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HomeMy WebLinkAboutNC0004979_Comments_20191219SOUTHERN ENVIRONMENTAL LAW CENTER Telephone 919-967-1450 601 WEST ROSEMARY STREET, SUITE 220 Facsimile 919-929-9421 CHAPEL HILL. INC 27516-2356 December 17, 2019 VIA U.S. MAIL AND E-MAIL North Carolina Department of Environmental Quality Water Quality Permitting Section Attn: Allen Permit 1617 Mail Service Center Raleigh, N.C. 27699-1617 Sergei.Chemikov@ncdenr.gov Re: Comments on Draft NPDES Major Modification, Permit No. NC0004979, Allen Steam Station Dear Dr. Chemikov: On behalf of itself, Catawba Riverkeeper Foundation, Sierra Club, and Waterkeeper Alliance, the Southern Environmental Law Center submits these comments on the proposed major modification to the National Pollutant Discharge Elimination System permit for Duke Energy's Allen plant on the Catawba River and Lake Wylie. This proposed modification does not protect North Carolina or its water resources from the serious coal ash pollution of Duke Energy, and it fails to uphold the Department's mission of protecting North Carolina's communities and clean water. Indeed, it flies in the face of earlier public comments: the original draft permit initially proposed a later compliance date, but after public comments called for more protection, DEQ required the earlier February 2020 date.1 DEQ should maintain its commitment to protecting the public, especially when it already made the correct decision to require compliance with these pollution limits earlier in response to public comments. The proposed modification lacks any rational justification and must not be finalized. With this modification, NCDEQ proposes to push back Duke Energy's obligation to comply with permit limits on discharges of flue gas desulfurization ("FGD") wastewater that the agency already determined are necessary, even though Duke Energy has installed the treatment technology necessary to meet those pollution limits. The revision would needlessly delay the effectiveness of the permit's pollution limits on FGD wastewater from February 2020 to 1 Compare DEQ, Draft Permit, Condition A(8), available at https: //files. nc. gov/ncdeq/Water%20Quality/NPDES%20Coa1%20Ash/2014%20Duke%20Energy%20Renewals%2 Oand%20Modifications/Allen%20Draft%20WW%204979%20Permit%20041618.pdf, with DEQ, Final Permit, Condition A(8) (July 13, 2018), available at https: //files. nc. gov/ncdeq/Water%20Quality/NPDES%20Coa1%20Ash/2014%20Duke%20Energy%20Renewals%2 Oand%20Modifications/Allen/Allen-4979-final-permit-signed-2018.pdf Charlottesville • Chapel Hill • Atlanta • Asheville • Birmingham • Charleston • Nashville • Richmond • Washington. DC 100% recycled paper S. Chernikov December 17, 2019 Page 2 of 7 November 2020 when the treatment technology on which these limits are based is already in place at the facility. This weakening of the permit is contrary to the facts on the ground and is arbitrary and capricious. The existence of the treatment technology at Allen provides absolutely no protection to the public and our waterways without enforceable limits in the permit. The only conceivable reason for Duke Energy's request for delay is that it hopes to stave off pollution limits as long as possible, with the ultimate goal of avoiding them altogether, if it is able to obtain further delays until the plant retires. FGD wastewater contains many harmful contaminants including arsenic, selenium, and bromide. When bromide mixes with chlorine in treated drinking water supplies, it forms carcinogens called trihalomethanes.2 There have been problems with bromides contaminating drinking water supplies in North Carolina, including at Allen. Duke Energy's discharges of bromide into the Catawba River have caused trihalomethanes to form in drinking water supplies, including the drinking water supply for the City of Charlotte.3 Duke Energy made similar admissions as part of its criminal plea agreement.4 Duke Energy's bromide discharges can affect downstream communities in North and South Carolina.5 More than 100,000 people depend upon Lake Wylie for drinking water including the communities of Belmont, NC, and Rock Hill, SC, and more downstream rely upon the Catawba River. The risk presented by bromide discharges in the Catawba River is not merely hypothetical; in 2015, bromide discharges caused THMs to form in treated drinking water above the Safe Drinking Water Act regulatory level of 0.080 µg/L in water supplies from the Catawba River. Discharges of heavy metals, including those found in FGD wastewater also impact wildlife, including fish people eat. At the Cliffside plant, for example, researchers from Appalachian State University studied the tissue of fish caught in the Broad River near the plant's discharge pipes.6 Upstream, the level of selenium accumulated in the fish was 2 parts per million (ppm, or 2mg/kg dry body weight), but at the weir dam next to the ash ponds, it was higher, ranging from 1-5 ppm. Downstream of a drainage pipe from the ash pond, the fish tissue accumulation was higher still: 10 ppm of selenium, which the researchers warned is a level of 2 EPA, Effluent Limitations Guidelines and Standards for the Steam Electric Power Generating Point Source Category, 80 Fed. Reg. 67,838, 67,872, 67,886 (Nov. 3, 2015) ("Bromide discharges from steam electric power plants can contribute to the formation of carcinogenic DBPs [disinfection byproducts, e.g., trihalomethanes] in public drinking water systems," and "[s]tudies indicate that exposure to THMs [trihalomethanes] and other DBPs from chlorinated water is associated with human bladder cancer."). 3 Dep. Tr. of Duke Energy (via Corporate Designee Zachary Hall) at 47:14-48:15 (Feb. 10, 2017) ("Q. Okay. And have discharges from Duke Energy's ash basin at Marshall contributed to the increases in trihalomethanes at the Charlotte intake? A. They have."). 4 Joint Factual Statement, United States ofAmerica v. Duke Energy, No. 5:15-CR-62-H at 52-53 (May 14, 2015). 5 Duke Energy Compliance Officers' Report at 18-19, United States v. Duke Energy (E.D.N.C. Apr. 29, 2016). 6 See Alexandra Gibbs, et al, Heavy Metal Accumulation in Fish of the Broad River Near the Rogers Energy Complex Coal Ash Basins, attached as Exhibit 1. S. Chernikov December 17, 2019 Page 3 of 7 high concern. At this level of contamination, EPA recommends people should limit consumption of those fish to four meals per month to prevent non -cancer health effects. Strong limits, applied as soon as possible, are an important protection against pollution and are necessary to ensure the safety of human health and the environment. EPA reaffirmed that Clean Water Act requirements apply to bromide, and instructed permitting authorities to develop permit limits on a site -specific basis for bromide when necessary to meet narrative water quality standards.