 0.5389
10/9/12 SIU 0.0676 0.089 0.089 0.0502 0.23 0.231 0.1302
10/21/12 SIU 0.0681 0.076 0.076 0.0432
11/1/12 SIU 0.0657 0.091 0.091 0.0499 0.21 0.206 0.1129
11/16/12 SIU 0.0678 0.069 0.069 0.0390
12/11/12 SIU 0.0292 0.057 0.057 0.0139 0.72 0.721 0.1756
Column Averages =>0.0585 0.0741 0.0357 0.4566 0.2087
Maximum 0.0790 0.0910 0.0502 0.8180 0.5389
Minimum 0.0292 0.0420 0.0139 0.2060 0.0974
Sample Location:
Will Plateit
35
Data Summary Form
FLOW COPPER CYANIDE LEAD MERCURY
Sample Date
POTW
or SIU
Sample MGD <mg/L <mg/L <mg/L
7/17/12 SIU 0.0752 1.71 1.713 1.0743 <0.01 0.005 0.0031 0.02 0.02 0.0125
7/24/12 POTW 0.0469 1.12 1.121 0.4385 <0.01 0.005 0.0020 0.10 0.1 0.0391
8/7/12 SIU 0.0313 1.32 1.321 0.3448 <0.01 0.005 0.0013 0.03 0.03 0.0078
8/23/12 SIU 0.0538
9/3/12 SIU 0.079 0.86 0.862 0.5679 <0.01 0.005 0.0033 <0.01 0.005 0.0033
10/9/12 SIU 0.0676 0.78 0.781 0.4403 <0.01 0.005 0.0028 0.01 0.01 0.0056
10/21/12 SIU 0.0681
11/1/12 SIU 0.0657 0.93 0.927 0.5079 <0.01 0.005 0.0027 0.09 0.09 0.0493
11/16/12 SIU 0.0678
12/11/12 SIU 0.0292 1.53 1.531 0.3728 <0.01 0.005 0.0012 0.07 0.07 0.0170
Column Averages =>0.0585 1.1794 0.5352 0.0050 0.0024 0.0464 0.0193
Maximum 0.0790 1.7130 1.0743 0.0050 0.0033 0.1000 0.0493
Minimum 0.0292 0.7810 0.3448 0.0050 0.0012 0.0050 0.0033
Sample Location:
Will Plateit
36
Data Summary Form
FLOW MERCURY MOLYBDENUM NICKEL SELENIUM
Sample Date
POTW
or SIU
Sample MGD <mg/L <mg/L <mg/L
7/17/12 SIU 0.0752 <0.0002 0.0001 0.00006 1.98 1.98 1.2418
7/24/12 POTW 0.0469 <0.0002 0.0001 0.00004 1.64 1.64 0.6415
8/7/12 SIU 0.0313 <0.0002 0.0001 0.00003 2.86 2.86 0.7466
8/23/12 SIU 0.0538 2.02 2.02 0.9064
9/3/12 SIU 0.079 <0.0002 0.0001 0.00007 1.72 1.72 1.1332
10/9/12 SIU 0.0676 <0.0002 0.0001 0.00006 3.03 3.03 1.7083
10/21/12 SIU 0.0681 2.52 2.52 1.4312
11/1/12 SIU 0.0657 <0.0002 0.0001 0.00005 2.38 2.38 1.3041
11/16/12 SIU 0.0678 1.57 1.57 0.8878
12/11/12 SIU 0.0292 <0.0002 0.0001 0.00002 1.79 1.79 0.4359
Column Averages =>0.0585 0.000100 0.000047 2.1510 1.0437
Maximum 0.0790 0.000100 0.000066 3.0300 1.7083
Minimum 0.0292 0.000100 0.000024 1.5700 0.4359
Sample Location:
Will Plateit
37
Data Summary Form
FLOW SELENIUM SILVER ZINC OIL & GREASE
Sample Date
POTW
or SIU
Sample MGD <mg/L <mg/L <mg/L
7/17/05 SIU 0.0752 <0.005 0.0025 0.0016 1.02 1.02 0.6397
7/24/05 POTW 0.0469 <0.005 0.0025 0.0010 1.10 1.1 0.4303
8/7/05 SIU 0.0313 <0.005 0.0025 0.0007 1.31 1.31 0.3420
8/23/05 SIU 0.0538
9/3/05 SIU 0.079 <0.005 0.0025 0.0016 0.78 0.78 0.5139
10/9/05 SIU 0.0676 <0.005 0.0025 0.0014 0.91 0.91 0.5130
10/21/05 SIU 0.0681
11/1/05 SIU 0.0657 <0.005 0.0025 0.0014 0.96 0.96 0.5260
11/16/05 SIU 0.0678
12/11/05 SIU 0.0292 <0.005 0.0025 0.0006 0.71 0.71 0.1729
Column Averages =>0.0585 0.0025 0.0012 0.9700 0.4483
Maximum 0.0790 0.0025 0.0016 1.3100 0.6397
Minimum 0.0292 0.0025 0.0006 0.7100 0.1729
Sample Location:
Will Plateit
38
Data Summary Form
FLOW OIL & GREASE Phosphorus
Sample Date
POTW
or SIU
Sample MGD <mg/L <mg/L <mg/L
7/17/05 SIU 0.0752 21 21 13.1705
7/24/05 POTW 0.0469 20 20 7.8229
8/7/05 SIU 0.0313 19 19 4.9598
8/23/05 SIU 0.0538
9/3/05 SIU 0.079 15 15 9.8829
10/9/05 SIU 0.0676 21 21 11.8395
10/21/05 SIU 0.0681
11/1/05 SIU 0.0657 16 16 8.7670
11/16/05 SIU 0.0678
12/11/05 SIU 0.0292 23 23 5.6011
Column Averages =>0.0585 19.2857 8.8634
Maximum 0.0790 23.0000 13.1705
Minimum 0.0292 15.0000 4.9598
Sample Location:
Will Plateit
39
Examples
40
Example 1
•WillPlateit Metal Finishers
•1 st 6-month period
•Cadmium
Receiving POTW name =>Typicalville IU name =>Will Plateit
Receiving POTW NPDES # =>NC0012345 IUP # =>006
Effective date for these Limits =>6/30/2011 Pipe # =>001
Expiration date for these Limits =>12/30/15 40 CFR # =>433.17
if not applicable put N/A
THE LIMITS ON THIS PAGE ARE, (Check one below):
LIMITS for ENTIRE permit period =>Yes
INTERIM Limits for period # 1 =>No
INTERIM Limits for period # 2 =>No
FINAL Limits Page =>No
Concentration Limits Mass-Based Limits Monitoring Frequency Sample Required
CONVENTIONAL Daily Monthly Units Daily Monthly Units Collection Laboratory
PARAMETERS Max Avg.Max Avg by Industry by POTW Method Detection
(C or G)Limits
1.Flow 0.098 MGD MGD Monthly Once/6 Months Metered
2.mg/l lbs/day
3.mg/l lbs/day
4.temperature Deg. C Deg. C
5.pH Std. Units Std. Units
OTHER PARAMETERS, Please list alphabetically
6.Cadmium 0.07 mg/l lbs/day Monthly Once/6 Months C 0.002
7.Chromium 1.71 mg/l lbs/day Monthly Once/6 Months C 0.005
8.Copper 2.07 mg/l lbs/day Monthly Once/6 Months C 0.002
9.Cyanide 0.01 mg/l lbs/day Monthly Once/6 Months G 0.01
10.Lead 0.43 mg/l lbs/day Monthly Once/6 Months C 0.01
11.Mercury 0.0002 mg/l lbs/day Monthly Once/6 Months C 0.0002
12.Nickel 2.38 mg/l lbs/day Monthly Once/6 Months C 0.01
13.Phosphorous 30 mg/l lbs/day Monthly Once/6 Months C 0.05
14.Silver 0.24 mg/l lbs/day Monthly Once/6 Months C 0.005
15.Zinc 1.48 mg/l lbs/day Monthly Once/6 Months C 0.01
16.TTO 2.13*mg/l lbs/day Once/6 Months G 0.005
17.mg/l lbs/day
18.mg/l lbs/day
19.mg/l lbs/day
20.mg/l lbs/day
*See Special Conditions, Part III (See next section, IUP, PART I, Section G.)
for Definitions and Limit Page(s) notes:
IUP, PART I, Page: 5
IUP, Part I, Section F:
Effluent Limits and Monitoring
Requirements:
The permittee may discharge from this
specific pipe number according to these
42
Compliance Judgment Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination Period:
1/1/2024-6/30/24
See next page for definitions
Daily Max. or
____ Ave. Limits
from IUP
IUP Limit * TRC criteria = TRC Limit
Circle 1.4 For TRC for BOD, TSS, oil, fat, grease; Circle 1.2 for all other pollutants
TRC compliance judgment not required for pH:
Circle which units apply
to each individual Limit
Daily Maximum Limit: * 1.2 or 1.4 = TRC Daily Limit: mg/l or lbs/day
______ Average Limit: * 1.2 or 1.4 = TRC Avg. Limit: mg/l or lbs/day
Column 1: I - Industry self P-POTW A - Average
Column 5: Use only if IUP has (monthly, or other?) average limit. Average values of all sampling events collected within the
"average" period (for example, for a monthly average limit, use all values collected within a calendar month) and enter
this average in column 5. Compare this average to the appropriate average IUP limit or TRC limit.
Column 6: Use only if IUP has daily limits in lbs/day. Formula to use is ( mgd * mg/l * 8.34 = lbs/day ).
Column 7: Use only if IUP has (monthly?) average limits in lbs/day. Use ( mgd * mg/l * 8.34 = lbs/day ).
Column 8: Put "1" for each daily maximum or average value, tally up at bottom as "A."
Column 9: Compare daily and average values to IUP limits above,put "0" if at or below limit, "1" if above, tally at bottom as "B."
Column 10: Compare daily and average values to TRC limits above,put "0" if below limit, "1" if at or above, tally at bottom as "C."
Col. 1: From
IDMRs
From
IDMRs
From
IDMRs
Col. 5: Col 6: Col 7: Col 8: Col 9: Col 10:
Sample
Type
Sample
Date
Daily
Flow,
mgd
Daily
Conc.
mg/l
Avg
Conc.
mg/l
Daily
Load
lbs/day
Avg.
Load
lbs/day
Count Regular
Violation
?
TRC
Violation
?
I 1/7/12 .0691 .059
P 2/1/12 .0543 .060
I 2/4/12 .0783 .062
I 3/6/12 .0796 .096
I 3/22/12 .0748 .102
I 4/2/12 .0667 .083
I 4/17/12 .0612 .082
I 5/1/12 .0342 .078
I 5/16/12 .0589 .079
I 6/3/12 .0547 .064
I 6/18/12 .0693 .080
I 6/30/12 .0712 .076
List these Totals on next page => A = B = C=
43
Count - The number
of daily or the number
of average sample
values used for
checking compliance.
(Daily values for this
example)
Compliance Judgment Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination Period:
1/1/2012-6/30/12
See next page for definitions
Daily Max. or
____ Ave. Limits
from IUP
IUP Limit * TRC criteria = TRC Limit
Circle 1.4 For TRC for BOD, TSS, oil, fat, grease; Circle 1.2 for all other pollutants
TRC compliance judgment not required for pH:
Circle which units apply
to each individual Limit
Daily Maximum Limit: * 1.2 or 1.4 = TRC Daily Limit: mg/l or lbs/day
______ Average Limit: * 1.2 or 1.4 = TRC Avg. Limit: mg/l or lbs/day
Column 1: I - Industry self P-POTW A - Average
Column 5: Use only if IUP has (monthly, or other?) average limit. Average values of all sampling events collected within the
"average" period (for example, for a monthly average limit, use all values collected within a calendar month) and enter
this average in column 5. Compare this average to the appropriate average IUP limit or TRC limit.
