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HomeMy WebLinkAboutNC0072575_Staff Comments_19880308DIVISION OF ENVIRONMENTAL MANAGEMENT March 8, 1988 MEMORANDUM % TO: Arthur Mouberr / THROUGH: Steve 'Cedder I { FROM: Trevor Clements'+ `(_ ll i SUBJECT: Letter from Mr. John Starkey regarding proposed Golden Poultry NPDES Permit No. NCO072575 Lee County Per your request, I have reviewed the letter from Mr. Starkey which comments on the proposed NPDES Permit (NCO072575) for Golden Poultry. I am prepared to comment on items 2, 4 and 5. 2. CBOD to BODs ratio Mr. Starkey is correct in stating that DEM can consider an alternative CBOD/BODS ratio to the default ratio of 3.0 used in the development of their wasteload allocation, provided ample evidence for the alternative ratio is provided. Although Goldkist is screening other poultry facilities for this information, I recommend that no change be made until data can be collected from this system. Given that the treatment system consists of overland runoff, the ratio is likely to be affected by the idiosyncrasies of its design (e.g. soil type, etc.). Following testing of their actual effluent, we will be glad to re-evaluate their ratio. 4. Stream Monitoring Requirements Instream monitoring requirements should be kept intact for the time being. After 12 months of data have been collected, Technical Support will re-evaluate the need for this data upon request from the permittee. 5. Trading off CBOD for NBOD Mr. Starkey is correct in his expectation that an equivalent trade-off between CBOD and NBOD can be accommodated through a permit modification. The exact values can be determined through appropriate modeling analyses upon request. Please let me know if I can be of further assistance in this manner. TC:gh cc: Dale Overcash Central Files As flohl RMI iRe'.. 244 Perimeter Center Parkway, N.E./P.O. Box 2210 Atlanta, Ga. 30301 February 229 1988 Mr. R. Paul Wilms, Director Division of Environmental Management North Carolina Environmental Management Commission P.O. Box 27687 Raleigh, North Carolina 27611-7687 Dear Mr. Wilms: Re: Proposed NPDES Permit Golden Poultry Sanford, NC This letter is to file comments on certain conditions of the referenced permit, as well as methodologies employed to determine permit conditions. We would like to review the following six areas: 1. Wastewater treatment plant classification 2. CBOD/BOD ratio for treated poultry wastewater 3. Impact of rainfall on discharge flow 4. Stream monitoring requirements 5. Ratio of carbonaceous to nitrogenous oxygen demand 6. Chronic toxicity testing Each of these items is discussed sequentially below: 1. Wastewater Treatment Plant Classification The monitoring frequency indicated in the permit indicates the plant has been classified as a Class III plant. Please inform us of the process by which this classification was made. The land treatment process we have chosen is a simple, yet efficient wastewater treatment system. It is neither equip- ment oriented nor energy intensive. It is a very stable treatment process not subject to frequent upsets. Granted, meeting the proposed permit limits by any other means would require a fairly sophisticated advanced wastewater treatment system. However, given the relative simplicity of our pro- posed system and our review of NCDEM's rating checklist, we feel the system should be rated as Class II. Therefore, we request consideration be given to changing this to a Class II facility. Mr. R. Paul Wilms February 22, 1988 Page 2 2. CBOD/BOD5 ratio for treated poultry wastewater The draft Level B Desktop Modeling Procedure developed by NCDEM dated September 1987 states that "In the absence of wastewater specific CBOD/HODS data..." a ratio of 3.0 can be used for pure industrial wastewater. Chicken processing, by the very nature of the industry, produces a readily degradable food source for bacteria. There is no significant presence of refractory compounds or petroleum oils that would be difficult for a biological treatment system to break down. Consequently, we would anticipate the ratio to be closer to 1.5 to 2.0. Obviously, such a ratio would significantly alter the proposed BOD5 limits. We are currently in the process of analyzing effluents from two poultry plants and determining the actual CBOD/BOD5 ratio. These tests are being carried out in accordance with NCDEM's methodology for determining the ratio. In the event a lower ratio is confirmed with our submission of the data, Golden would expect higher BOD5 levels to be permitted. Golden would be willing to incorporate into its monitoring schedule, on a quarterly or monthly basis, performing the ultimate BOD test to insure conformance with the lower ratio. 3• Impact of rainfall on discharge flow In the overland flow system, precipitation falling on the terraces will be collected and discharged through the outfall. In order to prevent these events from skewing discharge flow from the facility, Golden proposes to measure rainfall, apply a runoff coefficient of 0.75 (for pastureland, Agricultural Engineers Handbook, 1961) and subtract the quantity of rain- fall from the recorded discharge flow. 4. Stream Monitoring Requirements The proposed facility will be analyzing its effluent prior to discharge for fecal coliform on a regular basis. As long as we meet the proposed permit limits, we should not have any significant impact on in -stream coliform counts. These in - stream counts, we would anticipate, would be highly erratic due to occurrence and conditions unrelated to the proposed discharge. Consequently, we request the upstream and down- stream monitoring for fecal coliform be deleted from the permit. Mr. R. Paul Wilms February 22, 1988 Page 3 Also, we request stream monitoring for conductance be deleted from permit monitoring requirements. Conductance is not normally a required monitoring parameter for treated poultry wastewater, and we question whether stream monitoring of conductance will yield any useful information. 5. Ratio of Carbonaceous and Nitrogenous Oxygen Based on our discussions with NCDEM personnel, the proposed BOD5 and ammonia limits are a reflection of the total oxygen demand being allocated for this facility. It is also our understanding that adjustment of one parameter at the expense of the other is allowable if the total oxygen demand allo- cated is not exceeded. For example, if the facility easily meets its BOD5 limits, but encounters difficulty in meeting ammonia limits, we could modify the permit for a lower BOD5 limit and higher ammonia limit, as long as the allotted total oxygen demand is not exceeded. If this is not correct, please let us know. 6. Chronic Toxicity Testing The draft permit states that the first toxicity test will be conducted within one month of permit issuance. We request this be modified to within one month of plant start-up. To address the above issues, we request a meeting with appropri- ate NCDEM personnel. We will be contacting the permitting office shortly to arrange this meeting. In the meantime, if you have any questions or comments, please call. Sincerely, 9 "_L �' 5 L-- P-)" John E. Starkey, Mana er Environmental Engineering (404)393-5203 JESser cc: Mr. Glenn Berry Mr. James Brown Mr. Don -Deemer Mr. Arthur Mouberry Mr*:.. --Dale..- Overcash