$ North Carolina has put in place exactly such narrative criteria for water quality to protect people from unsafe levels of pollutants such as brominated trihalomethanes: "Human health standards: the concentration of toxic substances shall not exceed the level necessary to protect human health through exposure routes of fish tissue consumption, water consumption, or other route identified as appropriate for the water body."9 The permit already has limits on FGD wastewater, set to kick in on February 28, 2020. There is no rational basis for delaying the implementation of pollution limits for Internal Outfall 005. In its request for the modification, Duke Energy implies it is somehow entitled to the amendment because of a recent Fifth Circuit decision about EPA's 2017 rule postponing certain compliance dates (the "Delay Rule"). However, contrary to Duke Energy's suggestion, 40 CFR Part 423 has not changed since NCDEQ issued the permit in July 2018. The Delay Rule, establishing a November 2020 compliance date, went into effect in 2017 and was in effect when the permit was issued in July 2018.10 The Fifth Circuit's recent ruling, rejecting a challenge to the Delay Rule, is not a valid basis for NCDEQ to weaken permit protections. The ruling did not change anything in 40 CFR 423; it merely confirmed that EPA had the authority to amend the compliance date as it had already done.11 Accordingly, there is no authority for reopening the permit. Duke Energy relies solely on the permit's reopener provision, which states: "This permit may be reopened and modified if 7 U.S. Environmental Protection Agency, Guidance for Assessing Chemical Contaminant Data for Use in Fish Advisories, Vol. 2 (Nov. 2000), available at https://www.epa.gov/sites/production/files/2015- 06/documents/volume2.pdf. 8 80 Fed. Reg. at 67,886-87 ("[W]ater quality -based effluent limitations for steam electric power plant discharges may be required under the regulations at 40 CFR 122.44(d)(1), where necessary to meet either numeric criteria (e.g., for bromide, TDS or conductivity) or narrative criteria in state water quality standards.... These narrative criteria may be used to develop water quality -based effluent limitations on a site -specific basis for the discharge of pollutants that impact drinking water sources, such as bromide."). 9 15A N.C. Admin. Code 2B .0208(a)(2). io See Postponement of Certain Compliance Dates for the Effluent Limitations Guidelines and Standards for the Steam Electric Power Generating Point Source Category, 82 Fed. Reg. 43494, 43499 (Sept. 18, 2017) (codified at 40 C.F.R. pt. 423) ("This rule is effective immediately upon publication."). " See Clean Water Action v. United States Envtl. Prot. Agency, 936 F.3d 308, 310 (5th Cir. 2019). S. Chernikov December 17, 2019 Page 4 of 7 changes are made to 40 C.F.R. 423." Permit at A(8), n.4. That provision is inapplicable here because there have been no "changes to 40 C.F.R. 423." The Clean Water Act sets a floor for pollution standards, not a ceiling,12 and EPA's 2017 Delay Rule did not prevent state agencies from imposing a deadline earlier than November 2020. Indeed, in the Delay Rule, EPA justified postponing the compliance deadline in part because a state permitting authority could "require[] similar effluent limitations" before the federal November 2020 deadline.13 Thus, if Duke Energy was unhappy with the February 2020 compliance deadline DEQ set in its permit, it needed to challenge the permit by timely filing a petition for a contested case with the North Carolina Office of Administrative Hearings .14 It cannot now challenge the permit by asking for a modification without any change having been made to the relevant regulation. However, one thing has changed since DEQ issued the July 2018 permit: Duke Energy installed the new ultrafiltration system it will use to treat its FGD discharge and reduce its pollution even further. This technology is in place and in service now.15 As Duke Energy represented in the rate case in which it seeks cost recovery for this treatment system, Duke Energy "upgrade[d] the existing scrubber wastewater treatment plant to meet the ELG effluent guidelines. The new system will allow Allen Station to be in compliance with the ELG, LAMA, and CCR Rules."16 The upgrades are finished and have been in service since January 2019.17 The fact that the treatment technology already has been installed only further underscores the inappropriateness of this proposed modification. EPA issued the Delay Rule because it planned to revise the effluent limitations guidelines ("ELGs") put in place in 2015, and while it reconsidered the 2015 ELG Rule, EPA wanted to "prevent the potentially needless expenditure of resources" —namely the "initial capital costs" of engineering design, equipment, shipping, site preparation, and construction associated with installation of the treatment technology.18 12 See 33 U.S.C. § 1370. 13 82 Fed. Reg. at 43498. 14 See N.C. Gen. Stat. § 150-B; 15A N.C. Admin. Code 2I.0302 ("Any person entitled to a hearing under this Section may request a hearing with 60 days after receiving notification of the action taken or proposed to be taken. Failure to timely file a request for hearing constitutes waiver of the opportunity for a hearing.") 15 See Duke Energy Carolinas Response to North Carolina Public Staff Data Request, Data Request No. NCPS 42, Docket No. E-7, Sub 1214 (Oct. 25, 2019), attached hereto as Exhibit 2 (reflecting January 31, 2019 as the "In - Service Date" for Project ID CAS000201); see also letter from Elizabeth Glenn, Senior Environmental Scientist, Duke Energy, to Corey Basinger, Regional Office Supervisor, DEQ (Jan. 24, 2019), available at https://edocs.deq.nc.gov/WaterResources/DocView.aspx?id=811689&dbid=0&repo=WaterResources. 16 Exhibit 2. 17 See id. 18 82 Fed. Reg. at 43496, 43497; see also Clean Water Action, 936 F.3d at 315 ("The agency sought to avoid imposing potentially needless compliance costs[.]"). S. Chernikov December 17, 2019 Page 5 of 7 So, in an effort to avoid having utilities take on "potentially needless compliance costs,"19 EPA postponed compliance with the rule to November 2020, when it anticipated its rulemaking would be final.20 However, Duke Energy elected to install its ultrafiltration system already, consistent with the February 2020 effluent limitations in the permit. Given that Duke Energy already has incurred the costs of installing the treatment system (and indeed has already sought rate recovery,21 to offset these costs), the cost -avoidance rationale for the November 2020 deadline in the Delay Rule is not applicable here and does not justify postponing the deadline in the permit. For this same reason, it would be fundamentally unfair to the ratepayers of North Carolina for DEQ to further delay giving the public the benefit of the technology Duke Energy has already installed, in the form of enforceable limits. The technology will reduce pollution discharged to waters of the state, which benefits North Carolinians. Duke Energy is seeking to charge North Carolinians $9.6 million for installation of that technology through rate recovery.22 If DEQ allows Duke Energy to further delay use of the technology, North Carolinians will be stuck with the bill for installing the technology but not receive any of the benefits of mandated water quality improvements. DEQ should avoid this unjust result by denying the permit modification request. Not only does the proposed modification lack any justification based on the permit's plain language, federal regulations, or the recent Fifth Circuit decision, but it is also impermissible because in reducing the protections of the current permit, it runs afoul of the Clean Water Act's anti -backsliding requirements. The Clean Water Act's National Pollutant Discharge Elimination System permitting program is structured around progressive improvements in pollution control over time to meet Congress's "national goal" of eliminating discharges of pollutants to waters of the United States.23 For this reason, the Clean Water Act includes anti - backsliding requirements to ensure that the limits and conditions imposed new or modified NPDES permits for a facility are at least as stringent as those in previous permits.24 The Clean 19 Clean Water Action, 936 F.3d at 315 20 See 82 Fed. Reg. at 43498. 21 See Exhibit 2; Direct Testimony of Steve Immel for Duke Energy Carolinas, LLC, North Carolina Utilities Commission, Docket No. E-7, Sub 1214, 6 (Sept. 30, 2019), available at https://starwl.ncuc.net/NCUCNiewFile.aspx?Id=9ea94bc4-c977-4655-8540-e5cl9c6c5123 ("[The Company has made significant investments within its coal fleet to meet environmental regulations to allow for the continued operation of active plants, including the ... Effluent Limitations Guidelines ("ELG"), totaling approximately $689 million, largely driven by dry bottom ash conversions, wastewater treatment enhancements, and lined retention basins projects.") 22 See Exhibit 2. 23 33 U.S.C. §§ 1251(a)(1). 24 33 U.S.C. § 1342(o); 40 C.F.R. § 122.44(1)(1) ("[W]hen a permit is renewed or reissued, interim effluent limitations, standards or conditions must be at least as stringent as the final effluent limitations, standards, or conditions in the previous permit ...."). S. Chemikov December 17, 2019 Page 6 of 7 Water Act's anti -backsliding requirements apply to all NPDES permit provisions, not just effluent limits based on Best Professional Judgment.25 There is no justification for DEQ to backslide from its original permitting decision, which determined that a compliance deadline of February 2020 was required —and which Duke Energy accepted and is bound by. With this request for modification, Duke Energy is just asking for what it has sought from the very beginning —an unreasonably long time to comply, with the bonus potential for avoiding compliance altogether while the Trump EPA finalizes changes to the ELG rule. DEQ originally proposed in the draft permit26 to give Duke Energy a later compliance date but then, after receiving public comment, corrected course in the final permit by setting the February 2020 deadline. As explained in this letter, there is no reason for DEQ to delay the implementation of enforceable pollution limits especially when Duke Energy has the treatment technology to meet them already in place. Revising the permit to delay implementation of pollution limits violates the Clean Water Act. It also lacks any rational basis because it is not justified by the Fifth Circuit's recent decision, the federal regulations, or the plain language of the permit. To avoid violating the Clean Water Act's anti -backsliding provisions, DEO must not weaken the permit by delaying the compliance deadline for essential pollution limits. The implementation of pollution limits on Duke Energy's FGD discharge is necessary to protect the Catawba River, Lake Wylie, and the Catawba-Wateree River Basin from pollution by the Allen Plant. DEQ Must Eliminate Any Ambiguity Over Internal Outfall 005. DEQ needs to correct outdated references to Internal Outfall 005 discharging to the ash basin because Duke Energy has rerouted Internal Outfall 005 to its new retention basin. This permit modification concerns limits applied to Internal Outfall 005, which is listed in the proposed modification as discharging "treated FGD wet scrubber wastewater to the ash settling basin."21 "Outfall 005 is internal, discharging to the Ash Pond. ,28 However, Duke Energy reports that on February 9, 2019, "[w]astewater flows were removed from the [ash] 25 40 C.F.R. § 122.44(1)(1); In the Matter of Star-Kist Caribe, Inc., Petitioner, 2 E.A.D. 758 at *3 (E.P.A. Mar. 8, 1989). EPA, NPDES Permit Writers' Manual Chapter 7, § 7.2.2, p. 7-4 (Sept. 2010), available at http://water.epa.gov/polwaste/npdesibasics/upload/pwm chapt 07.pdf 26 See DEQ, Draft Permit, Condition A(8), available at https: //files. nc. gov/ncdeq/Water%20Quality/NPDES%20Coa1%20Ash/2014%20Duke%20Energy%20Renewals%2 Oand%20Modifications/Allen%2ODraft%20W W%204979%20Permit%20041618.pdf 27 Permit Modification at A(8). 28 NCDEQ, Fact Sheet for NPDES Permit Development, Duke Energy Carolinas, LLC Allen Steam Station, 2 (May 10, 2016), available at https: //files. nc. gov/ncdeq/W ater+Quality/NPDES+Coal+Ash/2014+Duke+Energy+Renewals+and+Modifications/A llen-4979-fact-sheet--2018.pdf ("Permit Fact Sheet"). S. Chernikov December 17, 2019 Page 7 of 7 basin[,]"29 meaning Duke Energy no longer discharges FGD wastewater through Internal Outfall 005 to the ash basin.30 As NC DEQ confirmed, Duke Energy has rerouted flows from Internal Outfall 005 to the new retention basin. 31 The new retention basis then discharges to Lake Wylie. Permit Condition A(8) is understood to apply effluent limitations to the rerouted FGD discharges from Internal Outfall 005,32 but the permit language still references discharge to the ash basin. To eliminate any ambiguity between the text of the permit and what is happening in practice, Condition A(8) must be corrected to reflect that discharge from Outfall 005 has been rerouted from the ash basin to the retention basin and thus that Duke Energy is no longer authorized to discharge to the ash basin. Condition A(8) should read: During the period beginning on the effective date of this permit and lasting until permit expiration, the Permitee is authorized to discharge from internal outfall 005—treated FGD wet scrubber wastewater to retention basin. In addition, other parts of the permit and fact sheet that reference Outfall 005 should be made consistent with the change to Condition A(8), including but not limited to: Paragraph 3 of the Supplement to Permit Cover Sheet, which should read: "Continue to operate a Flue Gas Desulfurization (FGD) wet scrubber wastewater treatment system discharging to the Retention Basin through Internal Outfall 005..." (Permit at 2), and Bullet 7 of the Permit Fact Sheet, which should read: "Outfall 005 is internal, discharging to the Retention Basin." (Permit Fact Sheet at 2). Accordingly, to eliminate any ambiguity, the permit must be updated to reflect our common understanding that the limits in Condition A(8) continue to apply to the rerouted flow from Outfall 005 to the retention basin. Thank you for your consideration of these comments. Sincerely, "�, ) ' SO Megan KiYlnball Associate Attorney 29 Duke Energy, Report Under Special Order by Consent, Quarterly Progress Report for 3rd Quarter 2019 (Oct. 24, 2019), available at [insert]. 30 "After the Retention Basin is completed, all the waste streams previously discharged to the Ash Pond will be re- routed to the Retention Basin, and discharges to the Ash Pond will cease." Permit Fact Sheet at 2. 31 See e-mail from Sergei Chernikov, NDDEQ, Environmental Engineer II, to Megan Kimball, SELC, Associate Attorney (Dec. 6, 2019), attached as Exhibit 3. 12 See Exhibit 3. EXHIBIT I Heavy Metal Accumulation in Fish of the Broad River Near the Rogers Energy Complex Coal Ash Basins Alexandra Gibbs', Sarah Kornegay', Matthew Roach', Zach Hardwick', David Caldwel12, Guy Hutchins3, Shea Tuberty' 'Appalachian State University, 2Broad Riverkeeper, 3Cliffside, NC community member Background • Rogers Energy Complex formerly known as Cliffside Steam Station opened 1940. kVIV • Based in Mooresboro, North Carolina • Proximity to coal fields and textile industry • Most recent update was in 2012 (adding Unit 6) o Extremely stringent and effective air quality control otm • • 11 • 2015 - "Do not drink" letters are sent from Duke Energy to all residents within a half mile of the power plant. This was rescinded in spring of 2016. January 2016- NC DEQ classifies Cliffside coal ash basins as of "low" and "low/intermediate" priority for cleanup July 2016- WBTV reports hexavalent chromium levels 4x-9x higher than standards in drinking wells within a few miles March 2018- Duke Energy reports elevated levels of Se, As, Cr, and TI in test wells surrounding Cliffside THE PROGRESSWE PULSE Groundwater wells near Marshall, Cliffside coal ash basins have a thallium problem 30, ■ ON Y A NEWS WEATHER SPORES VIDEO TRAFFIC FEATURES COMMUNITY New tests find coal ash contaminants in water wells outside half -mile radius PUDlis7xtL Meri y. jery Nh l0ii T.V9 pm [9f updx�e.• Es�e,ewy. Jvq crs s� ra u:se pm tar III Nil WF, Repm. [eNrYa1 Battle over coal ash continues in Cliffside shelbystar.com Ia*e4I1%IW xd _ wdwn*,* WATER z� - _ - ....... .... 3 s._....w�.-r.., err.., .— — X�-- The Broad River • Principal tributary of the Congaree River. • Flows south-easterly • Part of the Santee River watershed • Samples were collected in a one mile stretch downstream of the Rogers Energy Complex Human Health Effects Selenium- Signs of selenium toxicity occur at selenium ingestion levels of 0.7 — 7.0 mg/day while 0.2 mg/day is nutritionally adequate. Effects include nail and hair loss, GI stress, and endocrine system disruption. Chromium- Hexavalent chromium is considered the most toxic form because it readily passes cellular membranes and is reduced to the trivalent form. Known carcinogen. Arsenic- Ingesting very high levels of arsenic can result in death. Exposure to lower levels can cause nausea and vomiting, decreased production of red and white blood cells, abnormal heart rhythm, and a sensation of "pins and needles" in hands and feet. Human Health Effects Cadmium - Bioaccumulates in the food web. Health impacts include kidney damage, bone demineralization, impair lung function, and increased risk of lung cancer. Chronic low environmental exposure may have adverse effects on kidneys and bones. Lead - At high levels of exposure, lead attacks brain and central nervous system and can cause death. Lead concentrations as low as 0.5 mg/L may be associated with decreased intelligence in children. Zinc - U.S National Library of Medicine states that oral LD50 for zinc is close to 3 g/kg body weight. High amounts of zinc may cause fever, coughing, stomach pain, and fatigue. Fish Health Effects Selenium- Bioaccumulates in the food web leading to reproductive impairments such as larval deformity and negative effects on juvenile growth. Chromium- Elevates levels of free -roaming amino acids (present to decrease metal toxicity), impacts fertilization, decreases glycogen stores in liver, and causes hypertrophy. Arsenic- Toxic levels lead to increased aggression and biomass, decreased operculum movement, and glycolysis is inhibited. Ingestion via water is more toxic than absorption via diet. Does not bioaccumulate. Fish Health Effects Cadmium - Bioaccumulates in the food web and can cause liver disease, and nerve/brain damage, affects birth weight and skeleton development in animals. Zinc - Adverse effects in fish include structural damages, which affect the growth, improvement and survival of the fish. It accumulates in the gills of fish and this designates a depressing effect on tissue respiration leading to hypoxia. Lead - Can severely damage organs and can cause reproductive disorders, behavioral disorders, and heart disease. s .. . - ■ ® DSTD SC PLS yc aot``F ;c_ L ••• BC 221 Bridge Crossing (F,S,W) TPD Top Discharge (W) TW 2814 Riverfront Dr. Tap Water (W) PLS Runoff Seep at Powerlines (W) RFD Riverfront Drive Seep (W) SCS Seep at Suck Creek (W) DSTD 40 yds. Downstream of Toe Drainage (F,W) SC Suck Creek (F,S,W) TED Toe Drainage (W,S) D Dam (Left and Right) (F,W) a Collection Methods NC Wildlife Resources Commission Collecting Permit #18-SFC00038 • Fish Assessment o Electroshocking at each site o Fish species and length where recorded o EPA method 3050 • Soil Assessment o Approx. 20 grams taken from each site o EPA method 3050 • Water Assessment o Approx. 250mL taken from each site o EPA method 3015 f � `-____.—^-_�_•�- ""�.: .___ ..._-- _.-_ ..._. -::nib _..�"�-.� Collection Sites 12 7 I 11. 221 Bridge Crossing Left Elam ■ White Sucker ■ Ch a n e I Catfish ■ Redbreast Sunfish ■ Tot a I ■ Margined Madtom ■ Hogsu ck er ■ Long Eared Sunfish Ilk I Suck Creek ■ Creek Chub ■ Threadfi n Shad ■ Pu m pki ns eed Su nfi sh I Downstream of Toe Drain age Redear Sunfish ■ Bluegill ■ Ye I low Perch Recorded Temperature values DSTD 1S.9 TPD Water Chemistry TED w PL5 a EL 5fiS 14.1 E m v, Sc 14.15 Dam 12.5 BC 1S.1 0 5 10 15 Temperature (C) DSTD ■ TPD ■ a, TED ■ in PLS ■ v E SCS ■ m r" Sc ■ 6.68 � 7.11 6.97 6.4 6.6 6.8 7 pH 7.48 7.59 7.15 � 7.27 7.15 7.2 7.4 7.6 7.9 15.4 16.6 ■ 17.2 zD N* Recorded Specific Conducitvity RANGE OF TOLERANCE FOR ❑ISSOVED OXYGEN IN FISH DSTD 48.6 PARTS PER MILLION {PPM} DISSOLVED OXYGEN TPD 595.4 U 1 �4 :3 4 5 6 7 B 910 TED 595.4 v PLS 386.9 MSCS 65.2 c 3.0 PPM 6.0 PPM 9.0 PPM ScEn 50.1 too IQw lur 5upport5 5uppom fish populations spawning abundant Fish populations Dam 5S 3.0.5.0 PPM y TO PPM 12-24 hour supports RC _ 4S.1 rangc of tolerance 1 growlhlactivity stressful condilians 0 100 200 B00 400 500 500 700 Specific Con ductivitY DO mg/L {pprrl} 40 yds 10.96 Tap Discharge 8.35 Toe Drain 7.51 v Powerline 8.6 x A.O.W 10.25 Suck Creek 10.15 Darn 11.14 221 Bridge 11.02 0 2 4 5 8 10 12 AzisTitle Arsenic (As) levels 1.2 1 U 0.2 0 White r utike•- Yelbw Catfi5li White Catfi5li White Lang Eared Perch Eutiker q-utiker 5unfL41 High As levels lead to death in humans and behaviors and breathing changes in fish 0.45 0.4 0.35 EPA published in 2009 that the0.3 o 0.25 safe Cd and As level for 4 fish0.2 0.15 C 0.1 High Cd levels lead to lung issues/cancer in °00 .5 humans and bioaccumulates in fish leading to whole