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HomeMy WebLinkAboutNCG060387_CMSWS NOV Orbit Energy with Inspection Email Transmittal_20230328 Chandler, Jeffrey A From:Schley, Michael <Michael.Schley@mecklenburgcountync.gov> Sent:Tuesday, March 28, 2023 3:22 PM To:Miguel Lugo; thomas.lewis@anaergia.com; rhiad.gajraj@anaergia.com Cc:Farmer, Richard L; DeCristofaro, Andrew; Chandler, Jeffrey A; Eplin, Jerry W; Khan, Zahid; Jadlocki, Steve; Miller, Craig Subject:\[External\] Notice of Violation / Stormwater Inspection : Orbit Energy - Charlotte Bioenergy Facility LLC Attachments:Charlotte Bioenergy Facility LLC - 1st NOV (Sec 18-80d) Improper Storage & Handling.pdf; Orbit - Stormwater Inspection Report.pdf CAUTION: External email. Do not click links or open attachments unless you verify. Send all suspicious email as an attachment to Report Spam. Subject: NOTICE OF VIOLATION Industrial Facility Inspection Charlotte Bioenergy Facility CITY OF CHARLOTTE CODE OF ORDINANCES Chapter 18, Article III Stormwater Pollution Section 18-80(d), Improper Storage, Handling, or Processing of Materials To Whom it May Concern: North Carolina General Statute § 160A-459 authorizes cities to adopt and enforce a stormwater control ordinance to protect water quality and control water quantity. The City of Charlotte (the “City”) adopted a Stormwater Pollution Control Ordinance (the “Ordinance”) during 1995 which was most recently amended and effective as of July 1, 2020. On March 21, 2023, Michael Schley, Richard Farmer, Ryan Spidel, and John Thao with Charlotte- Mecklenburg Storm Water Services (“CMSWS”) conducted an inspection at the Charlotte Bioenergy Facility located at 600 Johnson Road (“site”) in Charlotte, NC. The inspection was conducted under authority granted by the Ordinance pursuant to Section 18-82, Powers and Authority for Inspection. As a result of the inspection, the following findings were determined at the inspection site: 1. Storage totes containing chemical cleaning agents, polymers and other liquid materials were observed to be kept without cover caps outdoors and without adequate product labels; and 2. Open grease containers, contaminated used pallets, and decomposing food waste that leaked and spilled from open totes in outdoor areas were observed on the ground in areas where the waste could become intermixed with stormwater runoff and discharge to the stormwater system and surface waters; and 3. Drains in the facility’s tank farm areas, which get pumped back into the facility’s wastewater reclamation system, were observed to be clogged due to inoperable pumps. Wastewater was observed to be accumulating in several secondary containment areas. In addition, dark staining from prior wastewater discharges was observed on the ground adjacent to several above-ground 1 storage tanks (ASTs) and outside of berms surrounding the ASTs. These conditions allow for the potential of wastewater to become intermixed with stormwater runoff and discharge to the stormwater system and surface waters; and 4. Eight open top waste dumpsters were observed to be uncovered outdoors. Anaergia staff stated that the dumpsters included food waste among other waste materials. Liquids were observed leaking from the waste dumpsters and on the ground surrounding the open top waste dumpsters; and 5. Excessive sediment and debris were observed on the interior roads throughout the facility. The sediment and debris included leaked and spilled waste picked up and tracked by vehicles and equipment driving around the facility. 6. These conditions constitute a violation of the Ordinance, Section 18-80(d), Improper Storage, Handling, or Processing of Materials. The inspection further determined that Charlotte Bioenergy Facility, LLC (hereafter “Charlotte Bioenergy Facility”) is the “Person” ultimately responsible for the violation, as defined by the Ordinance. As such, Thomas Lewis and Miguel Lugo with Anaergia Services LLC were verbally notified of the violation on March 21, 2023 and directed by CMSWS to address the issues causing the violation. To achieve compliance with the legal requirements of the Ordinance, Charlotte Bioenergy Facility must implement the following corrective actions:  Label all chemical totes and storage containers with their contents; and  Ensure all totes, storage containers, contaminated/used pallets, and waste containers are kept sealed and/or under cover as to prevent stormwater runoff pollution; and  Remove and/or properly store food stock material in a manner as to prevent stormwater runoff pollution; and  Collect, remove, and properly dispose of all discharged material and any affected soils in accordance with state and federal rules. Manifests for contaminated wastes transported and disposed of offsite must be kept and provided upon request; and  Restore areas affected by the discharge to their pre-violation condition; and  Repair the wastewater reclamation system and secondary containment areas to ensure wastewater pollutants cannot become intermixed with stormwater runoff and discharge to the stormwater system; and  Remove sediment and debris from the interior roads and implement good housekeeping procedures in a manner as to minimize stormwater runoff pollution; and  Take appropriate corrective and/or preventive actions to prevent further improper storage, handling, or processing of materials. Among other potential actions, this should include reviewing and updating the SCADA system, written policies and procedures, equipment and process improvements, and employee training programs. Charlotte Bioenergy Facility is required to submit a written response to CMSWS within ten (10) calendar days following receipt of this notice. The response must specify: 1.) why the violation occurred; 2.) the actions taken to correct the violations; 3.) the actions taken to restore the affected areas; 4.) the actions taken to prevent the occurrence of violations in the future; 5.) copy of invoice(s) for costs incurred to remediate any discharges and restore affected areas; and 6.) any other information or explanation Charlotte Bioenergy Facility wishes to present regarding the violation. 2 The written response will be taken into consideration in determining if additional enforcement remedies are warranted regarding the violation, which could include potential civil penalty assessment proceedings against Charlotte Bioenergy Facility. The written response may be submitted via U.S. Mail or other delivery service, or by e-mail. Please send the response to: Charlotte-Mecklenburg Storm Water Services Attention: Richard Farmer 2145 Suttle Ave. Charlotte, NC 28208-5237 E-mail: Richard.Farmer@Mecknc.gov Pursuant to the Ordinance, Section 18-83(c), Civil Penalties, Charlotte Bioenergy Facility is subject to civil penalties of up to Ten Thousand Dollars ($10,000.00) per day beginning with the first day of violation and every day thereafter up until the violation ceases. It is the responsibility of Charlotte Bioenergy Facility to contact the CMSWS Investigator, Michael Schley at (910) 523-8072, immediately upon correcting the violations and restoring the areas affected by the violations in order to document compliance with the Ordinance and to minimize any potential civil penalty. Unless scheduled earlier by Charlotte Bioenergy Facility, a follow-up inspection by CMSWS will occur no later than April 18, 2023 to determine compliance with the Ordinance. