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HomeMy WebLinkAboutNC0004626_Report_20190604GbNippon Electric Glass Electric Glass Fiber America, LLC 473 New Jersey Church Road Lexington, NC 27292 +1 336-357-8151 June 4, 2019 Ms. Julie Grzyb North Carolina Department of Environmental Quality NPDES Permitting 1617 Mail Service Center Raleigh, NC, 27699-1617 Re: Activated Carbon Filtration Test Program NPDES Permit No. NC0004626 Electric Glass Fiber America, LLC Lexington, NC Facility Dear Ms. Grzyb: RBcENED/NCDEQ/DWR JUN 14 2019 Water Quality Permitting Section Electric Glass Fiber America (EGFA) operates a fiberglass manufacturing facility in Lexington, NC with a wastewater treatment plant (WWTP) and effluent discharge authorized by NPDES Permit No. NC0004626. One of the limitations in the NPDES permit is a criterion for biomonitoring- a quarterly Chronic Toxicity Pass/Fail Permit Limit. In order to comply with this limitation, EGFA added an activated carbon filtration system in the WWTP in 1997. Since that time EGFA has consistently been in compliance with the NPDES permit criteria. Over the last several years there have been significant changes in the EGFA production facility. We have come under new management, eliminated our Fluoride discharge and have made significant changes in our production. We feel these that these changes have eliminated the need for operation of the activated carbon filtration system and that EGFA can consistently comply with the biomonitoring criteria without use of the activated carbon filtration system. We are proposing to conduct monthly biomonitoring of the secondary clarifier effluent (prior to activated carbon filtration) for the next three months as a test program to demonstrate that the activated carbon filtration is not needed to achieve compliance with the biomonitoring criteria. This testing will follow the protocol in the "North Carolina Ceriodaphnia Chronic Effluent Bioassay Procedure." If we pass these tests, we will be requesting that the Department agree to eliminate the requirement for operation of the activated carbon filtration system from the NPDES permit. However, we would propose to retain the activated carbon filtration system equipment in our WWTP and agree to reinitiate the system operation if required in the future. We appreciate the Department's assistance in our environmental control program. Please let us know if this is an acceptable test program, or if you have any suggested changes. In the meantime, please feel free to call or email me at 336-357-8151 Ext 3317 or brigette.tinsleykEGFA-us.com if you have any questions or desire any additional information. SinceLely, Brigette Tinsley, EHS