Column 6: Use only if IUP has daily limits in lbs/day. Formula to use is ( mgd * mg/l * 8.34 = lbs/day ).
Column 7: Use only if IUP has (monthly?) average limits in lbs/day. Use ( mgd * mg/l * 8.34 = lbs/day ).
Column 8: Put "1" for each daily maximum or average value, tally up at bottom as "A."
Column 9: Compare daily and average values to IUP limits above,put "0" if at or below limit, "1" if above, tally at bottom as "B."
Column 10: Compare daily and average values to TRC limits above,put "0" if below limit, "1" if at or above, tally at bottom as "C."
Col. 1: From
IDMRs
From
IDMRs
From
IDMRs
Col. 5: Col 6: Col 7: Col 8: Col 9: Col 10:
Sample
Type
Sample
Date
Daily
Flow,
mgd
Daily
Conc.
mg/l
Avg
Conc.
mg/l
Daily
Load
lbs/day
Avg.
Load
lbs/day
Count Regular
Violation
?
TRC
Violation
?
I 1/7/12 .0691 .059 1
P 2/1/12 .0543 .060 1
I 2/4/12 .0783 .062 1
I 3/6/12 .0796 .096 1
I 3/22/12 .0748 .102 1
I 4/2/12 .0667 .083 1
I 4/17/12 .0612 .082 1
I 5/1/12 .0342 .078 1
I 5/16/12 .0589 .079 1
I 6/3/12 .0547 .064 1
I 6/18/12 .0693 .080 1
I 6/30/12 .0712 .076 1
List these Totals on next page => A = 12 B = C=
.07 .084
44
Compliance Judgment Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination Period:
1/1/2012-6/30/12
See next page for definitions
Daily Max. or
____ Ave. Limits
from IUP
IUP Limit * TRC criteria = TRC Limit
Circle 1.4 For TRC for BOD, TSS, oil, fat, grease; Circle 1.2 for all other pollutants
TRC compliance judgment not required for pH:
Circle which units apply
to each individual Limit
Daily Maximum Limit: * 1.2 or 1.4 = TRC Daily Limit: mg/l or lbs/day
______ Average Limit: * 1.2 or 1.4 = TRC Avg. Limit: mg/l or lbs/day
Column 1: I - Industry self P-POTW A - Average
Column 5: Use only if IUP has (monthly, or other?) average limit. Average values of all sampling events collected within the
"average" period (for example, for a monthly average limit, use all values collected within a calendar month) and enter
this average in column 5. Compare this average to the appropriate average IUP limit or TRC limit.
Column 6: Use only if IUP has daily limits in lbs/day. Formula to use is ( mgd * mg/l * 8.34 = lbs/day ).
Column 7: Use only if IUP has (monthly?) average limits in lbs/day. Use ( mgd * mg/l * 8.34 = lbs/day ).
Column 8: Put "1" for each daily maximum or average value, tally up at bottom as "A."
Column 9: Compare daily and average values to IUP limits above,put "0" if at or below limit, "1" if above, tally at bottom as "B."
Column 10: Compare daily and average values to TRC limits above,put "0" if below limit, "1" if at or above, tally at bottom as "C."
Col. 1: From
IDMRs
From
IDMRs
From
IDMRs
Col. 5: Col 6: Col 7: Col 8: Col 9: Col 10:
Sample
Type
Sample
Date
Daily
Flow,
mgd
Daily
Conc.
mg/l
Avg
Conc.
mg/l
Daily
Load
lbs/day
Avg.
Load
lbs/day
Count Regular
Violation
?
TRC
Violation
?
I 1/7/23 .0691 .059 1 0
P 2/1/12 .0543 .060 1 0
I 2/4/12 .0783 .062 1 0
I 3/6/12 .0796 .096 1 1
I 3/22/12 .0748 .102 1 1
I 4/2/12 .0667 .083 1 1
I 4/17/12 .0612 .082 1 1
I 5/1/12 .0342 .078 1 1
I 5/16/12 .0589 .079 1 1
I 6/3/12 .0547 .064 1 0
I 6/18/12 .0693 .080 1 1
I 6/30/12 .0712 .076 1 1
List these Totals on next page => A = 12 B = 8 C=
.07 .084
45
Compliance Judgment Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination Period:
1/1/2012-6/30/12
See next page for definitions
Daily Max. or
____ Ave. Limits
from IUP
IUP Limit * TRC criteria = TRC Limit
Circle 1.4 For TRC for BOD, TSS, oil, fat, grease; Circle 1.2 for all other pollutants
TRC compliance judgment not required for pH:
Circle which units apply
to each individual Limit
Daily Maximum Limit: * 1.2 or 1.4 = TRC Daily Limit: mg/l or lbs/day
______ Average Limit: * 1.2 or 1.4 = TRC Avg. Limit: mg/l or lbs/day
Column 1: I - Industry self P-POTW A - Average
Column 5: Use only if IUP has (monthly, or other?) average limit. Average values of all sampling events collected within the
"average" period (for example, for a monthly average limit, use all values collected within a calendar month) and enter
this average in column 5. Compare this average to the appropriate average IUP limit or TRC limit.
Column 6: Use only if IUP has daily limits in lbs/day. Formula to use is ( mgd * mg/l * 8.34 = lbs/day ).
Column 7: Use only if IUP has (monthly?) average limits in lbs/day. Use ( mgd * mg/l * 8.34 = lbs/day ).
Column 8: Put "1" for each daily maximum or average value, tally up at bottom as "A."
Column 9: Compare daily and average values to IUP limits above,put "0" if at or below limit, "1" if above, tally at bottom as "B."
Column 10: Compare daily and average values to TRC limits above,put "0" if below limit, "1" if at or above, tally at bottom as "C."
Col. 1: From
IDMRs
From
IDMRs
From
IDMRs
Col. 5: Col 6: Col 7: Col 8: Col 9: Col 10:
Sample
Type
Sample
Date
Daily
Flow,
mgd
Daily
Conc.
mg/l
Avg
Conc.
mg/l
Daily
Load
lbs/day
Avg.
Load
lbs/day
Count Regular
Violation
?
TRC
Violation
?
I 1/7/23 .0691 .059 1 0 0
P 2/1/12 .0543 .060 1 0 0
I 2/4/12 .0783 .062 1 0 0
I 3/6/12 .0796 .096 1 1 1
I 3/22/12 .0748 .102 1 1 1
I 4/2/12 .0667 .083 1 1 0
I 4/17/12 .0612 .082 1 1 0
I 5/1/12 .0342 .078 1 1 0
I 5/16/12 .0589 .079 1 1 0
I 6/3/012 .0547 .064 1 0 0
I 6/18/12 .0693 .080 1 1 0
I 6/30/12 .0712 .076 1 1 0
List these Totals on next page => A = 12 B = 8 C= 2
.07 .084
46
Compliance Judgment Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination Period: 1/1/2012-6/30/12
SIGNIFICANT NON-COMPLIANCE (SNC) LIMITS DETERMINATION Calculate % and Circle Answers
1) Calculate the % of Regular violations: B/A =
2) Is B/A greater than or equal to 0.66 (or 66 %) ? Chronic violator? Yes / No
3) Calculate the % of TRC Violations: C/A =
4) Is C/A greater than or equal to 0.33 (or 33 %) ? TRC Violator? Yes / No
5) Did any violation, alone or in combination with other discharges, cause pass-through or interference at the
POTW, or endanger the health of POTW workers or the public? Yes / No
6) Did any violation cause imminent endangerment to human health / welfare or to the
environment or has resulted in the POTW's exercise of its emergency authority to halt or
prevent such discharge? Yes / No
7) If the answer to any of these questions is yes, the SIU is in Significant Non-Compliance (SNC) for this parameter.
They must be listed on the Significant Non-Compliance Report (SNCR) form in the Pretreatment Annual Report
(PAR), described in the PAR narrative (including parameter, period, and POTW actions), and the POTW must take
adequate enforcement as outlined in its Enforcement Response Plan (ERP).
Is the SIU in SNC for this six month period? CIRCLE ONE: YES NO
Was the SIU in SNC for THE SAME PARAMETER in the previous six month compliance period? CIRCLE
ONE: YES NO
If YES to EITHER question, DESCRIBE IN NARRATIVE.
Please note if SIU was in SNC for the previous six month compliance period and is also in SNC for this six month
compliance period, escalated enforcement actions must be taken as soon as possible, preferably before the end of
the second consecutive period. Failure to take the action within 2 months after the end of the second consecutive
period will subject the POTW to enforcement by the Division. The options are:
Consent Order with Enforceable schedule;
Administrative Order with Enforceable schedule;or
Permit modification.
See Chapter 9 - Pretreatment Annual Reports, Chapter 8 - Enforcement, and the POTW's Enforcement Response Plan
(ERP).
Definitions:
Count, The number of daily sample data values or the number of average of sampling events used for checking
compliance with average limits.
TRC Technical Review Criteria, Multiply the actual IUP limits by the proper TRC Criteria value to get a TRC
Limit:
TRC Criteria = 1.4 for BOD, TSS, oil, fat, grease
TRC Criteria = 1.2 for all other pollutants
Not required to perform TRC compliance judgment for pH.
SNCR Significant Non-Compliance Report
SNC Significant Non-Compliance
66.7%8/12
2/12
16.7%
Per ORC
47
Example 2
•WillPlateit Metal Finishers
•2 nd 6 -month period
•Cadmium
Compliance Judgment Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination
Period:7/1/2012-12/31/12
See next page for definitions
Daily Max. or
____ Ave. Limits
from IUP
IUP Limit * TRC criteria = TRC Limit
Circle 1.4 For TRC for BOD, TSS, oil, fat, grease; Circle 1.2 for all other pollutants
TRC compliance judgment not required for pH:
Circle which units apply
to each individual Limit
Daily Maximum Limit: * 1.2 or 1.4 = TRC Daily Limit: mg/l or lbs/day
______ Average Limit: * 1.2 or 1.4 = TRC Avg. Limit: mg/l or lbs/day
Column 1: I - Industry self P-POTW A - Average
Column 5: Use only if IUP has (monthly, or other?) average limit. Average values of all sampling events collected within the
"average" period (for example, for a monthly average limit, use all values collected within a calendar month) and enter
this average in column 5. Compare this average to the appropriate average IUP limit or TRC limit.
Column 6: Use only if IUP has daily limits in lbs/day. Formula to use is ( mgd * mg/l * 8.34 = lbs/day ).
Column 7: Use only if IUP has (monthly?) average limits in lbs/day. Use ( mgd * mg/l * 8.34 = lbs/day ).
Column 8: Put "1" for each daily maximum or average value, tally up at bottom as "A."
Column 9: Compare daily and average values to IUP limits above,put "0" if at or below limit, "1" if above, tally at bottom as "B."
Column 10: Compare daily and average values to TRC limits above,put "0" if below limit, "1" if at or above, tally at bottom as "C."