body damage Cadmium (Cd) levels L - White Yelbw Catfish 4r-Aite Sucker Perch 5 ucker � Eggs � F esh tax= J7 '61i to Lcn; Eared Sucker Sun- sh S a:e eve Chromium (Cr) levels 3.5 3 a 2.5 a 2 S.5 C CJ U1 k 0 u.5 0 White Yello-w Catfish White Catfish White Long Eared Sucker Perch Sucker Sucker 5unf-d7 � Eggs � Flesh —Safe L-; e' 26 14 Sz Recommended daily 0 I° High Cu levels have no effect on humans and can be lethal to fish due to gill fraying and inability 0 4 to transport of salts _ " z a High Cr levels lead to cancer in humans and negative effects on reproduction in fish 1.2 ppm Cop per (Cu) levels 1 1 h 14,Vhite YeIbV1 Catfish Catfish White Lcn; Eared Sucker Perch Sucker Sucker Sun= d7 0 Eggs 0 F lesh Lead (Pb) levels 60 50 i E a 40 High Pb levels have neural effects in humans and reproductive & behavioural disorders in fish 30 U zo C O 10 0 White Yellow Catfish White Catfish White Long Eared Sucker Perch Sucker Sucker Sunfish Selenium (Se) levels Eggs F esh —Safe Level 2C S8 � S6 ML 14 12 0 I High Se levels cause distress in gastrointestinal U humans and larval impairments in fish 4 . ppm a White Yellow Catfish ffli'te Caff'sh M)'te Long Eared Sucker Perch Sucker Sucker 5urfd7 Eggs Flesh Safe eve Zinc (Zn) levels 5w 450 400 a E5o saa a 2.50 zoo uo ioo o White Yeliyw CadLi h White Catfih Sucker Perch Sucker ■ Eggs ■ F lesh White Long Eared Sucker Sunfidq High Zn levels cause gastrointestinal distress in humans and effect development in fish Recommended daily intake for adult humans is 8 mg/day 0.2 4.18 a 0.14 c 0.12 0 +� 0.1 0.08 v 0.06 t� 0.04 0.02 0 100 Concentration [Cd] vs. Length (mm) 150 200 250 300 35v Length Rmm} Vertical bar indicates length at maturity. Horizontal bar indicates previously stated safe levels 14 12 i= a 10 2 0 • -Reference - Downstream Concentration [Se] ors. Length (mm) 100 150 200 250 SW S50 400 Length �mm} _ 1 E n n 0.8 C 0 +� 0.5 e du 0.4 e 0 U 0.2 0 100 Concentration [As] vs. Length (mm) 150 200 250 300 350 400 Length �mm} Vertical bar indicates length at maturity. Horizontal bar indicates previously stated safe levels 100 150 200 250 300 350 400 Length (mm} Concentration [Cr] vs. Length (mm) 1.R 1.z 0 1 a. 6 # * # • UO 0.4 • # 0.2 • • • • 0 100 150 200 250 3W Length (mm} • Vertical bar indicates length at maturity. Horizontal bar indicates previously stated safe levels • a00 350 300 E a a 250 C O 240 C �] 150 C O U 100 50 0 100 • -Reference - Downstream Concentration [2n] vs. Length (mm) 150 200 250 300 350 Length Rmmj Feeding Habits • White Sucker - Bottom feeder eating mainly small invertebrates, algae, and plant matter. • Bluegill - Adult bluegill diet consists of mainly aquatic insect larvae (mayflies, caddisflies, dragonflies) but can also include crayfish, leeches, snails, and other small fish. • Channel Catfish - Feed mostly on snails, insects, crawfish, algae, and plants. • Long Eared Sunfish - Mostly carnivorous feeding on aquatic insects, small crustaceans, fish eggs, and young bass. • Margined Madtom - Feed mainly on aquatic insect larvae. • Red Breasted Sunfish - Feed mainly on aquatic insect larvae and small fish. Fish Species vsMec,r PPMfor Toxic Metc,ls 12 S6 k OL l 6 4 2 a Cu Pb i Horizontal line indicates the following safe levels: ■WhiteSuaker(8) ■ B1JeGil ($) ■Cafft,(6) Cu - Daily intake level of 0.9 Long Eared SurA"sh (4;1 mg/day ■Creek Chub (2) ■ Margined Madtom (3'1 Pb - 0.3 ppm was ■ Red Breasted 5unffih(3) determined by EU as level ■ Hogsucker (2) of concern ■Threadfin Shad (S) ■ Gizzard Shad i:Sj Se -Safe Se level is 1.32 ■ Pumpkinseed Sunfish (1) ppm for 4 fish meals/month ■Yelbw Perch (1) E 14 12 10 4 2 0 As Reference Site Fillet and Egg Levels Cr Cu ■ White sucker (6+1) is Margined Madtom (1) Creek Chub (2) Pb se Red Eared sunfish (0+1) 9 8 7 6 a5 a U ti 4 aA 3 2 1 B Oar■ ■�■■_■ As ■ Catfish (6+1) 0 Red Breasted Sunfish (2) Dam Site Fillet and Egg Levels ■ice■ ■■■■■■ Cr ■ White Sucker (2+2) 0 Gizzard Shad (1) Cu ■ Hogsucker (2) 0 Margined Madtom (2) .o .:: Threadfin Shad (1) 0 Long Eared Sunfish (2) Se ■ Blue Gill (3) 0 Yellow Perch (1+1) Downstream of Toe Drainage Fillet Levels 2 p - As Cr ■ Lang Eared Sunfish (2) Cu g Blue Gill (1) ■4 Pumpkinseed Sunfish (1) Se F a C. t�3 x dA E Suck Creek Fillet Levels As Cr Cu Pb 5e ■ Blue Gill (3) M RIC a a E 10 0 Sediment Sample Element Levels 221 Bridge Crossing Toe Drainage Suck Creek Sample Site ■ As ■ Cd ■ Cr ■ Cu ■ Pb ■ Se 0.1 0, 09 0.08 0.07 0,06 J 0,05 /0. /0 4 0.02 0,01 0 As Cd ■ 221 Bridge Crossing (Reference) Suck Creek ■ Top Drainage a 2814 Riverfront Drive Tap Water Water Sample Element Levels IIIIIIIII Cr Cu ■ Riverfront Drive Seep ■ Suck Creek Seep ■ Downstream Toe Drainage i - 5e 0 Dam ■ Powerfine Seep *Toe Drainage TI a CL J M Water Sample Element Levels D,6 D,5 DA D,2 D,1 D 1 11 IN 221 Bridge Riverfront Drive Dam SuckCreak SuckCrecsk Powerline Seep Top Drainage Downstream Crossing Seep Seep Toe Drainage (Reference) Toe Drainage 2814 Riverfront Drive Tap Water ■ Pb � Zn Implications & Future research • Copper, selenium and zinc had significant differences between up and downstream o Major impacts on juvenile development • Almost all collected fish have elevated levels for different heavy metals o Even some elevated levels on the reference site • Collections from tributaries to the Broad River • Collections of larval fish o Both populations and development Acknowledgements o We would like to thank the Appalachian State University Biology and Chemistry Departments. • We would like to thank the Madison Malone, Broad Riverkeeper David Caldwell and a resident of the community Guy Hutchins. • We would also like to thank Dr. Shea Tuberty and Dr. Carol Babyak Questions? COU NT E RT V4114Y,, So §ow %PO 6 -r"& ! f Q A¥H§ ¥,TJWe 9E k G2 INES« K Wrt" - ® - > � �- �- � � . �Lim ��-�� « V a � y � � p � � �� 7z.. - �� \ \ §R61 ¥ ?»/ EXHIBIT 2 Duke Energy Carolinas Response to North Carolina Public Staff Data Request Data Request No. NCPS 42 Docket No. E-7, Sub 1214 Date of Request: October 16, 2019 Date of Response: October 25, 2019 CONFIDENTIAL 0 NOT CONFIDENTIAL Confidential Responses are provided pursuant to Confidentiality Agreement The attached response to North Carolina Public Staff Data Request No. 42-2, was provided to me by the following individual(s): Hadia Lugo, Manager II, Finance, and was provided to North Carolina Public Staff under my supervision. Carnal O. Robinson Senior Counsel Duke Energy Carolinas North Carolina Public Staff Data Request No. 42 DEC Docket No. E-7, Sub 1214 Item No. 42-2 Page 1 of 1 Request• 2. For the approximately $689 million of investment made in the Company's coal fired generation fleet (Direct Testimony of Steve Immel, page 6) provide the following: a. For total project costs of $1 million or greater: i. Project identifier ii. Initial budget iii. Final budget iv. Actual spend v. Start date of project vi. Initial expected completion date vii. Actual completion date viii. Description of project ix. Explanation of why project was necessary x. Environmental violations (both potential and those that had been observed) or other requirements