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HomeMy WebLinkAbout#530_1218_finalTS_2015_INSPECTION REPORT ROUTING SHEET To be attached to all inspection reports in-house only. Laboratory Cert. #: Laboratory Name: Inspection Type: Inspector Name(s): Inspection Date: Date Report Completed: Date Forwarded to Reviewer: Reviewed by: Date Review Completed: Cover Letter to use: Unit Supervisor/Chemist III: Date Received: Date Forwarded to Linda: Date Mailed: EPA Methods 200.8 and 245.1 530 Pace Analvtical Services Inc — Minneapolis MN Maintenance/Abbreviated/Desk Audit Dana Satterwhite Gary Francies Roy Byrd 11 /20/2015 — 12/18/2015 12/1 /2015 12/1/2015 Gary Francies 1 /22/2016 ❑ Insp. Initial ❑ Insp. No Finding ❑ Corrected ® Insp. Reg. ❑ Insp. CP ❑ Insp. Reg. Delay Dana Satterwhite 1 /22/2016 1 /22/2016 1/26/2016 PAT MCCRORY pr71 f Water Resources ENVIRONMENTAL. Gt`UAUTY January 27, 2016 530 Ms. Melanie 011ila Pace Analytical Services, Inc. 1700 Elm St SE Suite 200 Minneapolis, MN 55414 DONALD R. VAN DER VAART S. JAY ZIMMERMAN l?ir.a10r Subject: North Carolina Wastewater/Groundwater Laboratory Certification (NC WW/GW LC) Maintenance Inspection Dear Ms. 011ila: Enclosed is a report for the inspection performed on December 18, 2015 by Dana Satterwhite, Gary Francies and Roy Byrd. Where Finding(s) are cited in this report, a response is required. Within thirty days of receipt, please supply this office with a written item for item description of how these Finding(s) were corrected. Please describe the steps taken to prevent recurrence and include an implementation date for each corrective action. If the Finding(s) cited in the enclosed report are not corrected, enforcement actions may be recommended. For Certification maintenance, your laboratory must continue to carry out the requirements set forth in 15A NCAC 2H .0800. Copies of the checklists completed during the inspection may be requested from this office. Thank you for your cooperation during the inspection. If you wish to obtain an electronic copy of this report by email or if you have questions or need additional information, please contact me at (919) 733-3908 ext. 251. Attachment cc: Tonja Springer Todd Crawford e f Sincerely, ban6-8atte white Environmental Program Supervisor III NC WW/GW Laboratory Certification Branch Water Sciences Section NC Wastewater/Groundwater Laboratory Certification Branch 1623 Mail Service Center, Raleigh, North Carolina 27699-1623 Location:4405 Reedy Creek Road, Raleigh, North Carolina 27607 Phone: 919-733-39081 FAX: 919-733-6241 Internet: http,,/ ortal.ncdenr.orglweblwgllab/cent LABORATORY NAME: ADDRESS: CERTIFICATE #: DATE OF INSPECTION: TYPE OF INSPECTION: AUDITOR(S): LOCAL PERSON(S) CONTACTED: INTRODUCTION: • . 0 • di Pace Analytical Services, Inc. 1700 Elm St SE Suite 200 Minneapolis, MN 55414 530 November 20, 2015 Maintenance/Abbreviated/Desk Audit Dana Satterwhite, Gary Francies, Roy Byrd Ms. Melanie 011ila and Mr. Nathan Boberg This laboratory was inspected by a representative of the North Carolina Wastewater/Groundwater Laboratory Certification (NC WW/GW LC) program to verify its compliance with the requirements of 15A NCAC 2H .0800 for the analysis of environmental samples. GENERAL COMMENTS: This was an abbreviated audit performed at the request of the Division of Water Resources and was limited to data for the following Pace Project Numbers: 92261557, 92265303, 92260963 and 92265356. The laboratory sent complete data packages which included raw data (i.e., instrument printouts and/or benchsheets) including associated calibration curves, associated digestion logs, chain of custody records, method detection limit study summaries and standard operating procedures. Proficiency Testing (PT) samples have been analyzed for all certified parameters. The laboratory has fulfilled its PT requirements for the 2015 proficiency testing calendar year. Contracted analyses were performed by Pace Analytical Services, Inc. — Ormond Beach, FL (Certification #667) and Pace Analytical Services, Inc. — Asheville, NC (Certification #40). The laboratory is reminded that any time changes are made to laboratory operations; the laboratory must update the Quality Assurance (QA)/Standard Operating Procedures (SOP) document(s). Any changes made in