Col. 1: From
IDMRs
From
IDMRs
From
IDMRs
Col. 5: Col 6: Col 7: Col 8: Col 9: Col 10:
Sample
Type
Sample
Date
Daily
Flow,
mgd
Daily
Conc.
mg/l
Avg
Conc.
mg/l
Daily
Load
lbs/day
Avg.
Load
lbs/day
Count Regular
Violation
?
TRC
Violation
?
I 7/17/12 .0752 .042
P 7/24/12 .0469 .086
I 8/7/12 .0313 .087
I 8/23/12 .0538 .077
I 9/3/12 .0790 .067
I 10/9/12 .0676 .089
I 10/21/12 .0681 .076
I 11/1/12 .0657 .091
I 11/16/12 .0678 .069
I 12/17/12 .0292 .057
List these Totals on next page => A = B = C=
49
Compliance Judgment Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination Period:
7/1/2012-12/31/12
See next page for definitions
Daily Max. or
____ Ave. Limits
from IUP
IUP Limit * TRC criteria = TRC Limit
Circle 1.4 For TRC for BOD, TSS, oil, fat, grease; Circle 1.2 for all other pollutants
TRC compliance judgment not required for pH:
Circle which units apply
to each individual Limit
Daily Maximum Limit: * 1.2 or 1.4 = TRC Daily Limit: mg/l or lbs/day
______ Average Limit: * 1.2 or 1.4 = TRC Avg. Limit: mg/l or lbs/day
Column 1: I - Industry self P-POTW A - Average
Column 5: Use only if IUP has (monthly, or other?) average limit. Average values of all sampling events collected within the
"average" period (for example, for a monthly average limit, use all values collected within a calendar month) and enter
this average in column 5. Compare this average to the appropriate average IUP limit or TRC limit.
Column 6: Use only if IUP has daily limits in lbs/day. Formula to use is ( mgd * mg/l * 8.34 = lbs/day ).
Column 7: Use only if IUP has (monthly?) average limits in lbs/day. Use ( mgd * mg/l * 8.34 = lbs/day ).
Column 8: Put "1" for each daily maximum or average value, tally up at bottom as "A."
Column 9: Compare daily and average values to IUP limits above,put "0" if at or below limit, "1" if above, tally at bottom as "B."
Column 10: Compare daily and average values to TRC limits above,put "0" if below limit, "1" if at or above, tally at bottom as "C."
Col. 1: From
IDMRs
From
IDMRs
From
IDMRs
Col. 5: Col 6: Col 7: Col 8: Col 9: Col 10:
Sample
Type
Sample
Date
Daily
Flow,
mgd
Daily
Conc.
mg/l
Avg
Conc.
mg/l
Daily
Load
lbs/day
Avg.
Load
lbs/day
Count Regular
Violation
?
TRC
Violation
?
I 7/17/12 .0752 .042 1
P 7/24/12 .0469 .086 1
I 8/7/12 .0313 .087 1
I 8/23/12 .0538 .077 1
I 9/3/12 .0790 .067 1
I 10/9/12 .0676 .089 1
I 10/21/12 .0681 .076 1
I 11/1/12 .0657 .091 1
I 11/16/12 .0678 .069 1
I 12/17/12 .0292 .057 1
List these Totals on next page => A = 10 B = C=
.07 .084
50
Compliance Judgement Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination Period:
7/1/2012-12/31/12
See next page for definitions
Daily Max. or
____ Ave. Limits
from IUP
IUP Limit * TRC criteria = TRC Limit
Circle 1.4 For TRC for BOD, TSS, oil, fat, grease; Ci rcle 1.2 for all other pollutants
TRC compliance judgment not required for pH:
Circle which units apply
to each individual Limit
Daily Maximum Limit: * 1.2 or 1.4 = TRC Daily Limit: mg/l or lbs/day
______ Average Limit: * 1.2 or 1.4 = TRC Avg. Limit: mg/l or lbs/day
Column 1: I - Industry self P-POTW A - Average
Column 5: Use only if IUP has (monthly, or other?) average limit. Average values of all sampling events collected within the
"average" period (for example, for a monthly average limit, use all values collected within a calendar month) and enter
this average in column 5. Compare this average to the appropriate average IUP limit or TRC limit.
Column 6: Use only if IUP has daily limits in lbs/day. Formula to use is ( mgd * mg/l * 8.34 = lbs/day ).
Column 7: Use only if IUP has (monthly?) average limits in lbs/day. Use ( mgd * mg/l * 8.34 = lbs/day ).
Column 8: Put "1" for each daily maximum or average value, tally up at bottom as "A."
Column 9: Compare daily and average values to IUP limits above,put "0" if at or below limit, "1" if above, tally at bottom as "B."
Column 10: Compare daily and average values to TRC limits above,put "0" if below limit, "1" if at or above, tally at bottom as "C."
Col. 1: From
IDMRs
From
IDMRs
From
IDMRs
Col. 5: Col 6: Col 7: Col 8: Col 9: Col 10:
Sample
Type
Sample
Date
Daily
Flow,
mgd
Daily
Conc.
mg/l
Avg
Conc.
mg/l
Daily
Load
lbs/day
Avg.
Load
lbs/day
Count Regular
Violation
?
TRC
Violation
?
I 7/17/12 .0752 .042 1 0
P 7/24/12 .0469 .086 1 1
I 8/7/12 .0313 .087 1 1
I 8/23/12 .0538 .077 1 1
I 9/3/12 .0790 .067 1 0
I 10/9/12 .0676 .089 1 1
I 10/21/12 .0681 .076 1 1
I 11/1/12 .0657 .091 1 1
I 11/16/12 .0678 .069 1 0
I 12/17/12 .0292 .057 1 0
List these Totals on next page => A = 10 B = 6 C=
.07 .084
51
Compliance Judgment Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination Period:
7/1/2012-12/31/12
See next page for definitions
Daily Max. or
____ Ave. Limits
from IUP
IUP Limit * TRC criteria = TRC Limit
Circle 1.4 For TRC for BOD, TSS, oil, fat, grease; Circle 1.2 for all other pollutants
TRC compliance judgment not required for pH:
Circle which units apply
to each individual Limit
Daily Maximum Limit: * 1.2 or 1.4 = TRC Daily Limit: mg/l or lbs/day
______ Average Limit: * 1.2 or 1.4 = TRC Avg. Limit: mg/l or lbs/day
Column 1: I - Industry self P-POTW A - Average
Column 5: Use only if IUP has (monthly, or other?) average limit. Average values of all sampling events collected within the
"average" period (for example, for a monthly average limit, use all values collected within a calendar month) and enter
this average in column 5. Compare this average to the appropriate average IUP limit or TRC limit.
Column 6: Use only if IUP has daily limits in lbs/day. Formula to use is ( mgd * mg/l * 8.34 = lbs/day ).
Column 7: Use only if IUP has (monthly?) average limits in lbs/day. Use ( mgd * mg/l * 8.34 = lbs/day ).
Column 8: Put "1" for each daily maximum or average value, tally up at bottom as "A."
Column 9: Compare daily and average values to IUP limits above,put "0" if at or below limit, "1" if above, tally at bottom as "B."
Column 10: Compare daily and average values to TRC limits above,put "0" if below limit, "1" if at or above, tally at bottom as "C."
Col. 1: From
IDMRs
From
IDMRs
From
IDMRs
Col. 5: Col 6: Col 7: Col 8: Col 9: Col 10:
Sample
Type
Sample
Date
Daily
Flow,
mgd
Daily
Conc.
mg/l
Avg
Conc.
mg/l
Daily
Load
lbs/day
Avg.
Load
lbs/day
Count Regular
Violation
?
TRC
Violation
?
I 7/17/12 .0752 .042 1 0 0
P 7/24/12 .0469 .086 1 1 1
I 8/7/12 .0313 .087 1 1 1
I 8/23/12 .0538 .077 1 1 0
I 9/3/12 .0790 .067 1 0 0
I 10/9/12 .0676 .089 1 1 1
I 10/21/12 .0681 .076 1 1 0
I 11/1/12 .0657 .091 1 1 1
I 11/16/12 .0678 .069 1 0 0
I 12/17/12 .0292 .057 1 0 0
List these Totals on next page => A = 10 B = 6 C= 4
.07 .084
52
Compliance Judgement Worksheet For SNC With Limits
Use separate sheets for each Industry SNC determination for Flow optional, see Section 7-E Use separate sheets for each Pollutant
SIU Name: WillPlateit Metal Finishers IUP Number: 0006 Pipe Number: 0001
Parameter: Cadmium Six Month SNC Determination Period: 7/1/2012-12/31/12
SIGNIFICANT NON-COMPLIANCE (SNC) LIMITS DETERMINATION Calculate % and Circle Answers
1) Calculate the % of Regular violations: B/A =
2) Is B/A greater than or equal to 0.66 (or 66 %) ? Chronic violator? Yes / No
3) Calculate the % of TRC Violations: C/A =
4) Is C/A greater than or equal to 0.33 (or 33 %) ? TRC Violator? Yes / No
5) Did any violation, alone or in combination with other discharges, cause pass-through or interference at the
POTW, or endanger the health of POTW workers or the public? Yes / No
6) Did any violation cause imminent endangerment to human health / welfare or to the
environment or has resulted in the POTW's exercise of its emergency authority to halt or
prevent such discharge? Yes / No
7) If the answer to any of these questions is yes, the SIU is in Significant Non-Compliance (SNC) for this parameter.
They must be listed on the Significant Non-Compliance Report (SNCR) form in the Pretreatment Annual Report
(PAR), described in the PAR narrative (including parameter, period, and POTW actions), and the POTW must take
adequate enforcement as outlined in its Enforcement Response Plan (ERP).
Is the SIU in SNC for this six month period? CIRCLE ONE: YES NO
Was the SIU in SNC for THE SAME PARAMETER in the previous six month compliance period? CIRCLE
ONE: YES NO
If YES to EITHER question, DESCRIBE IN NARRATIVE.
Please note if SIU was in SNC for the previous six month compliance period and is also in SNC for this six month
compliance period, escalated enforcement actions must be taken as soon as possible, preferably before the end of
the second consecutive period. Failure to take the action within 2 months after the end of the second consecutive
period will subject the POTW to enforcement by the Division. The options are:
Consent Order with Enforceable schedule;
Administrative Order with Enforceable schedule;
Permit modification.
See Chapter 9 - Pretreatment Annual Reports, Chapter 8 - Enforcement, and the POTW's Enforcement Response Plan
(ERP).
Definitions:
Count, The number of daily sample data values or the number of average of sampling events used for checking
compliance with average limits.
TRC Technical Review Criteria, Multiply the actual IUP limits by the proper TRC Criteria value to get a TRC
Limit:
TRC Criteria = 1.4 for BOD, TSS, oil, fat, grease
TRC Criteria = 1.2 for all other pollutants
Not required to perform TRC compliance judgment for pH.
SNCR Significant Non-Compliance Report
SNC Significant Non-Compliance
60.0%
6/10
4/10 40.0%
Per ORC
Now What?
53
Separate Judgment
Please note:
Compliance for daily max & monthly (or other) average limits are judged independently and equally weighted.
More compliance violations are a potential for more SNC determinations.
54
Setting Pollutant Limits Options
Different limit configurations may have an effect on SNC determinations
1.Keep same daily max and monthly average limits
a.No change to allocation table
b.Must perform SNC calculations treating daily & monthly limits separately
•Some POTWs may have to revise compliance judgment software programs
c.May cause more SIU violations and SNC
2.Remove monthly avg. Daily max = old monthly avg
a.No change to allocation table
b.Simplifies compliance judgment
c.May cause more SIU violations and SNC
Note: Options 2 & 3 may not be available for some categorical SIUs.
Contact Pretreatment Staff to discuss.
55
Setting Pollutant Limits Options
3.Remove monthly average limit and keep daily max limit
a. Have to use the higher daily max limit in allocation table.
•May reduce reserve; may cause over-allocation!
b. Simplifies compliance judgment
c. Should not create more violations
4. Keep different daily max and monthly average limits
a.The allocation table will use monthly averages
b.Too conservative limits can cause SNC problems
c.Must perform SNC calculations treating daily & monthly limits separately
•Some POTWs may have to revise compliance judgment software programs
Note: Options 2 & 3 may not be available for some categorical SIUs. Contact Pretreatment Staff to discuss.
56
Data Summary Form as Limits Compliance
Judgment Worksheet
FLOW ARSENIC CADMIUM CHROMIUM COPPER
Sample Date
POTW
or SIU
Sample MGD <mg/L <mg/L <mg/L
7/17/12 SIU 0.0752 0.042 0.042 0.0263 0.32 0.315 0.1976
7/24/12 POTW 0.0469 0.086 0.086 0.0336 0.53 0.532 0.2081
8/7/12 SIU 0.0313 0.087 0.087 0.0227 0.37 0.373 0.0974
8/23/12 SIU 0.0538 0.077 0.077 0.0345
9/3/12 SIU 0.079 0.067 0.067 0.0441 0.82 0.818 0.5389
10/9/12 SIU 0.0676 0.089 0.089 0.0502 0.23 0.231 0.1302
10/21/12 SIU 0.0681 0.076 0.076 0.0432
11/1/12 SIU 0.0657 0.091 0.091 0.0499 0.21 0.206 0.1129
11/16/12 SIU 0.0678 0.069 0.069 0.0390
12/11/12 SIU 0.0292 0.057 0.057 0.0139 0.72 0.721 0.1756
Column Averages =>0.0585 0.0741 0.0357 0.4566 0.2087
Maximum 0.0790 0.0910 0.0502 0.8180 0.5389
Minimum 0.0292 0.0420 0.0139 0.2060 0.0974
Sample Location:
Will Plateit
Limit = 0.07 mg/l
TRC = 0.084
6 Viol = 6/10 =60%
4 TRC = 4/10 = 40%
10 daily
samples
57
Industrial Data Summary Form (IDSF)
Industrial Data Summary Form (IDSF)
•Summarizes All Data Collected for an Industry:
1) SIU and POTW Sampling for Limited Parameters
2) SIU and POTW Sampling for “Monitoring Only” Parameters
•Required to Complete a Separate IDSF for Each Pipe for Each SIU
•Third party software developers have created solutions for data
collection.
59
You May Use Your Own Form with Prior Division Approval of the Form
Industrial Data Summary Form (IDSF)
•For Each Parameter, Include at Least One of the Following:
1) Maximum Concentration
2) Maximum Loading
3) Average Concentration
•Specifying what type of average
•If BDL - was ½BDL, or 0 used
4) Average Loading
If readily available, the Division prefers both
maximum and average values
60
Industrial Data Summary Form (IDSF)
•Blank sections indicate that there was no monitoring performed
for a particular parameter during a six-month period.
•For “monitoring only” parameters - list “N/A” for not applicable in
the % violations and % TRC violations rows (do not list “0”)
61
Control Authority,Industry
Town Name =>Typicalville Name Chicken Pluckers, Inc.
WWTP Name =>Typicalville WWTP IUP #0008
NPDES # =>NC0012345 Pipe #001
1st 6 months, dates =>1/1/2012 to 6/30/2012
2nd 6 months, dates =>7/1/2012 to 12/31/2012
Flow, mgd BOD TSS Ammonia
1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months
Total # of samples =>121 123 13 32 13 27 1 1
*Maximum (mg/l) =>0.712 mgd 0.806 mgd 725 587 162 114 23.6 14.60
*or Maximum (lb/d) =>4,220 2448 960 703.6 168.28 103.99
*or 6 month using BDL Average (mg/l) =>0.586 mgd 0.613 mgd 445 304 142 47 23.6 14.60
*or Average Loading (lb/d) =>2,175 1554 694 274.00 168.28 103.99
% violations,(chronic SNC is >= 66%) =>0 0 15.4 3.1 0 0 N/A N/A
% TRC violations, (SNC is >= 33 %) =>0 0 7.7 0 0 0 N/A N/A
% violations,(chronic SNC is >= 66%) =>N/A N/A 100 33.3 0 0 N/A N/A
% TRC violations, (SNC is >= 33 %) =>N/A N/A 66.7 0 0 0 N/A N/A
Oil & Grease Zinc pH
1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months
Total # of samples =>7 7 1 1 13 27
*Maximum (mg/l) =>25.5 62.1 0.11 0.08 5.0/9.75 6.5/9.5
*or Maximum (lb/d) =>170.14 447.48 0.6752 0.5698
*or 6 month using BDL Average (mg/l) =>11.75 27 0.11 0.08
*or Average Loading (lb/d) =>79.8 189.69 0.6752 0.5698
% violations, (chronic SNC is >= 66%) =>0 0 N/A N/A 15.4 0
% TRC violations, (SNC is >= 33 %) =>0 0 N/A N/A N/A N/A
% violations,(chronic SNC is >= 66%) =>N/A N/A N/A N/A N/A N/A
% TRC violations, (SNC is >= 33 %) =>N/A N/A N/A N/A N/A N/A
BDL => Below Detection Limit mg/l => milligrams per liter
* POTW must enter at least one of these IUP => Industrial User Permit lb/d => pounds per day
four rows, Please indicate how averages were calculated SNC => Significant Non-Compliance mgd => million gallons per day
Avg period could be month, Qtr, or 6-month & if BDL , 1/2BDL, or zero values used.TRC => Technical Review Criteria WWTP => wastewater treatment plant
Pretreatment Annual Report (PAR)
Industrial Data Summary Form
(IDSF)
Use separate forms for each industry/pipe
Pretreatment Annual Report (PAR)N/A because no IUP Limit
for these Parameters
IDSF for SIUs with both daily and average limits
62
Control Authority,Industry
Town Name =>Typicalville Name Slugem Hosiery Mill, Inc.
WWTP Name =>Typicalville WWTP IUP #0007
NPDES # =>NC0012345 Pipe #001
1st 6 months, dates =>1/1/2012 to 6/30/12
2nd 6 months, dates =>7/1/2012 to 12/31/12
Flow, mgd BOD TSS Ammonia
1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months
Total # of samples =>12 10 12 10 7 7 1
*Maximum (mg/l) =>0.248 mgd 0.358 mgd 177 325 367 330 5.4
*or Maximum (lb/d) =>342.62 737.26 752.96 864.19 not 15.23
*or 6 month using BDL Average (mg/l) =>0.197 mgd 0.313 mgd 157 226 0.252 218 required 5.4
*or Average Loading (lb/d) =>257.34 571.23 431.18 549.46 15.23
% violations,(chronic SNC is >= 66%) =>0 0 0 0 0 0 N/A
% TRC violations, (SNC is >= 33 %) =>0 0 0 0 0 0 N/A
Chromium Copper Mercury Zinc
1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months
Total # of samples =>8 8 8 7 1 7 7
*Maximum (mg/l) =>0.48 0.460 0.49 0.49 0.0002 0.187 0.501
*or Maximum (lb/d) =>0.863 1.3730 0.94 1.314 not 0.0006 0.359 1.32
*or 6 month using BDL Average (mg/l) =>0.407 0.390 0.393 0.383 required 0.0002 0.162 0.359
*or Average Loading (lb/d) =>0.693 1.0190 0.667 0.999 0.0006 0.266 0.935
% violations, (chronic SNC is >= 66%) =>12.5 0 12.5 0 N/A 0 0
% TRC violations, (SNC is >= 33 %) =>0 0 0 0 N/A 0 0
Oil & Grease MBAS Phosphorous
1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months
Total # of samples =>7 7 1 7 7
*Maximum (mg/l) =>75.9 79 0.12 10.8 15.7
*or Maximum (lb/d) =>124.33 205 not 0.358 20.767 35.72
*or 6 month using BDL Average (mg/l) =>45.5 62.78 required 0.12 9.11 12.48
*or Average Loading (lb/d) =>66.9 161.6 0.358 15.181 32.24
% violations, (chronic SNC is >= 66%) =>0 0 N/A 0
% TRC violations, (SNC is >= 33 %) =>0 0 N/A 0
BDL => Below Detection Limit mg/l => milligrams per liter
* POTW must enter at least one of these IUP => Industrial User Permit lb/d => pounds per day
four rows, Please indicate how averages were calculated SNC => Significant Non-Compliance mgd => million gallons per day
Avg period could be month, Qtr, or 6-month & if BDL , 1/2BDL, or zero values used.TRC => Technical Review Criteria WWTP => wastewater treatment plant
Pretreatment Annual Report (PAR)
Industrial Data Summary Form (IDSF)
Use separate forms for each industry/pipe
Enter BDL values as < (value)
Pretreatment Annual Report (PAR)
Why was this data
not required?
Discuss in narrative.
63
Control Authority,Industry
Town Name =>Typicalville Name Will Plateit Metal Finishing, Inc.
WWTP Name =>Typicalville WWTP IUP #0006
NPDES # =>NC0012345 Pipe #001
1st 6 months, dates =>1/1/2012 to 6/30/12
2nd 6 months, dates =>7/1/2012 to 12/31/12
Flow, mgd Cadmium Chromium Copper
1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months
Total # of samples =>12 10 12 10 7 7 7 7
*Maximum (mg/l) =>0.0796 mgd 0.079 mgd 0.102 0.091 0.012 0.023 1.43 1.830
*or Maximum (lb/d) =>0.0637 0.050 0.0063 0.0095 0.7836 0.7146
*or 6 month using BDL Average (mg/l) =>0.0644 mgd 0.0585 mgd 0.077 0.074 0.008 0.010 1.089 1.245
*or Average Loading (lb/d) =>0.042 0.036 0.0037 0.004 0.5238 0.506
% violations,(chronic SNC is >= 66%) =>0 0 66.7 60 0 0 0 0
% TRC violations, (SNC is >= 33 %) =>0 0 16.7 40 0 0 0 0
Cyanide Lead Mercury Nickel
1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months
Total # of samples =>7 7 7 7 7 7 10
*Maximum (mg/l) =>0.005 0.005 0.027 0.013 0.0002 2.52 3.03
*or Maximum (lb/d) =>0.0033 0.0033 0.0171 0.0067 Not 0.00013 1.4034 1.7083
*or 6 month using BDL Average (mg/l) =>0.005 0.005 0.021 0.011 Required 0.0002 1.735 2.15
*or Average Loading (lb/d) =>0.0024 0.0021 0.0104 0.0043 0.00013 0.8713 1.0490
% violations, (chronic SNC is >= 66%) =>0 0 0 0 0 14.3 30
% TRC violations, (SNC is >= 33 %) =>0 0 0 0 0 0 20
Silver Zinc Phosphorous TTO
1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months 1st 6 months 2nd 6 months
Total # of samples =>7 7 7 7 7 7
*Maximum (mg/l) =>0.173 0.171 0.407 0.487 3.84 3.05
*or Maximum (lb/d) =>0.114 0.114 0.2682 0.2198 2.321 1.2677
*or 6 month using BDL Average (mg/l) =>0.125 0.124 0.369 0.34 2.608 2.622
*or Average Loading (lb/d) =>0.064 0.0549 0.1802 0.1339 1.2099 1.0338
% violations, (chronic SNC is >= 66%) =>0 0 0 0 0 0
% TRC violations, (SNC is >= 33 %) =>0 0 0 0 0 0
BDL => Below Detection Limit mg/l => milligrams per liter
* POTW must enter at least one of these IUP => Industrial User Permit lb/d => pounds per day
four rows, Please indicate how averages were calculated SNC => Significant Non-Compliance mgd => million gallons per day
Avg period could be month, Qtr, or 6-month & if BDL , 1/2BDL, or zero values used.TRC => Technical Review Criteria WWTP => wastewater treatment plant
*Certifies for TTO as
Not Being Present
Pretreatment Annual Report (PAR)
Industrial Data Summary Form (IDSF)
Use separate forms for each industry/pipe
Enter BDL values as < (value)
64
Significant Non-Compliance Report (SNCR)
65
Significant Non -Compliance Report (SNCR)
•List all IUs in SNC with any IUP requirement for the PAR Year
1) Limits Violations
2) Pass-Through and Interference
3) SNC for Reporting and/or IUP Conditions
•POTW must still take that appropriate enforcement or other action for SIUs
that will be in SNC for a second consecutive six -month period
•Remember, repeat SNCs are a serious matter .