project was designed to address b. For total project costs of less than $1 million, but greater than $100,000: i. Project identifier ii. Actual spend iii. Completion date iv. Description of project Response• See attached file with answers for 42-2 & 42-3. DEC NC PS DR 42-2 & 42-3.xlsx Duke Energy Carolinas Docket No. E-7, Sub 1214 Public Staff DR 41-2 Answers to 42-2 Questions»» Enviromental Violations (both Initial budget Total Actual Start date of Initial Actual potential and those (Estimate Final Budget Forecasted Spend / Project (Initial expected Completion Description of that had been Project ID Project Identifier /Name (Authorized Actual Spend Completion Explanation of Why project was necessary from Initial Funding) Additions Forecasted Funding Date (on Date (In- project observed) or other Funding) Spend Approval) Service Date) requirements project Advance) was designed to address The Coal Combustion Residual (CCR) Rules issued by the EPA require the Allen ash basin to be closed CAS000026 DRY BOTTOM ASH CONVERSION $ 34,533,750 $ 68,716,545 $ 68,221,972 $ - $ 68,221,972 9/22/2015 4/30/2018 1/9/2019 Refer to and retired. To accomplish this all ash basin inflow Refer to Column "L" Column "A" streams must be eliminated. This requires that the Allen wet bottom ash system be converted to a "dry" system to collect and handle the bottom ash. In response to the CCR Rule, Allen Steam Station will be closing the ash basin that currently accepts FGD Enhanced FGD Wastewater Refer to waste water treatment effluent. This project will CAS000201 $ 3,247,180 $ 30,207,152 $ 9,676,047 $ - $ 9,676,047 12/18/2015 4/30/2019 1/31/2019 Column "A" upgrade the existing scrubber wastewater treatment Refer to Column "L" Treatment plant to meet the ELG effluent guidelines. The new system will allow Allen Station to be in compliance with the ELG, CAMA, and CCR Rules. The Coal Combustion Residual (CCR) Rule issued by the EPA and the CAMA issued by North Carolina require the Allen ash basin to be closed and retired. To accomplish this all the ash basin inflow streams CA5000281 Storm Water/Process Water $ 19,252,611 $ 29,988,355 $ 28,830,996 $ - $ 28,830,996 5/13/2016 4/17/2018 12/30/2018 Refer to must be eliminated. This requires that the Allen storm Refer to Column "L" Reroute Column "A" water and process water inflows be intercepted and routed to a new lined retention basin for treatment before they are discharged. The lined retention basin is being implemented under a separate funding project. The Coal Combustion Residual (CCR) Rules issued by the EPA and the CAMA issued by North Carolina require the Allen ash basin to be closed and retired. CAS000282 Lined Retention Basin $ 22,195,756 $ 39,432,666 $ 39,349,432 $ - $ 39,349,432 5/16/2016 4/17/2018 10/29/2018 Refer to To accomplish this all ash basin inflow streams must Refer to Column "L" Column "A" be eliminated. This requires that the Allen storm water and process water inflows be intercepted and routed to a new lined retention basin for treatment before they are discharged. The Coal Combustion Residual (CCR) Rules issued by the EPA and the CAMA regulations issued by North Carolina require the Belews Creek ash basin to be closed and retired. To accomplish this all ash basin Alternate Start-up Dry Fly Ash Refer to inflow streams must be eliminated. This requires that CBC000214 $ 4,902,443 $ 8,822,248 $ 8,788,900 $ - $ 8,788,900 6/13/2016 4/17/2018 3/26/2018 Column "A" the existing Fly Ash Hydro -Conveyor system be Refer to Column "L" System removed from service. As a result of the removal of the Hydro -Conveyor system several single points of failure are created within the existing remaining system that must be addressed to provide redundancy and reliability to the station. In response to the CCR Rule issued by the EPA and the North Carolina CAMA regulations, Belews Creek Steam Station will be closing the ash basin that currently accepts FGD waste water treatment effluent. CBC000360 Enhanced FGD Wastewater $ 30373419 $ 9603867 $ 9134384 $ - $ 9134384 12/18/2015 4/30/2019 9/10/2018 Refer to This project will add an Ultra Filtration system to the Refer to Column "L" Treatment ,,,,,, ,, Column "A" existing FGD scrubber wastewater treatment plant to meet Effluent Limitation Guidelines issued by the EPA. The addition of the Ultra Filtration system will produce an effluent that will be in compliance with ELG, CAMA, and CCR Rules. CBC000370 BC Dry Bottom Ash Conversion $ 76,353,840 $ 71,370,274 $ 68,402,456 CBC000443 CCP Storm Water/Process Water $ 13,391,128 $ 27,146,429 $ 25,983,608 Reroute CBC000444 CCP Lined Retention Basin $ 23,737,406 $ 37.649,650 $ 34,422,089 CBKCC0027 CCP Process Water Reroute $ 3,350,112 $ 3,350,112 $ 1,478,661 CC5051310 US Bottom Ash Conveying Sys. $ 11,223,440 $ 18,217,046 $ 12,883,460 CCS051492 CS Unit S Dry Flyash Conversion $ 36,524,399 $ 32,902,255 $ 804,601 CCS060038 CCP CS #6 Air Heater Flyash System $ 3,248,623 $ 2,934,101 $ 1,525,627 $ 68,402,456 9/22/2015 4/30/2018 5/9/2018 Referto Column "A" $ 25,983,608 5/10/2016 4/17/2018 1/3/2019 Refer to Column "A" $ 34,422,089 5/10/2016 4/17/2018 12/18/2019 Refer to Column "A" $ 1,478,661 10/5/2016 2/29/2017 12/6/2018 Refer to Column "A" $ 12,883,460 9/22/2018 4/30/2018 5/23/2018 Referto Column "A" $ 804,601 9/22/2015 4/30/2018 10/29/2017 Referto Column "A" The Coal Combustion Residual (CCR) Rules issued by the EPA require the Belews Creek ash basin to be closed and retired. To accomplish this all ash basin inflow streams must be eliminated. This requires that Refer to Column'V the Belews Creek wet bottom ash system be converted to a "dry" system to collect and handle the bottom ash. The Coal Combustion Residual (CCR) Rules issued by the EPA require the Belews Creek ash basin to be closed and retired. To accomplish this all ash basin inflow streams must be eliminated. This requires that Refer to Column "L" the Belews Creek storm water and process water inflows be intercepted and routed to a new lined retention basin for treatment before they are discharged. The Coal Combustion Residual (CCR) Rules issued by the EPA and the North Carolina Coal Ash Management Act (CAMA) require the Belews Creek ash basin to be closed and retired. To accomplish this all ash basin inflow streams must be eliminated. This requires that the Belews Creek storm water and Refer to Column "L" process water inflows be intercepted and routed to a new lined retention basin for treatment before they are discharged. A separate project is in progress to convert the bottom ash system to a dry process eliminating the inflow to the ash basin. The Coal Combustion Residual (CCR) Rules issued by the EPA and the CAMA issued by North Carolina require the Buck ash basin to be closed and retired. To accomplish this all ash basin inflow streams must be eliminated. This requires that the Buck Combined Cycle CT process water inflows be intercepted and routed to a new permitted outfall. On March 12, 2014, Refer to Column "L" Lynn Good (Chief Executive Office) sent a letter to Pat McCory (Governor, North Carolina) committing to