response to the Findings, Recommendations or Comments listed in this report must be incorporated to insure the method is being performed as stated, references to methods are accurate, and the QA and/or SOP document(s) is in agreement with approved practice and regulatory requirements. In some instances, the laboratory may need to create a SOP to document how new functions or policy will be implemented. FINDINGS, REQUIREMENTS, COMMENTS AND RECOMMENDATIONS: Standard Operating Procedures (SOPs) Recommendation: It is recommended that all SOPs be reviewed and evaluated for use of the word "should". SOPs are intended to describe procedures exactly as they are to be performed. While some uses of the word "should" versus "must" are noted in Finding A, not all have been listed in this report. Page 2 #530 - Pace Analytical Services, Inc. Recommendation: It is recommended that the ICP-MS Method 6020/6020A/200.8 SOP #S-MN-1492- rev. 23 refer to the use of Kinetic Energy Discrimination (KED) as an acceptable interference reduction technology under 40 CFR Part 136.6 (b) (4) (iv), Method Modifications and Analytical Requirements, Allowable Changes, which reads: In general, IC -MS is a sensitive and selective detector for metal analysis; however isobaric interference can cause problems for quantitative determination, as well as identification based on the isotope pattern. Interference reduction technologies, such as collision cells or reaction cells, are designed to reduce the effect of spectroscopic interferences that may bias results for the element of interest. The use of interference reduction technologies is allowed, provided the method performance specifications relevant to 1CP-MS measurements are met. Comment: In the Mercury EPA Method 245.1 SOP# S-MN-1-359 Rev.23 - Section 9, Table 9.1 - The description for the analytical balance states "accurate to at least 10 mg". Please verify that based upon its intended use in this method, this statement of accuracy is adequate for the data quality objectives of the method. A. Finding: An inconsistency and/or omission was noted between the Standard Operating Procedure (SOP) and laboratory practice as follows: The SOP does not describe in detail how the method is performed. Preparation of Aqueous Samples for ICPMS Analysis SOP SOP# S-MN-1-523-rev.10 - Section 7, Table 7.1 - The SOP does not state that when samples are received unpreserved, 1 + 1 nitric acid must be added at least 24 hours prior to digestion for Clean Water Act (CWA) monitoring. [Ref: 40 CFR Part 136, Table 11, footnote 19.] NOTE: This is appropriately noted in the analytical SOP# S-MN-1-492-Rev. 22. SOP# S-MN-1-523-rev.10 - Section 10, Table 10.1 - It appears that the Standard Stock solution concentration (i.e., 20 mg/m1) is incorrect. The concentration appears to calculate to be 20 pg/ml. SOP# S-MN-1-523-rev.10 - Section 12.1 - The SOP does not state that for compliance monitoring under the Clean Water Act, samples must be digested regardless of turbidity. [Ref: 40 CFR Part 136, Table I, footnote 4.] SOP# S-MN-1-523-rev.10 - Section 12.2 - The SOP does not state that the pH must be verified (i.e., pH <2) immediately before digestion. [Ref: EPA Method 200.8, Section 8.3] SOP# S-MN-1-523-rev.10 - Sections 12.2.5 and 12.2.6 - The SOP needs additional instruction regarding sample digestion. For example, Samples should be gently refluxed and not allowed to boil vigorously or allowed to go to dryness, etc. SOP# S-MN-1-523-rev.10 - Section 12.2.8 - The SOP does not state the volume samples are brought up to (i.e., 50 ml - according to the data reviewed - there is no indication of concentration in the calculation). Also, this should be quantitatively measured unless the digestion cups are marked at 50 ml. Accurate measurement is critical. SOP# S-MN-1-523-rev.10 - Section 13, Table 13.1 - The SOP does not clearly state that although EPA SW-846 Method 3020 A allows a matrix spike frequency of 5%, EPA Method 200.8 requires 10% of routine samples be spiked. [Ref: EPA Method 200.8, Section 9.4.2] Page 3 #530 - Pace Analytical Services, Inc. ICP-MS Method 6020/6020A/200.8 SOP SOP# S-MN-1-492-Rev. 22 - Section 10, Table 10.1 - It appears that the references to Attachment II in the table for Calibration Stock Standard solutions and Initial