66
PAR covers this calendar year =>2012
Control Authority=Program=Town Name =>Town of Typicalville
WWTP = Wastewater Treatment Plant, use separate form for each WWTP.WWTP Name =>Typicalville WWTP
SIU = Significant Industrial User NPDES # =>NC0012345
SNC = Significant Non-Compliance
A SNCR Form must be submitted with every PAR, please write "None " if you had No SIUs in SNC during calendar year
IUP Pipe Industry Name Parameter
##or "Reporting"Jan. - June July - Dec.
0006 001 Will Plateit Metal Finishing, Inc.Cadmium Yes Yes
0008 001 Chicken Pluckers, Inc.BOD Yes No
0008 001 Chicken Pluckers, Inc.Reporting Yes No
Attach a copy of the Division's "SIUs in SNC Historical Report" for your POTW's SIUs behind this page .
Is the database correct ? Notify the Division of any errors ! Database indicates SNC history for previous years.
EVERY SNC MUST be explained in the Narrative, How was, is, or will it be resolved?
REPEAT SNCs are serious matters that MUST be explained in the Narrative.
SNC ? ( Yes / No )
for each 6-month period.
Pretreatment Annual Report (PAR)
Significant Non-Compliance Report (SNCR)
67
Note, the Division did not provide an SNC
Report for the 2023 PAR
Pretreatment Performance Summary (PPS)
▪Form adapted to gather information for the EPA database
▪Counts # of:
•SIUs and CIUs
•NOVs and similar actions
•SIUs in SNC
•Public Notices
•Enforcement Cases
•Penalties Assessed and Collected
•Compliance Schedules
69
Pretreatment Performance Summary (PPS)-
Explanations
•Line # 5. Number of SIUs permitted and/or discharging during the PAR year. Discuss new or dropped SIUs in narrative.
•Line # 12. An SIU is in SNC if they fail to meet a compliance schedule milestone within 90 days of the scheduled date for
starting construction, completing construction or attaining final compliance; if progress reports required by the compliance
schedule are over 45 days late; or there are violations of any interim limits meeting the chronic or TRC definition of SNC.
•Line # 15. This is the total number of industries on a compliance schedule as part of an enforcement action during the
reporting period. If the compliance schedule was entered into in July 2023, it would be counted on the PPS form in 2023 and
2024 and subsequent PARs years until the schedule is completed or expires. These schedules are issued outside of, or separate
from, the IUP. If an industry is on a compliance schedule that is part of an IUP, this is not included in the PAR. This type of
compliance schedule is not considered an enforcement action that includes stipulated penalties, and it should therefore not b e
included.
•Lines # 16,17,18,19, 20. are based on number of events during PAR year, and do not include events occurring after PAR year.
•Line # 19. Total amount of Civil Penalties collected: This is the actual amount in fines that was collected from the industri es
during this twelve-month period. This can include COLLECTION of penalties assessed during prior reporting periods.
•Line # 20. Number of SIUs from which penalties collected. This is the total number of industries that actually paid penalties
during the year.
70
Line # 5. Number
of SIUs actually
permitted and/or
discharging during
PAR year. Discuss
new or dropped
SIUs in narrative.
Chapter 9, PAR Guidance
Pretreatment Performance Summary (PPS)
1.Pretreatment Town Name:
2."Primary" NPDES Number NC00
or Non_Discharge Permit # if applicable =>
3.PAR begin Date, please enter 01/01/yy 3. =>1/1/2012
4.PAR end Date, please enter 12/31/yy 4. =>12/31/2012
5.Total number of SIUs, includes CIUs 5. =>3
6.Number of CIUs 6. =>
7.Number of SIUs with no IUP, or with an expired IUP 7. =>
8.Number of SIUs not inspected by POTW 8. =>
9.Number of SIUs not sampled by POTW 9. =>
10.Number of SIUs in SNC due to IUP Limit violations 10. =>
11.Number of SIUs in SNC due to Reporting violations 11. =>
12.Number of SIUs in SNC due to violation of a compliance schedule, CO, AO or similar 12. =>
13.Number of CIUs in SNC 13. =>
14.Number of SIUs included in public notice 14. =>
15 Total number of SIUs on a compliance schedule, CO, AO or similar 15. =>
16.Number of NOVs, NNCs or similar assesed to SIUs 16. =>
17.Number of Civil Penalties assessed to SIUs 17. =>
18.Number of Criminal Penalties assessed to SIUs 18. =>
19.Total Amount of Civil Penalties Collected 19. => $
20.Number of IUs from which penalties collected 20. =>
Foot Notes:
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71
Will Plateit
Chapter 9, PAR Guidance
Pretreatment Performance Summary (PPS)
1.Pretreatment Town Name:
2."Primary" NPDES Number NC00
or Non_Discharge Permit # if applicable =>
3.PAR begin Date, please enter 01/01/yy 3. =>1/1/2012
4.PAR end Date, please enter 12/31/yy 4. =>12/31/2012
5.Total number of SIUs, includes CIUs 5. =>3
6.Number of CIUs 6. =>1
7.Number of SIUs with no IUP, or with an expired IUP 7. =>0
8.Number of SIUs not inspected by POTW 8. =>0
9.Number of SIUs not sampled by POTW 9. =>0
10.Number of SIUs in SNC due to IUP Limit violations 10. =>2
11.Number of SIUs in SNC due to Reporting violations 11. =>1
12.Number of SIUs in SNC due to violation of a compliance schedule, CO, AO or similar 12. =>0
13.Number of CIUs in SNC 13. =>1
14.Number of SIUs included in public notice 14. =>
15 Total number of SIUs on a compliance schedule, CO, AO or similar 15. =>
16.Number of NOVs, NNCs or similar assesed to SIUs 16. =>
17.Number of Civil Penalties assessed to SIUs 17. =>
18.Number of Criminal Penalties assessed to SIUs 18. =>
19.Total Amount of Civil Penalties Collected 19. => $
20.Number of IUs from which penalties collected 20. =>
Foot Notes:
12345
Typicalville
Will Plateit
72
Will Plateit
Chapter 9, PAR Guidance
Pretreatment Performance Summary (PPS)
1.Pretreatment Town Name:
2."Primary" NPDES Number NC00
or Non_Discharge Permit # if applicable =>
3.PAR begin Date, please enter 01/01/yy 3. =>1/1/2012
4.PAR end Date, please enter 12/31/yy 4. =>12/31/2012
5.Total number of SIUs, includes CIUs 5. =>3
6.Number of CIUs 6. =>1
7.Number of SIUs with no IUP, or with an expired IUP 7. =>0
8.Number of SIUs not inspected by POTW 8. =>0
9.Number of SIUs not sampled by POTW 9. =>0
10.Number of SIUs in SNC due to IUP Limit violations 10. =>2
11.Number of SIUs in SNC due to Reporting violations 11. =>1
12.Number of SIUs in SNC due to violation of a compliance schedule, CO, AO or similar 12. =>0
13.Number of CIUs in SNC 13. =>1
14.Number of SIUs included in public notice 14. =>2
15 Total number of SIUs on a compliance schedule, CO, AO or similar 15. =>
16.Number of NOVs, NNCs or similar assesed to SIUs 16. =>
17.Number of Civil Penalties assessed to SIUs 17. =>
18.Number of Criminal Penalties assessed to SIUs 18. =>
19.Total Amount of Civil Penalties Collected 19. => $
20.Number of IUs from which penalties collected 20. =>
Foot Notes:
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73
Since
schedule not
in effect until
the next year!
Chapter 9, PAR Guidance
Pretreatment Performance Summary (PPS)
1.Pretreatment Town Name:
2."Primary" NPDES Number NC00
or Non_Discharge Permit # if applicable =>
3.PAR begin Date, please enter 01/01/yy 3. =>1/1/2012
4.PAR end Date, please enter 12/31/yy 4. =>12/31/2012
5.Total number of SIUs, includes CIUs 5. =>3
6.Number of CIUs 6. =>1
7.Number of SIUs with no IUP, or with an expired IUP 7. =>0
8.Number of SIUs not inspected by POTW 8. =>0
9.Number of SIUs not sampled by POTW 9. =>0
10.Number of SIUs in SNC due to IUP Limit violations 10. =>2
11.Number of SIUs in SNC due to Reporting violations 11. =>1
12.Number of SIUs in SNC due to violation of a compliance schedule, CO, AO or similar 12. =>0
13.Number of CIUs in SNC 13. =>1
14.Number of SIUs included in public notice 14. =>2
15 Total number of SIUs on a compliance schedule, CO, AO or similar 15. =>0
16.Number of NOVs, NNCs or similar assesed to SIUs 16. =>
17.Number of Civil Penalties assessed to SIUs 17. =>
18.Number of Criminal Penalties assessed to SIUs 18. =>
19.Total Amount of Civil Penalties Collected 19. => $
20.Number of IUs from which penalties collected 20. =>
Foot Notes:
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Typicalville
74
Lines # 16, 17,
18 are based
on number of
events during
PAR year, and
do not include
events
occurring after
PAR year.
Chapter 9, PAR Guidance
Pretreatment Performance Summary (PPS)
1.Pretreatment Town Name:
2."Primary" NPDES Number NC00
or Non_Discharge Permit # if applicable =>
3.PAR begin Date, please enter 01/01/yy 3. =>1/1/2012
4.PAR end Date, please enter 12/31/yy 4. =>12/31/2012
5.Total number of SIUs, includes CIUs 5. =>3
6.Number of CIUs 6. =>1
7.Number of SIUs with no IUP, or with an expired IUP 7. =>0
8.Number of SIUs not inspected by POTW 8. =>0
9.Number of SIUs not sampled by POTW 9. =>0
10.Number of SIUs in SNC due to IUP Limit violations 10. =>2
11.Number of SIUs in SNC due to Reporting violations 11. =>1
12.Number of SIUs in SNC due to violation of a compliance schedule, CO, AO or similar 12. =>0
13.Number of CIUs in SNC 13. =>1
14.Number of SIUs included in public notice 14. =>2
15 Total number of SIUs on a compliance schedule, CO, AO or similar 15. =>0
16.Number of NOVs, NNCs or similar assesed to SIUs 16. =>16
17.Number of Civil Penalties assessed to SIUs 17. =>8
18.Number of Criminal Penalties assessed to SIUs 18. =>0
19.Total Amount of Civil Penalties Collected 19. => $
20.Number of IUs from which penalties collected 20. =>
Foot Notes:
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Typicalville
75
Line # 19 is the
actual amount in
fines that was
collected from the
industries during this
twelve month
period. This can
include collection of
penalties assessed
during prior
reporting periods.