dewater the ash basin within 24-36 months upon receipt of permits. On December 17, 2015 a letter from NCDEQ was received authorizing Duke to decant the Buck ash basin. The Coal Combustion Residual (CCR) Rules issued by the EPA require the Cliffside ash basin to be closed and retired. To accomplish this all ash basin inflow streams must be eliminated. This requires that Refer to Column'V the Cliffside Unit # 5 wet bottom ash system be converted to a "dry" system to collect and handle the bottom ash. The Coal Ash Management Act of North Carolina (CAMA) and the Coal Combustion Residual Rules (CCR) issued by the EPA require that all Duke Energy ash basins be retired and closed. To accomplish this all ash basin inflow streams must be eliminated and the fly ash produced must be handled using a "dry' Refer to Column "L" system. Currently Cliffside #S operates with a flyash collection system that utilizes a pressurized piping and water sluicing system to transport the flyash to the ash basin. The existing pressure piping, hydroveyors and sluice tanks will be removed. Currently the Cliffside Unit #6 Air Preheater ash is collected and wet sluiced into the Unit #6 Submerged Flight Conveyor (SFC). Any overflow from the SFC Referto flows into the Process Water Discharge System. The $ 1,525,627 11/7/2017 11/30/2018 11/2/2018 Column "A" Effluent Limitation Guidelines (ELG) prohibit the Refer to Column "L" discharge of sluicing water into the Process Water Treatment & Discharge system. To be in compliance with the ELG regulations, the air preheater ash must be collected dry and transported to the ash silo. CCS560046 CCS560047 CCS560077 CLS000095 CMS000212 CMS000285 CMS000286 CMS000602 The Coal Combustion Residual (CCR) Rules issued by the EPA and the CAMA issued by North Carolina require the Cliffside ash basin to be closed and Storm Water/Process Water $ 25,469,732 $ 24,313,948 $ 23,283,068 $ 23,283,068 7/28/2016 4/17/2018 1/16/2019 Refer to retired. To accomplish this all ash basin inflow Refer to Column "L" Reroute Column "A" streams must be eliminated. This requires that the Cliffside storm water and process water inflows be intercepted and routed to a new lined retention basin for treatment before they are discharged. The Coal Combustion Residual (CCR) Rules issued by the EPA and the CAMA issued by North Carolina require the Cliffside ash basin to be closed and Active Waste Water Treatment Refer to retired. To accomplish this all ash basin inflow $ 64,318,391 $ 65,002,657 $ 61,776,217 $ 61,776,217 7/28/2016 4/17/2018 12/19/2018 Column "A" streams must be eliminated. This requires that the Refer to Column "L" System Cliffside storm water and process water inflows be intercepted and routed to a new waste water treatment system for treatment before they are discharged. The Coal Combustion Residual (CCR) Rules issued by the EPA and the CAMA issued by North Carolina require the Cliffside ash basin to be closed and retired. To accomplish this all ash basin inflow streams must be eliminated. This requires that the Lined Retention Basins $ 15,760,604 $ 15,940,605 $ 13,982,888 $ 13,982,888 5/2/2017 10/31/2018 12/7/2018 Refer to Cliffside storm water and process water inflows be Refer to Column "L" Column "A" intercepted and routed to a new lined retention basin. All the collected water will be treated in the Active Waste Water Treatment system prior to being discharged. The Active Waste Water Treatment system is being implemented under a separate fundinq packaqe The Coal Combustion Residual (CCR) Rules issued by the EPA require the WS Lee ash basin to be closed Refer to and retired. To accomplish this all ash basin inflow Waste Water Treatment $ 16,992,862 $ 19,379,615 $ 19,125,923 $ 19,125,923 6/13/2016 4/17/2018 8/27/2015 Column "A" streams must be eliminated. This requires that the Refer to Column "L" WS Lee storm water and process water inflows be intercepted and routed to a new lined retention basin for treatment before they are discharged. The Flue gas Desulfurization (FGD) Waste Water Treatmen System (W WT) is driven by the following regulatory requirements: • The Environmental Protection Agency (EPA) Coal Combustion residuals (CCR) Rule which requires the closure of the ash basin; • The New Effluent MAR Enhncd. FGD Wastewater Refer to Limitation Guidelines (ELG) Rule has more stringent $ 90,334,121 $ 85,899,031 $ 83,960,338 $ 83,960,338 7/28/2016 4/17/2018 3/12/2019 Column "A„ technology based limitations. Refer to Column "L" Treat. To allow closure of the ash basin and comply with the ELG requirements, treatment of the FGD waste stream will be required at Marshall. The FGD waste stream will be treated in the new system prior to being discharged. The Coal Combustion Residual (CCR) Rules issued by the EPA and the North Carolina CAMA regulations require the Marshall ash basin to be closed and Storm Water/Process Water Refer to retired. To accomplish this all ash basin inflow Reroute $ 20,284,452 $ 51,383,230 $ 49,277,263 $ 49,277,263 7/26/2016 4/17/2018 12/12/2018 Column "A" streams must be eliminated. This requires that the Refer to Column "L" Marshall storm water and process water inflows be intercepted and routed to new holding basin and lined retention basin for treatment before they are discharged The Coal Combustion Residual (CCR) Rules issued by the EPA and the CAMA issued by North Carolina require the Marshall ash basin to be closed and Lined Retention Basin $ 36,859,086 $ 35,049,617 $ 35,473,159 $ 35,473,159 7/28/2016 4/17/2018 10/9/2018 Refer to retired. To accomplish this all ash basin inflow Refer to Column "L" Column "A" streams must be eliminated. This requires that the Marshall storm water and process water inflows be intercepted and routed to a new lined retention basin for treatment before they are discharged. The Coal Combustion Residual (CCR) Rules issued by the EPA require the Marshall ash basin to be CCP - Dry Bottom Ash Haul road $ 2,583,038 $ 944,132 $ 744,925 $ 744,925 5/1/2017 12/31/2017 4/4/2018 Refer to closed and retired. To accomplish this all ash basin Refer to Column "L" construction Column "A" inflow streams must be eliminated. This requires that the Marshall wet bottom ash system be converted to a "dry" system to collect and handle the bottom ash. The Coal Combustion Residual (CCR) Rules issued by the EPA require the Marshall ash basin to be CMSCM3227 MS Dry Bottom Ash System $ 51,783,310 $ 97,248,004 $ 81,903,644 $ 81,903,644 9/22/2016 4/30/2018 9/29/2018 Refer to closed and retired. To accomplish this all ash basin Refer to Column "L" Conversion Column "A" inflow streams must be eliminated. This requires that the Marshall wet bottom ash system be converted to a "dry" system to collect and handle the bottom ash. The Coal Combustion Residual (CCR) Rules issued by the EPA require the Marshall ash basin to be closed and retired. To accomplish this all ash basin inflow streams must be eliminated. This requires that the Marshall hydro -conveying system for fly ash collection 8 transportation be eliminated. Marshall CMS000156 CCP - Marshall Dry Fly Ash $ 9,216,801 $ 12,383,816 $ - $ 10,317,284 $ 10,317,284 12/18/2017 10/31/2019 11/7/2019 Refer to has been converted to a dry fly ash collection and Refer to Column "L" Reliability (Forecast) Column "A" transportation system. However, the existing wet fly ash collection system has been maintained to serve as a back-up to be used when the dry system is out of service for repairs or maintenance. With the removal of the wet system, the DFA system must be able to operate and transfer all flyash produced to maintain unit reliability. $ 679,029,657 $ 10,317,284 $ 689,346,941 EXHIBIT 3 From: Chernikov. Sergei To: Meaan Kimball Subject: RE: [External] Allen Steam Station Permit # NC0004979 Date: Friday, December 06, 2019 1:51:10 PM Megan, This internal outfall is currently being used. The 2nd page of the permit states: Outfall 006: Upon completion of construction of the Retention Basin, discharge domestic wastewater, stormwater from the coal pile area, miscellaneous stormwater flows, ash sluice, wastewater from turbine non-destructive testing, landfill leachate, FGD blowdown, yard drain sump, water treatment filter backwash, treated groundwater, laboratory wastes, and the power house sump at Unit 5. The domestic waste is pre-treated by a septic tank. Outfall 006 wastewater is treated using chemical coagulation, settling, and pH neutralization. Outfall 002 and Outfall 006 might be operational at the same time during the transition period. Therefore, discharge from Outfall 5 has been rerouted to the Retention basin. Thank you! Sergei Sergei Chernikov, Ph.D. Environmental Engineer II Complex NPDES Permitting Unit NEW Tel. 919-707-3606 1617 Mail Service Center, Raleigh, NC 27699-1617 Express Mail: 512 N. Salisbury St., Raleigh, NC 27604 From: Megan Kimball [mailto:mkimball@selcnc.org] Sent: Friday, December 6, 2019 1:47 PM To: Chernikov, Sergei <sergei.chernikov@ncdenr.gov> Cc: Nick Torrey <ntorrey@selcnc.org> Subject: RE: [External] Allen Steam Station Permit # NC0004979 1TWIMMail. Do not click links or open attachments unless you verify. Send all suspicious email as an Itachme&J&report.sr)amPnc.gov Hi Sergei, Thank you for your response. My question is about whether Internal Outfall 005, which is the subject of the modification, is still in use because my understanding based on the permit and the fact sheet for the permit is that it flows to the ash basin, and Duke Energy has said that it stopped wastewater flow to the ash basin. In other words, is this modification being made to an internal outfall that is no longer being used? And if this internal outfall is no longer being used, where is the FGD flow going now? Thank you, Megan Megan Kimball Associate Attorney I Southern Environmental Law Center 601 West Rosemary Street, Suite 220 1 Chapel Hill, NC 27516-2356 T: 919-967-1450 F: 919-929-9421 E: mkimballQselcnc.org http://www.southernenvironmgatgrg PRIVILEGE AND CONFIDENTIALITY NOTICE This message is intended only for the use of the individual or entity to which it is addressed and may contain information that is privileged, confidential, and exempt from disclosure under applicable law. If you are not the intended recipient of this message, you are hereby notified that disseminating, distributing, or copying it or any attachment to it is strictly prohibited. If you have received this message in error, please notify me immediately by email and delete the original message. From: Chernikov, Sergei [mailto:sergei.chernikov(cb ncdenr.gov] Sent: Friday, December 06, 2019 1:40 PM To: Megan Kimball Subject: RE: [External] Allen Steam Station Permit # NC0004979 Megan, This is Major Modification that only addresses 1 issue in the permit. We are not making any other changes or updates. That will be done during the next renewal. This modification is ONLY to extend the deadline for FGD discharge. The Fact Sheet is very short, it is only 1 page and it explains what is being done. The Major Modification is also just one page. The Cover Letter explains that we are only changing 1 date on 1 page. The permit had been recently renewed and we had a discussion with SELC about all the conditions and outfalls in the permit. Thank you! Sergei Sergei Chernikov, Ph.D. Environmental Engineer 11 Complex NPDES Permitting Unit NEW Tel. 919-707-3606 1617 Mail Service Center, Raleigh, NC 27699-1617 Express Mail: 512 N. Salisbury St., Raleigh, NC 27604 From: Megan Kimball [mailto:mkimball(@selcnc.org] Sent: Friday, December 6, 2019 1:30 PM To: Chernikov, Sergei <sergei.chernikov(@ncdenr.gov> Cc: Nick Torrey <ntorrey(@selcnc.org> Subject: [External] Allen Steam Station Permit # NC0004979 External email. Do not click links or open attachments unless you verify. Send all suspicious email as an attachment to reoort.spamPnc.gov Hi Sergei, We have been reviewing the proposed NPDES permit modification for the Allen plant and have a few questions. The permit modification says it is authorizing Duke Energy to discharge from Internal Outfall 005 into the ash basin, which if I'm understanding correctly, is not being used anymore because Duke Energy stopped wastewater flow to the ash basin back in February. As I understand the permit and the fact sheet, Internal Outfall 005 goes to the ash basin (permit condition A8 on p. 12, and in the description of Outfall 005 on page 2 of the fact sheet). In its submissions to DEQ, Duke Energy says it has stopped wastewater flow to the ash basin, including FGD wastewater (see, for example, the October 2019 report Duke submitted pursuant to the SOC, which says "wastewater flows were removed from the basin on February 9, 2019"). Is my understanding correct? And if so, where is the FGD wastewater flow going now? Is it going to the new retention basin and being discharged from Outfall 006? Is there an internal outfall to the new retention basin that should be permitted? The fact sheet mentions an Internal Outfall 007, but there is no Internal Outfall 007 in the permit, just an external spillway labeled as Outfall 007. In short, it looks like the proposed modification contains an outdated reference to Internal Outfall 005 that should be removed/updated to reflect that no discharges to the ash basin will be authorized anymore. If you could please clarify if that is correct and how the modification will be revised, I would appreciate it. Thank you for your help, Megan Megan Kimball Associate Attorney I Southern Environmental Law Center 601 West Rosemary Street, Suite 220 1 Chapel Hill, NC 27516-2356 T: 919-967-1450 F: 919-929-9421 E: mkimballC@selcnc.orq http://www.southernenvironma .orq PRIVILEGE AND CONFIDENTIALITY NOTICE This message is intended only for the use of the individual or entity to which it is addressed and may contain information that is privileged, confidential, and exempt from disclosure under applicable law. If you are not the intended recipient of this message, you are hereby notified that disseminating, distributing, or copying it or any attachment to it is strictly prohibited. If you have received this message in error, please notify me immediately by email and delete the original message.