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HomeMy WebLinkAboutWQCS00240_Remission Request_20190208 ---ii 'E ,-4, ' .,6 -1.11.-k-7.k,_4,. 4 ,,, 541,1-4,, :-„”4 fl' c W'' 4' - ' ,L tetw..lF x r:' .y 6 te. 1 ,n NORTH CAROLINA Environmental'Quality ROY COOPER Garorrtor MICHAEL S.REGAN Secretary LINDA CULPEPPER In rerim Director February 8, 2019 CERTIFIED MAIL #7016 2140 0000 4371 0530 RETURN RECEIPT REQUESTED Joseph R. Pearce Director of Operations Aqua North Carolina 202 MacKenan Court Cary,NC 27511 SUBJECT: CIVIL PENALTY REMISSION REQUEST Aqua North Carolina /The Cape Permit WQCS00240 Case PC-2018-0029 New Hanover County Dear Permittee: The Division has considered the information submitted in support of your request for remission in accordance with G.S. 143-215.6A(f) and has decided to modify the initial civil penalty assessment of $3,487.75 ($3,350.00 civil penalty plus $137.75 enforcement) to the total amount of$2,482.75 ($2,345.00 civil penalty plus $137.75 enforcement). Should you choose to pay the modified penalty,payment should be tendered to me at the letterhead address within thirty(30) days of receipt of this letter. Please make checks payable to the Department of Environment and Natural Resources. You also have the option of presenting your request to the Committee on Civil Penalty Remissions, which is comprised of members of the Environmental Management Commission. The Committee may consider such requests and render final and binding decisions in these matters. You may argue your request before the Committee, and the Division staff will argue against any reduction of the assessment. • ,,,EHEQ,) North Carolina Department of Environmental Quality I Division of Water Resources 512 North Salisbury Street 11617 Mail Service Center I Raleigh,North Carolina 27699-1617 919 707 9000 WQCS00240 Remission Decision Should you choose to present your request to the Committee,please notify me at the letterhead address within thirty(30) days of the receipt of this letter. Your request will be placed on the agenda of an upcoming Committee meeting, and you will be notified of the date and time. If the Division does not receive a response regarding this notice, Division staff will automatically place your case on the agenda of a future Committee meeting. Thank you for your cooperation in this matter. If you have any questions,please contact Deborah Gore at 919-707-3624 or deborah.gore@ncdenr.gov. Sincerely, 1 \ _0_, AkruL___ t'lLinda Culpepper Interim Director, Division of Water Resources Attachment: DWR Civil Assessment Remission Factor Sheet(copy) &Request for Oral Presentation Sheet cc: Enforcement File#: PC-2018-0029 Wilmington Regional Office Central Files WQCS00240 Remission Decision STATE OF NORTH CAROLINA ENVIRONMENTAL MANAGEMENT COMMISSION COUNTY OF New Hanover DWQ Case Number PC-2018-0029 IN THE MATTER OF ASSESSMENT OF ) CIVIL PENALTIES AGAINST: ) REQUEST FOR ORAL PRESENTATION Aqua North Carolina ) I hereby request to make an oral presentation before the Environmental Management Commission's Committee on Civil Penalty Remissions in the matter of the case noted above. In making this request, I assert that I understand all of the following statements: • This request will be reviewed by the Chairman of the Environmental Management Commission and may be either granted or denied. • Making a presentation will require the presence of myself and/or my representative during a Committee meeting held in Raleigh, North Carolina. • My presentation will be limited to discussion of issues and information submitted in my original remission request, and because no factual issues are in dispute, my presentation will be limited to five (5)minutes in length. The North Carolina State Bar's Authorized Practice of Law Committee has ruled that the appearance in a representative capacity at quasi-judicial hearings or proceedings is limited to lawyers who are active members of the bar. Proceedings before the Committee on Remissions are quasi-judicial.You should consider how you intend to present your case to the Committee in light of the State Bar's opinion and whether anyone will be speaking in a representative capacity for you or a business or governmental entity. If you or your representative would like to speak before the Committee, you must complete and return this form within thirty(30) days of receipt of this letter. Depending on your status as an individual, corporation,partnership or municipality,the State Bar's Opinion affects how you may proceed with your oral presentation. See www.ncbar.com/ethics,Authorized Practice Advisory Opinion 2006-1 and 2007 Formal Ethics Opinion 3. • If you are an individual or business owner and