Chapter 9, PAR Guidance
Pretreatment Performance Summary (PPS)
1.Pretreatment Town Name:
2."Primary" NPDES Number NC00
or Non_Discharge Permit # if applicable =>
3.PAR begin Date, please enter 01/01/yy 3. =>1/1/2012
4.PAR end Date, please enter 12/31/yy 4. =>12/31/2012
5.Total number of SIUs, includes CIUs 5. =>3
6.Number of CIUs 6. =>1
7.Number of SIUs with no IUP, or with an expired IUP 7. =>0
8.Number of SIUs not inspected by POTW 8. =>0
9.Number of SIUs not sampled by POTW 9. =>0
10.Number of SIUs in SNC due to IUP Limit violations 10. =>2
11.Number of SIUs in SNC due to Reporting violations 11. =>1
12.Number of SIUs in SNC due to violation of a compliance schedule, CO, AO or similar 12. =>0
13.Number of CIUs in SNC 13. =>1
14.Number of SIUs included in public notice 14. =>2
15 Total number of SIUs on a compliance schedule, CO, AO or similar 15. =>0
16.Number of NOVs, NNCs or similar assesed to SIUs 16. =>16
17.Number of Civil Penalties assessed to SIUs 17. =>8
18.Number of Criminal Penalties assessed to SIUs 18. =>0
19.Total Amount of Civil Penalties Collected 19. => $1,350
20.Number of IUs from which penalties collected 20. =>
Foot Notes:
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76
Line # 20 is
the total
number of
industries that
actually paid
penalties
during the
year.
Chapter 9, PAR Guidance
Pretreatment Performance Summary (PPS)
1.Pretreatment Town Name:
2."Primary" NPDES Number NC00
or Non_Discharge Permit # if applicable =>
3.PAR begin Date, please enter 01/01/yy 3. =>1/1/2012
4.PAR end Date, please enter 12/31/yy 4. =>12/31/2012
5.Total number of SIUs, includes CIUs 5. =>3
6.Number of CIUs 6. =>1
7.Number of SIUs with no IUP, or with an expired IUP 7. =>0
8.Number of SIUs not inspected by POTW 8. =>0
9.Number of SIUs not sampled by POTW 9. =>0
10.Number of SIUs in SNC due to IUP Limit violations 10. =>2
11.Number of SIUs in SNC due to Reporting violations 11. =>1
12.Number of SIUs in SNC due to violation of a compliance schedule, CO, AO or similar 12. =>0
13.Number of CIUs in SNC 13. =>1
14.Number of SIUs included in public notice 14. =>2
15 Total number of SIUs on a compliance schedule, CO, AO or similar 15. =>0
16.Number of NOVs, NNCs or similar assesed to SIUs 16. =>16
17.Number of Civil Penalties assessed to SIUs 17. =>8
18.Number of Criminal Penalties assessed to SIUs 18. =>0
19.Total Amount of Civil Penalties Collected 19. => $1,350
20.Number of IUs from which penalties collected 20. =>3
Foot Notes:
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77
78
Narrative
Narrative
•Recommended Outline for Narrative
•Guidance is provided to:
•Help you organize your PAR Narratives.
•Help you determine what information is required or optional.
•Help you understand how information is checked
•Make it easier for us to find specific and useful information in the narratives.
•Some information is optional. It has been noted or italicized in both the guidance text and in the
examples.
•This Guidance is available by e-mail, and on our web page.
http://deq.nc.gov/about/divisions/water -resources/water-resources-permit-guidance/pretreatment -guide/annual-report-guidance
80
Outline of a Typical Narrative:
1 . General Information :
A. General Program Information .
B. General Permit Information .
2 . IU Information :
A.IUs in SNC Information .
B. Orders and Schedule Information (Please get this to us, we do need them).
C. A to C and Construction Information.
D. SIUs with Missing Data.
Optional:
E. Enforcement Actions by POTW, and Industry Responses, for Non -SNC, Non-Order, Non -
construction events
F. Other Information
81
Outline of a Typical Narrative (cont.):
•If you have no IUs in SNC, on Orders, or having pretreatment construction
activities, or missing data, your PAR Narrative may be as simple as the
Division's two database items, with any corrections noted.
•Program Information Sheet
•Historical SNC database sheet(s) (not supplied for 2023 PAR)
Still need all other required PAR forms for your type of Program – Full versus
Modified Programs!
82
Description of Narrative details:
General Information:
A. General Program Information:
1. Pretreatment Program Info. Sheet
(provided to you by the Pretreatment Staff with the end-of -year emailing)
Status of Major Pretreatment Program Elements - LTMP/STMP, HWA, ERP, SUO, IWS - Are
the dates and information correct, especially due dates?
Include any needed corrections marked on the Info Sheet returned with the PAR
Note, copies of the Program Info. Sheet are available upon request from the Pretreatment
Staff.
2. Discuss Planned updates of major local program elements
in narrative.
83
Description of Narrative details:
General Information:
B. Permit(s) General Information:
1. Did you have any permits expire before being
renewed? LIST THEM, & WHY.
2.Did you have any SIU Permits that were Brand New, Dropped, or
Changed Names during the Year? Please list them.
3.This is a good time to confirm that all issued IUPs have been received and
reviewed by the Central Office.
84
Description of Narrative details:
General Information:
B. Permit(s) General Information (cont.):
Optional
Dates for these permit actions may be listed here as useful reference.
We realize that some or all of these dates will have already been submitted to the Division with
permit renewals, modifications, and drops.
If you have permits that have been submitted to the Division and you have not received review
letter back from the Division, you may note that here.
For new permits, when did the permit become effective and when did the SIU actually begin
discharge? Note, if a lag between these dates results in "missing" data, it must be
explained (see "Missing" Data section below).
85
Description of Narrative details:
IU INFORMATION :
Please LIST alphabetically by IU name:
A . IUs in SNC Information:
1 . All IUs in SNC MUST be included in the Narrative and listed on the SNCR Form!
2. Note the reason(s) and which six-month period(s) they were in SNC .
3. If SNC for limits, note if was due to chronic, TRC, or both. Information should
match what is on your IDSF and SNCR Forms.
4. If SNC for something other than limits, such as: reporting, missing data/self
monitoring, interference, pass-through, permit conditions, etc. please explain.
86
Description of Narrative details:
IU INFORMATION:
A . IUs in SNC Information: (cont.)
5. Enclose a copy of the Public Notice for SNC, or affidavit. If Public Notice is not in
the PAR explain why not. PAR will not be considered complete until Public Notice is received.
6. Explain how a SNC situation was or will be resolved; such as: increased limit, shut down, installed or improved pretreatment, better operations, production changes, etc.
7. Explain how previous SNC situations were resolved if resolution occurred in this PAR
year.
87
Description of Narrative details:
IU INFORMATION: (cont.)
B. Orders or Schedule Information: For SIUs on an Order of any kind (including Administrative Orders, Consent Orders, Compliance Schedules) at any time during the PAR
year, include the following information :
1 . A copy of the Order/Schedule with the PAR. If Order/Schedule has been modified
since last submitted, include a new copy with the PAR.
2. Notes on all successfully completed Orders/Schedules.
3. Notes on all due dates in the Order/Schedule.
4. Notes on violations of any interim limits or due dates. Explain what and why and
discuss penalties assessed and penalties collected. You may (optional) attach
copies of NOVs and correspondence.
5. The Division might request a separate copy of the Administrative
Orders, Consent Orders, and/or Compliance Schedules.
88
Description of Narrative details:
IU INFORMATION (cont.):
C. Pretreatment (A -to-C) and Construction Info:
1 . Narrative must include information on any SIUs who have submitted plans and
specifications, requested an A -to-C, or had construction activities on their pretreatment systems
during the PAR year. This information will document or measure improvements to pretreatment
facilities and the work of pretreatment coordinators toward improving the environment.
2.Please include the following information:
a. Brief description of what is, was, or will be constructed.
b. Approx. cost.
c. Date submitted and/or date of A -to-C.
d. Date construction began, or is scheduled to begin.
e. Date construction completed or scheduled to end.
89
Description of Narrative details:
IU INFORMATION (cont .):
D. SIUs with Missing Data:
1 . Explain WHY any required sampling may "appear" to have not been done for any
SIU. Missing data may be required to be repeated . Missed self-monitoring is a violation and
may be considered SNC.
Some reasons for missing data are:
A permit is issued (became effective) well before the actual discharge begins.
A Permit is officially dropped well after the actual discharge was stopped.
Temporary shut downs / No process discharge.
Missed self monitoring, "botched" sampling, act of god, act of nature, or other reason.
(EXPLAIN !)
90
Description of Narrative details:
IU INFORMATION (cont.):
OPTIONAL:
E.POTW Enforcement Actions and SIU Response Information, for Non-SNC, Non -Order, Non-
Construction, Non-missing data events:
1 . Enforcement actions taken by the POTW, may include NOVs, meetings, extra
inspections, increased monitoring, penalties assessed, and penalties collected. Note, assessing
penalties and collecting penalties should be documented as separate actions.
2. Briefly explain how SIU responded to the enforcement action(s). Information such as
any known cause for the violations, and what the SIU has done or is doing to correct the
problem. Did the SIU deny the problem, request a meeting, appeal the NOV, etc.?
91
Description of Narrative details:
IU INFORMATION (cont .):
OPTIONAL:
F. Other Information:
1 . Information on SIUs with minor violations may be listed in the narrative very
briefly. This may be general and does not have to list the specifics about limits violations (note,
the percent violations is already summarized on the IDSF form). Minor violations can be an
indicator of future major violations.
2. Any other information you think is important.
92
Narrative - Example:
Town of Typicalville (NPDES #NC0012345)
2013 PAR Narrative
GENERAL INFORMATION:
GENERAL PROGRAM INFORMATION:
•AT, LTMP, HWA, SUO, ERP, IWS, and Permits are up to date. You can explain the status
of these program elements in regard to DWR’s review.
•Are all Dates on the Division's Database Program Info Sheet correct?
•A copy of our Program Info sheet is enclosed with corrections.
•Optional reporting of voluntary emerging compound information on a spreadsheet
(provided by the Division upon request).
93
Narrative - Example:
Town of Typicalville (NPDES #NC0012345)
2013 PAR Narrative
GENERAL INFORMATION (cont.):
GENERAL PERMIT INFORMATION:
•No permits lapsed or expired prior to renewal
•No new or Name Changes at any SIUs
94
Narrative - Example:
Town of Typicalville (NPDES #NC0012345)
2023 PAR Narrative
Slugem Hosiery Mill, Inc. (IUP # 0007, Textile)
SNC INFORMATION:
•SIU was not in SNC this PAR Year
•Previous SNC situation, see 2022 PAR, was resolved with permit modification
effective February 1, 2023. The POTW increased IUP limits for chromium and
copper. The cause of the violations and SNC in 2022 was determined to be
increased production and flow.