Calibration Verification solutions are incorrect. It appears they should reference Table 10.2. SOP# S-MN-1-492-Rev. 22 - Section 10, Table 10.1 - The concentrations of the Stock solutions are not noted. Consequently, proper Working Standard preparations in Table 10.2 cannot be verified. SOP# S-MN-1-492-Rev. 22 - Section 10, Table 10.2 - The SOP does not list units in the column header for Final Concentration. SOP# S-MN-1-492-Rev. 22 - Section 10, Table 10.2 - It appears the solvent volume for ICS-AB is incorrect. It appears it should be 9.75 mL. SOP# S-MN-1-492-Rev. 22 - Section 11, Table 11.1 - The SOP does not describe demonstrating instrument stability by analyzing the tuning solution a minimum of 5 times with resulting RSD of absolute signals <5%. [Ref: EPA Method 200.8, Revision 5.4, Section 10.2.2] SOP# S-MN-1-492-Rev. 22 - Section 11, Table 11.1 - For North Carolina Wastewater/Groundwater clients, blanks (including ICB, CCB and MB) must be evaluated to <--'/PQL or as otherwise specified by the reference method (in this case - <10% of analyte level for a sample or 2.2 times analyte MDL). It is noted that sy/RL may be used per client; however, it did not appear that the data packages reviewed were assessed to that level - although all the data met this requirement. This assessment may be performed on the project management level. The lab appears to be monitoring and meeting the % RSD requirement. [Ref: NC WW/GW LC Policy and EPA Method 200.8, Revision 5.4, Section 9.3.1] Mercury EPA Method 245.1 SOP# S-MN-1-359 Rev.23 - Section 10, Table 10.2 - It appears the solvent volume for the Low Level Mercury Calibration Intermediate Standard is incorrect. It appears it should be 984.9 ml. SOP# S-MN-1-359 Rev.23 - Section 10, Table 10.2 - It appears the solvent volumes for Standard 1 and the CRDL standard are incorrect. It appears they should each be 29.7 ml. Requirement: Each laboratory shall develop and maintain a document outlining the analytical quality control practices used for the parameters included in their certification. Supporting records shall be maintained as evidence that these practices are being effectively carried out. Ref: 15A NCAC 2H .0805 (a) (7). Please submit updated SOPs with the items listed above addressed by April 30, 2016. B. Finding: The laboratory is not analyzing a filtered Laboratory Reagent Blank (LRB) or filtered Laboratory Fortified Blank (LFB) when samples must be filtered. Requirement: The LFB is analyzed exactly like a sample, and its purpose is to determine whether the methodology is in control and whether the laboratory is capable of making accurate and precise measurements. Ref: EPA Method 200.8, Revision 5.4, Section 3.8. Page 4 #530 -Pace Analytical Services, Inc. Requirement: An aliquot of reagent water or other blank matrices that are treated exactly as a sample including exposure to all glassware, equipment, solvents, reagents, and internal standards that are used with other samples. The LRB is used to determine if the method analytes or other interferences are present in the laboratory environment, reagents, or apparatus. Ref: EPA Method 200.8, Revision 5.4, Section 3.10. Comment: This finding was not observed in the data sets reviewed; however, the SOP does not indicate filtered LFBs and LRBs are analyzed when samples must be filtered for undissolved material that does not settle out of the sample digestate prior to analysis on the instrument. IV. PAPER TRAIL INVESTIGATION: The paper trail consisted of comparing original records (e.g., laboratory benchsheets, logbooks, chain - of -custody forms, etc.) and client reports. Data were reviewed for the following Pace Project Numbers: 92261557, 92265303, 92260963 and 92265356. No transcription errors were detected. The facility appears to be doing a good job of accurately transcribing data. V. CONCLUSIONS: Correcting the above -cited Findings and implementing the recommendations will help this lab to produce quality data and meet certification requirements. The inspector would like to thank the staff for its assistance during the inspection. Please respond to all Findings and include an implementation date for each corrective action. Report prepared by: Dana Satterwhite Date: 12/1/2015 Report reviewed by: Gary Francies Date: 1/22/2016