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HomeMy WebLinkAboutNCG190078_COMPLETE FILE - HISTORICAL_20180509STORMWATER DIVISION CODING SHEET NCG PERMITS PERMIT NO. /v DOC TYPE V. HISTORICAL FILE ❑ MONITORING REPORTS DOC DATE p r�p 1 pj 0 `J� 0� YYYYMMDD f_."I L-F V (2f Oriental, 13th of March 2018 Ms. Annette Lucas, PE- " Stormwater Permitting Unit NCDEQ/ DEMLR Mail Service Center 1617 Raleigh NC 27699-1617 .. _.,, ...._..,. 6 zor8 RE: Petition to Reduce Frequency of Stormwater Discharge Analytica Uoni r' DEATON YACHT SERVICE, INC. %L' 1I 1l ED NPDES General Permit NCG190078 -I MAY p g 2018 Dear Ms. Lucas: CENTRAL FILES DWR SECTION We are submitting this request for a waiver from the Tier Two monthly analytical monitoring at the subject facility. Since 2008, this facility has been collecting semi-annual stormwater samples and analyzing for metals. This facility has not been able to consistently reduce Copper below the Benchmark Values (DMRs on file at NCDEQ/ DWR Central Files). While the metal concentrations have been up and down over the past several years, and almost never below the BMW, there are no additional feasible BMPs tht can be implemented to consistently reduce Copper below the Benchmark Value. There are several reasons why Copper measurements will probably never be below the benchmark value at our boatyard: • The BMV of 0.005 pprn for Copper in stormwater discharges into saltwater bodies is extremely low. • The General Permit allows discharges of potable water. The USEPA has set an action level of 1.3 ppm for Copper in potable water. It does not seem reasonable that one allowable discharge can have a much higher than Copper level than another. Its not reasonable to expect any permittee to treat stormwater to a level cleaner than potable water with available and feasible technology. • Research performed by Bentsen and Garber (https://foresternetwork_com/stormwater-magazine/sw-water/sw-stormwater- management/evaluating-urban-air-deposition-industrial-facility-seattle/ .has indicated that urban air deposition may account for a significant load exceeding 0.005 ppm by a factor of 5 to 10 into stormwater discharges. • This facility is located near other boatyards that have a legacy of Cooper usage in the form of boat bottom paint. Bottom paint residue has been in the nearby and on -side environment for many decades. Zinc has many sources including galvanized metal buildings, r Fs, fencing, anodes, and galvanized boat trailers. • Another source for Coppe s from automotive brake pads ( http://fortress.wa.gov/e • (publications/documents/1110087.pdf). While this facility is not bound by major roadways, Hwy 55/Oriental Road pass directly over the side via Oriental Bridge. We believe our funds would be better spent maintaining the implemented BMPs instead of on expensive analytical monitoring costs. Monthly monitoring will not improve water quality. BMPs currently installed include placing ground tarps under boats undergoing hull repair work. Other implemented BMP's include maintaining a vegetative buffer along the on -site ditches and bulkheads. We are requesting a waiver from the monthly Tier Two monitoring effective immediately. We will continue with the semi-annual analytical and qualitative monitoring through the end of the current Permit term. if you need to discuss this petition, you may contact me at the Deaton Yacht Service facility ( phone 252 249 1180 ). if we do not receive any response from NCDEQ/DEMLR within 45 days from the date of this letter, we will assume our request has been approved.