ORDERS AND SCHEDULE INFORMATION: None
A to C and CONSTRUCTION INFORMATION: None
MISSING DATA: Please note there is no monitoring for ammonia, mercury, or MBAS for the
first six months as this is only an annual monitoring requirement
100
Narrative - Example:
Town of Typicalville (NPDES #NC0012345)
2023 PAR Narrative
•Slugem Hosiery Mill, Inc. (IUP # 0007, Textile) - Cont.
OPTIONAL:
• ENFORCEMENT ACTIONS by POTW, and Industry responses for Non-SNC, Non-Order,
Non -Construction, Non -"missing" data events:
•The $500 penalty ($250 per SNC) assessed in the last PAR Year (2022) was paid on February
22, 2023.
•There were also two reporting violations for late sample reporting (two weeks late for March
and 8 days late for October). NOVs were issued and penalties were assessed at ($50
each). Penalties were paid on May 5, and November 30, respectively.
•Overall, this Industry has been very cooperative with the Town in resolving all issues.
•A couple of limit violations occurred in 2023, (see IDSF form, NOVs were issued), but overall
the SIU was not in SNC for either six month period in 2023.
101
Narrative - Example:
Town of Typicalville (NPDES #NC0012345)
2023 PAR Narrative
•Terrible Textiles. (IUP # 0009)
•As noted in the 2023 PAR, Terrible Textiles burned down on 12/1/2022 and the permit
was formally dropped effective 12/31/2022. There was no monitoring, no data, and
therefore no IDSF for this industry in this PAR.
102
Narrative - Example:
Town of Typicalville (NPDES #NC0012345)
2023 PAR Narrative
•Will Plateit Metal Finishers, Inc. (IUP # 0006, 40CFR433)
SNC INFORMATION:
•This SIU was in SNC for the parameter of Cadmium (Cd) for both the January 1-June
30, 2023, and the July 1-December 31, 2023, reporting periods .
•SIU was SNC for two periods in a row for Cadmium.
•In general, this Industry cannot identify or resolve the cause of their SNC. They also
do not promptly pay the penalties. Several meetings between the Town and the
Industry, as well as letters from our attorney have improved the industry’s
cooperation, but have still been unable to determine the source or reason for the
increased Cadmium levels. Consent Order issued to require resolution, with upfront
penalty.
•Copy of Public Notice is enclosed.
103
Narrative - Example:
Town of Typicalville (NPDES #NC0012345)
2023 PAR Narrative
•Will Plateit Metal Finishers, Inc. (IUP # 0006, 40CFR433) – Cont.
ORDER/SCHEDULE INFORMATION:
•POTW and the SIU entered into a Consent Order (copy enclosed).
Effective date of 2024, so not included on the PPS form.
A-to-C and CONSTRUCTION INFORMATION: None
MISSING DATA: NONE
Optional - OTHER MISC. INFORMATION:
•The SIU filed both required semi-annual TTO certifications in lieu of
monitoring for organics. TOMP is active and updated.
104
Narrative - Example:
Town of Typicalville (NPDES #NC0012345)
2023 PAR Narrative
•Will Plateit Metal Finishers, Inc. (IUP # 0006, 40CFR433) – Cont.
OPTIONAL:
• ENFORCEMENT ACTIONS by POTW, and Industry responses, for Non-
SNC, Non-Order, Non-Construction, Non-"missing" data events:
•Several other NOVs were issued throughout the year.
•A penalty of $250 was issued for the Jan-Jun 2023 SNC. SIU failed to pay the penalty
within the required 30 days. It was paid on September 30, 2023 after a strong letter
from the POTW’s attorney indicating failure to pay would result in termination of
service.
•Another $1000 penalty for the Jul-Dec SNC was incorporated into the Consent
Order. It has not been collected, but documentation of collection will be included in
our next PAR.
105
No Corrections Needed.
106
Waste Reduction:
Per .0916 of the Rule and G.S
143-215.1(g), required only to
be submitted with IUP
applications.
No longer required for the PAR!
Public Notice
Public Notice
•Required to be done a minimum of once per year
•What is in your SUO?
•Largest Daily Newspaper Circulated in Area?
•Newspaper of General Circulation that provides meaningful public notice?
•Generally completed in January or February for all SNC for Previous Year and
Included in PAR due March 1;
•Optional to complete Public Notice after each six month period, i.e., in July or
August for January through June SNCs, and again in January or February for
July through December SNCs
•may help SIU relations for SIUs in SNC for January through June for the POTW to issue
Public Notice while problem is on -going instead of 6 months or more after they have
fixed the problem
109
Public Notice (cont.)
•Public Notice Must Include All IUs in SNC due to Limits Violations or
Reporting or IUP Condition Violations
•Along with the IU Names, the Public Notice should include:
•Periods of SNC (January - June or July –December)
•the Parameter(s), Reporting, or Specific IUP Condition
•OPTIONAL: any other discussion you want, for example how the SNC did not affect your
WWTP or the environment, or how hard the SIU has worked to fix the problem, or how
their negligence caused the problem in the first place, or how uncooperative they have
been
110
Public Notice (cont.)
•In PAR, either include Affidavit provided by Newspaper, or cut out the Public
Notice from the newspaper (make sure the piece of the newspaper is large
enough to include the Public Notice and the part of the page with the name
of the paper and the date.
•If unable to include Public Notice in PAR, explain in the narrative why it
couldn’t be done earlier. Submit Copy of Affidavit or cut out from Newspaper
ASAP. NOTE: PAR will not be considered complete until Public Notice is
received. Can be accepted as a supplemental document to the PAR.
111
PUBLIC NOTICE
OF SIGNIFICANT INDUSTRIAL
WASTEWATER PERMIT
VIOLATIONS
The Town of Typicalville, in accordance
with Federal and State Regulations is
hereby giving Public Notice. Listed below
are Significant Industrial Users that were
in significant noncompliance (SNC) with
national pretreatment regulations, 40 CFR
Part 403, and state pretreatment
regulations, 15 NCAC 2 H .0900, and local
pretreatment regulations during the period
of January 1 thru June 30, 2012; Will
Plateit Metal Finishers, Inc.-
Cadmium. And July 1 thru December 31,
2012; Will Plateit Metal Finishers, Inc.-
Cadmium
A continuing effort is being made by all
the listed industries to achieve compliance,
including installation of new equipment
and upgrading of existing equipment and
continued progress is expected until full
compliance can be attained.
Town of Typicalville, Department of
Public Utilities, Jane Wastewater, Director.
January 17, 2013
Affidavit of Publication
The Typicalville Herald
Typicalville, N.C.
Personally appeared before me, a Notary Public of the
County of Typical, State of North Carolina, on
this the __17__day of ______January_____2013
_____Suzy Newsy_____
of The Typicalville Herald, who, bring duly sworn, state
that
the notice entitled
PUBLIC NOTICE OF SIGNIFICANT
INDUSTRIAL WASTEWATER PERMIT VIOLATIONS
_______________________________________
a true copy of which is attached hereto, appeared in The
Typicalville Herald, a newspaper published in the Town
of
Typicalville, County of Typical,
State of North Carolina, _____once____ a week for
_____one____week(s), on the following dates:
January 17___________ ______20___13_
______________________________20______
______________________________20______
______________________________20______
_______________________________________
The Typicalville (N.C.) Herald
of ______January___________2013
____Peter Public___
Notary Public
112
Enforceable Compliance Schedules
Enforceable Compliance Schedules
•Two basic kinds
•Signed by both POTW and SIU: Consent orders, Compliance
Agreements, SOCs, etc,;
•Signed by POTW only: Administrative Orders
•either when SIU refuses to agree to an order, or when SIU has failed to
comply with original “consent” type order
114
Enforceable Compliance Schedules (cont.)
•When to issue
•Issued when SIU will be in SNC for second period in a row for same
parameter/reporting violation
•Can be issued earlier to help SIU avoid further violations (i.e. if you
already know the violations will continue and you have a good idea
of the steps the SIU must take to comply, then why wait to issue the
order?)
115
Enforceable Compliance Schedules
(cont.)
•What’s in it
•Up-front penalties to address violations up to the time of issuance
of order.
•Interim limits SIU can comply with, i.e., gets SIU back in
“compliance” temporarily. These limits supersede IUP limits during
term of order. These limits are the SIU’s “carrot.”
•Interim limits can be higher than categorical limits
•No over allocation without prior DWR approval
116
Enforceable Compliance Schedules (cont.)
•What’s in it (cont.)
•Schedule of items, each with a specific due date, that SIU will
complete in order to return to compliance with original/final IUP
limits. This is the POTW’s “carrot,” i.e. commitment from SIU to do
specific things by specific dates.
•Specific items can vary greatly from SIU to SIU, and should be developed for
each specific circumstance
•Stipulated penalties for violations of conditions in order (limits, due
dates, etc.). This is POTW’s “stick.”
117
North Carolina
County of Typical
In the matter of Town of Typicalville
Pretreatment Permit No. 0006
held by Will Plateit Metal Finishers, Inc.
CONSENT ORDER AND COMPLIANCE SCHEDULE
Pursuant to provisions of the Sewer User Ordinance of the Town of Typicalville, this Consent Order is made effective the
1st day of February, 2023, between Will Plateit Metal Finishers, Inc . (hereinafter the "User") and the Town of Typicalville
(hereinafter the "Town").
The User and Town hereby stipulate and agree as follows:
1. User holds Town of Typicalville Pretreatment Permit No. 0006 (hereinafter the "Permit", which shall refer to
User's existing permit and any subsequent renewals or modifications thereof) for the operations of existing pretreatment
units and discharges from said treatment works into the Town's sewer system.
2. User has been unable to meet the permit limitations for Cadmium (Cd) set forth in its Permit.
3. Achievement of these limits will require resolution of existing problems in the present treatment train and
possibly, development of alternative solutions to alleviate noncompliance, including but not limited to the construction of
additional pretreatment facilities as well as the preparation of plans and specifications as necessary.
4. User hereby agrees to do and perform all of the following:
118
a.Meet and comply with all terms and conditions of the Permit (except as modified by the Order) provided,
however, subject to the terms and conditions of the Consent Order, the following shall apply:
Parameter Daily Max (mg/L) Monitoring Frequency Detection Limit
Cadmium (Cd) 0 .13 Weekly 0.002 mg/L
b.Unless and until Compliance is achieved, the User will undertake activities necessary to bring the User
into Compliance in accordance with the following schedule:
•COMPLIANCE SCHEDULE Deadline for Completion
April 1, 2023
July 1, 2023
September 1, 2023
December 1, 2023
March 1, 2024
June 1, 2024
July 1, 2024
Activities
(i)Prepare an Engineering Report of process alternatives
and/or pollution prevention/waste minimization alternative
designed to achieve Compliance
(ii)Complete Pilot Studies or waste minimization studies and
identify alternatives chosen to achieve Compliance
(iii)If required, submit necessary drawings and information to
obtain any necessary permits and/or authorization to
construct from the Town of Typicalville
(iv)Begin construction and/or implement identified process
alternative(s), pollution prevention, and waste
minimization alternatives.
(v)Complete identified construction/pollution prevention/
waste minimization alternatives and/or process
alternatives.
(vi)Complete analysis of implemented changes, including
daily monitoring from April 1 st to May 1st and make
necessary modifications to optimize and obtain full
operational status.