are granted an opportunity to make an oral presentation before the Committee, then you do not need legal representation before the Committee;however,if you intend on having another individual speak on your behalf regarding the factual situations, such as an expert, engineer or consultant, then you must also be present at the meeting in order to avoid violating the State Bar's Opinion on the unauthorized practice of law. • If you are a corporation,partnership or municipality and are granted an opportunity to make an oral presentation before the Committee,then your representative must consider the recent State Bar's Opinion and could be considered practicing law without a license if he or she is not a licensed attorney.Presentation of facts by non-lawyers is permissible. If you choose to request an oral presentation,please make sure that signatures on the previously submitted Remission Request form and this Oral Presentation Request form are: 1)for individuals and business owners,your own signature and 2)for corporations,partnerships and municipalities,signed by individuals who would not violate the State Bar's Opinion on the unauthorized practice of law. Also,be advised that the Committee on Civil Penalty Remissions may choose not to proceed with hearing your case if the Committee is informed that a violation of the State Bar occurs. This the day of , 20 . SIGNATURE TITLE (President, Owner, etc.) ADDRESS TELEPHONE ( ) DIVISION OF WATER RESOURCES . CIVIL PENALTY REMISSION FACTORS Case Number: PC-2018-0029 Region: Wilmington County: New Hanover Assessed Entity: The Cape/Aqua Permit: WQCS00240 gi (a) Whether one or more of the civil penalty assessment factors were wrongly applied to the detriment of the petitioner: Permittee States: Bala PS#5: The project to upgrade the control panel was behind schedule due to delays from New Hanover County Building and Codes Dept and Duke Power. The penalty was assessed for duration and gravity and amount of money saved by non-compliance. Aqua disagrees that it has not taken measures to correct the issue and had and continues to spend money to perform upgrades throughout the collection system and requests remission of the$350 penalty based on evidence provided during the inspection. Bella Point Lift Station: Station was certified in late January 2018. No flow to the station as no homes yet built. Immediately after the inspection Aqua placed temporary signs and order permanent signs which have been installed. The$350 penalty was assessed based on long-standing deficiencies and this was not a long-standing deficiency and immediate action was taken. River Oaks Pump Station: Station was certified in late January 2016.The system has not been receiving flow throughout the duration since certification. Homes were built and contributed to the flow over a period of time since certification. Inspection dated 8/19/15 noted signs present at all lift stations. Immediately after the inspection Aqua placed temporary signs and order permanent signs which have been installed. The$1300 penalty was assessed based on long-standing deficiencies and this was not a long-standing deficiency and immediate action was taken. , Roundtree Ridge Pump Station: Station was certified in April 2018. No flow to the station as no homes yet built. Immediately after the inspection Aqua placed temporary signs and order permanent signs which have been installed. The$350 penalty was assessed based on long-standing deficiencies and this was not a long-standing deficiency and immediate action was taken. System map incomplete. During the inspection and follow-up correspondence Aqua provided evidence that the Cape Collection System map met the requirements of the rule. A paper copy was provided in addition to a demonstration of electronic mapping that is available to all operators. Operators are provided with tablets to view maps in the field. GIS maps and electronic as-builts have been available since 2015. The$500 penalty was based on duration, gravity and money saved by non-compliance. The map was complete and based on the latest drawings. Monies have been dedicated towards a comprehensive GIS program. Westview Pump Station: Station was certified in December 2017. The station began receiving flow in mid-2018. Immediately after the inspection Aqua placed temporary signs and order permanent signs which have been installed. An Omni Beacon, exceeding the regulatory requirements was operational on the date of the inspection. The inspector's assessment that it was not loud enough to alert neighbors is not backed up by a regulatory required decibel rating. The$200 penalty was assessed based on long-standing deficiencies and this was not a long-standing deficiency and immediate action was taken. DWR Response: Bala PS: Inspected under the old deemed Dolphin CS on 9-20-2016. During the 2016 inspection, the control panel structure was observed to be weak and unstable. This was 21 months before this visit(inspection conducted on June 8, 2018)under the new permit. PS was also found to be insecure: no fence,no locks on wetwell and control panel. It is unknown how long the PS had been in this condition as station visitation records/notes were not good-was locked in 9-2016. The upgrade of controls panels at several stations in addition to this one is commendable and is at an expense. Penalty was assessed as $350-WiRO would recommend waiving 70%of the penalty for the panel support. Bella Point Lift Station: Aqua signed the certification for this pump station for its submittal received 1-30-2018 five months earlier. Consequently, signed it when not in compliance with the requirements of the permit and regulations as far as posting and security. Provided no documentation as to when first CO was issued or that they installed the permanent water meter for a new home since they attest it was not active at the time of inspection. Operator couldn't open wetwell during inspection due to the amount of stone on&around lid(6 inches above it)to know if"active". A home or two appeared to be complete or near to completion.No remission is recommended. River Oaks Pump Station: Aqua signed the partial certification for this pump station and some gravity sewer for its submittal received in 7-2016. Consequently, signed it when not in compliance with the requirements of the permit and regulations as far as posting and security. PS was definitely active.No remission is recommended. Roundtree Ridge Pump Station: Aqua signed the certification for this pump station for its submittal received 4-17-2018. Consequently, signed it when not in compliance with the • requirements of the permit and regulations as far as posting and security. It was definitely active with up 20 homes on it.No remission is recommended. Westview Pump Station: Aqua signed the partial certification for this pump station and some gravity sewer for its submittal received in 12-2017. Consequently, signed it when not in compliance with the requirements of the permit and regulations as far as posting and security. Definitely active.As of 12-2018,the fence or site grading still hasn't been addressed as far as the large openings at two corners where one can easily crawl under. Penalty was assessed as$650. Audible not very loud if present. WiRO would recommend waiving 40%of the penalty for the alarm. Records: System map incomplete: WiRO would recommend remission of this penalty of$500. (b) Whether the violator promptly abated continuing environmental damage resulting from the violation: Permittee States:None of the violations contributed to any environmental damage. DWR Response: Correct as far as we know ❑ (c) Whether the violation was inadvertent or a result of an accident: Permittee States: DWR Response: ® (d) Whether the violator had been assessed civil penalties for any previous violations: Permittee States: Aqua has not been assessed civil penalty for any previous violations. DWR Response: Aqua hasn't been assessed for any violations under this permit,but has been assessed many times including for issues at the WWTP serving this system. ❑ (e) Whether payment of the civil penalty will prevent payment for the remaining necessary remedial actions: • Permittee States: DWR Response: DECISION(Check One) Request Denied 0 Full Remission 0 Retain Enforcement Costs? Yes❑ No❑ Partial Remission ES $ \.00 S— (Enter Amount) /274 mda Culpepper ate Summary of Penalty Assessment before Remission: VIOLATION VIOLATION PENALTY DATE AREA TYPE VIOLATION DESCRIPTION AMOUNT 6/8/2018 Pump Station Violation detected during Bala PS#5 control panel still not $350.00 inspection replaced or reinforced after nearly 2 years. Found not secure as well 6/8/2018 Pump Station Violation detected during Bella Point PS not secure&not posted $350.00 inspection 5 months after certification 6/8/2018 Pump Station Violation detected during River Oaks Section 8 PS not secure& $1,300.00 inspection not posted 2 years after certification 6/8/2018 Pump Station Violation detected during Roundtree Ridge PS not secure&not $200.00 inspection posted 2 months after certification 6/8/2018 Records Violation detected during System map still incomplete after 13 $500.00 - inspection years 3 years past 10-year window • 6/8/2018 Pump Station Violation detected during Westview PS not secure&not posted $650.00 inspection plus no audible alarm installed 6 months after certification