(vii)Achieve compliance with final (IUP) limit 0.07 mg/L.119
c. User shall perform each of the activities set forth in subparagraph (b) on or before the dates
established thereby unless such dates are extended by agreement of User and the Town. The User may
request such extensions for good cause, and the Town will not unreasonably withhold its consent to such
extension.
d. User shall submit a comprehensive written report within five (5) days following each milestone
date specified in subparagraph (b). Each such report shall be in narrative form, shall state in detail the
activities undertaken since the last report to achieve Compliance, and shall indicate whether User has met the
due date for the relevant milestone established in this Consent Order. If any report contains notice of failure to
meet a milestone date, the report shall also include a statement explaining the cause of the failure, any
remedial actions taken, and the probability of meeting the next milestone.
During any period of construction, User shall submit on or before the 10th day of each month,
detailed construction progress reports stating therein in narrative form the work performed during the month
and the percentage of completion of the project.
All reports required by the Consent Order shall be submitted to the Town by Certified Mail, Return
Receipt Requested, addressed to:
Director of Public Utilities
Town of Typicalville
PO Box 123
Typcialville, NC 12345
e. The User shall pay the Town $1,000, no later than February 27, 2023, for the Significant Non-
Compliance during the July through December 2022 reporting period.
120
f. Any violation of the terms of this Consent Order shall subject
the User to the enforcement authority outlined in the Ordinance. Such
action may include, but is not limited to such fines, penalties and
assessments as may be set forth in the Code of Ordinance of the
Town of Typicalville, as amended from time to time.
g. In lieu of other penalties, the following stipulated penalties
shall apply for violations of the User's limits or failure to meet a
milestone date under this Consent Order, or failure to achieve full
compliance with Consent Order.
Violation of limits $200 per day, per
violation
Failure to collected required samples,
meet compliance schedule deadlines,
required reports, or other milestone
dates contained herein
$200 per day, per
violation
Failure to achieve full compliance
with Final IUP limit at expiration of
Order
$1,000 per day
121
h. Once Compliance is achieved, this Consent Order shall terminate
and all obligations hereunder except any obligation to pay identified
moneys to the Town shall expire. Upon termination of this Order, the User shall be subject to all terms of the Permit.
i. In the performance of activities under this Consent Order, User
must otherwise follow the procedures, rules, regulations, ordinances, and
statutes of the Town, State, and Federal governments as they may apply to
User. Nothing contained herein shall be construed as a waiver thereof by
the Town.
Signed on this 26th day of January 2023.
USER:Will Plateit Metal Finishers, Inc.
BY: William B Plateit
TITLE: President
TOWN:Town of Typicalville
BY: Jane Wastewater
TITLE: Director of Public Utilities
This Order expires July 11, 2024.
122
Allocation Tables (ATs)
•Should be current as of December 31st, the last day of the end of the PAR
Reporting Period
•Includes Effective and Expiration Dates; May Include Permit Modification
Date(s)
•Includes Permit Limits For Each SIU and Pipe
•Includes Information from Headworks Analysis (HWA)
•MAHL
•Uncontrollable Loading
•MAIL
Do YOU have any Over Allocations??? – Explain in Narrative!
123
Allocation Table Headworks last approved:7/12/12
Town of Typicalville Allocation Table updated:9/30/12
NC0012345 Permits last modified:9/30/12
Most Recent
INDUSTRY Industry Type Original Modification Date Permit Limits Permit Limits Permit Limits
IUP NAMES Permit/Pipe of Effective Effective Permit Conc.Load Conc.Load
Count (please list alphabeticly)number Industry Date Date Expires MGD gal/day mg/l lbs/day mg/l lbs/day
1 Chicken Pluckers, Inc.0008/01 poultry 6/30/11 9/30/12 12/30/15 1.0000 1,000,000 300 2502 300 2502
2 Slugem Hosiery Mill, Inc.0007/01 dye and finish 6/30/11 2/1/12 12/30/15 0.3600 360,000 300 901 300 901
3 Will Plateit Metal Finishing, Inc.0006/01 433-metal finishing 6/30/11 12/30/15 0.0980 98,000
4
Column Totals =>1.4580 1,458,000 3403 3403
npdes npdes(5 mg/l)
MAHL from HWA (lbs/day) =>5.0000 9800 19599
Uncontrollable Loading (lbs/day) =>1.8900 2115 3214
Total Allowable for Industy (MAIL) (lbs/day)=>3.1100 7685 16385
Total Permitted to Industry (lbs/day) =>1.4580 3403 3403
MAIL left (lbs/day) =>1.6520 4282 12983
Percent Allow. Ind. (MAIL) still available (%) =>53.1 %55.7 %79.2 %
Percent MAHL still available (%) =>33.0 %43.7 %66.2 %
5 Percent MAHL (lbs/day) =>0.2500 489.98 979.95
FLOW BOD TSS
Total Allowable for Industry is also
known as Maximum Allowable Industrial
Load or MAIL
Allocation Tables (ATs)
124
Allocation Tables (ATs) (cont.)
125
Allocation Table
Town of Typicalville
NC0012345
INDUSTRY Industry Permit Limits Permit Limits Permit Limits Permit Limits Permit Limits Permit Limits
IUP NAMES Permit/Pipe Conc.Load Conc.Load Conc.Load Conc.Load Conc.Load Conc.Load
Count (please list alphabeticly)number mg/l lbs/day mg/l lbs/day mg/l lbs/day mg/l lbs/day mg/l lbs/day mg/l lbs/day
1 Chicken Pluckers, Inc.0008/01 monitor
2 Slugem Hosiery Mill, Inc.0007/01 0.5000 1.5012 0.6000 1.8014
3 Will Plateit Metal Finishing, Inc.0006/01 0.0700 0.0572 1.7100 1.3976 2.0700 1.6919 0.0100 0.0082
4
Column Totals =>0 0 0.0572 2.8988 3.4933 0.0082
npdes
MAHL from HWA (lbs/day) =>784 1.5679 0.1048 3.9198 6.2717 0.2630
Uncontrollable Loading (lbs/day) =>243 0.0226 0.0226 0.3770 0.8746 0.0377
Total Allowable for Industry(MAIL) (lbs/day) =>541 1.5453 0.0822 3.5428 5.3971 0.2253
Total Permitted to Industry (lbs/day) =>0 0.0000 0.0572 2.8988 3.4933 0.0082
MAIL left (lbs/day) =>541 1.5453 0.0250 0.6440 1.9038 0.2171
Percent Allow. Ind. (MAIL) still available (%) =>100.0 %100.0 %30.4 %18.2 %35.3 %96.4 %
Percent MAHL still available (%) =>69.0 %98.6 %23.8 %16.4 %30.4 %82.6 %
5 Percent MAHL (lbs/day) =>39.20 0.0784 0.0052 0.1960 0.3136 0.0132
COPPER CYANIDEAMMONIAARSENICCADMIUMCHROMIUM
Total Allowable for Industry is also
known as Maximum Allowable Industrial
Load or MAIL
Allocation Tables (ATs) (cont.)
126
Allocation Table
Town of Typicalville
NC0012345
INDUSTRY Industry Permit Limits Permit Limits Permit Limits Permit Limits Permit Limits Permit Limits
IUP NAMES Permit/Pipe Conc.Load Conc.Load Conc.Load Conc.Load Conc.Load Conc.Load
Count (please list alphabeticly)number mg/l lbs/day mg/l lbs/day mg/l lbs/day mg/l lbs/day mg/l lbs/day mg/l lbs/day
1 Chicken Pluckers, Inc.0008/01 monitor
2 Slugem Hosiery Mill, Inc.0007/01 monitor 0.6500 1.9516
3 Will Plateit Metal Finishing, Inc.0006/01 0.4300 0.3514 0.0002 0.00016 2.3800 1.9452 30.00 24.52 0.2400 0.1962 1.4800 1.2096
4
Column Totals =>0.3514 0.00016 1.9452 24.52 0.1962 3.1612
npdes(summer)
MAHL from HWA (lbs/day) =>1.0453 0.00047 2.6244 239.00 3.9198 7.8396
Uncontrollable Loading (lbs/day) =>0.3317 0.00226 0.1583 66.49 0.0377 0.9424
Total Allowable for Industry (MAIL) (lbs/day) =>0.7136 -0.0018 2.4661 172.51 3.8821 6.8972
Total Permitted to Industry (lbs/day) =>0.3514 0.00016 1.9452 24.52 0.1962 3.1612
MAIL left (lbs/day) =>0.3622 -0.00196 0.5209 147.99 3.6859 3.7360
Percent Allow. Ind. (MAIL) still available (%) =>50.8 %109.1 %21.1 %85.8 %94.9 %54.2 %
Percent MAHL still available (%) =>34.6 %-416.1 %19.8 %61.9 %94.0 %47.7 %
5 Percent MAHL (lbs/day) =>0.0523 0.0000 0.1312 11.95 0.1960 0.3920
LEAD MERCURY NICKEL Phosporous SILVER ZINC
Total Allowable for Industry is also
known as Maximum Allowable Industrial
Load or MAIL See narrative for resolution
of mercury over allocation.
Allocation Tables (ATs) (cont.)
127
Allocation Table
Town of Typicalville
NC0012345
INDUSTRY Industry Permit Limits Permit Limits Permit Limits Permit Limits Permit Limits
IUP NAMES Permit/Pipe Conc.Load Conc.Load Conc.Load Conc.Load Conc.Load
Count (please list alphabeticly)number mg/l lbs/day mg/l lbs/day mg/l lbs/day mg/l lbs/day mg/l lbs/day
3 Chicken Pluckers, Inc.0008/01 75 626
2 Slugem Hosiery Mill, Inc.0007/01 monitor monitor
1 Will Plateit Metal Finishing, Inc.0006/01
4
Column Totals =>626 0.0000 0.0000 0.0000
MAHL from HWA (lbs/day) =>2036 63.7366 3.0044 0.1730
Uncontrollable Loading (lbs/day) =>109 16.0739
Total Allowable for Industry (MAIL) (lbs/day) =>1927 47.6627 3.0044 0.1730
Total Permitted to Industry (lbs/day) =>626 0.0000 0.0000 0.0000
MAIL left (lbs/day) =>1302 47.6627 3.0044 0.1730
Percent Allow. Ind. (MAIL) still available (%) =>67.5 %100.0 %100.0 %100.0 %
Percent MAHL still available (%) =>63.9 %74.8 %100.0 %100.0 %
5 Percent MAHL (lbs/day) =>101.81 3.1868 0.1502 0.0087
OtherMolybdenumSeleniumMBASOil & Grease
Total Allowable for Industry is also
known as Maximum Allowable Industrial
Load or MAIL
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PARs due MARCH 1
NC DIVISION OF WATER RESOURCES
NPDES Municipal Permitting Section
1617 MAIL SERVICE CENTER
RALEIGH, NC 27699-1617
Send a Copy
(Please send to Central Office in Raleigh...We forward the copy to the
Region.)
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Division Pretreatment Contacts
Al Woodall: (919) 707 -3608
Octavio Henriquez: (919) 707 -3662
Natalie Gorensek: (919) 707 -3660
Keyes McGee: (919) 707 -3626
Email: firstname.lastname@deq.nc.gov
Physical Address: 1617 Mail Service Center
Raleigh, NC 27699 -1617
Website:
https://deq.nc.gov/about/divisions/water -resources/water -quality-permitting/municipal -npdes-pretreatment -and -collection-system/pretreatment
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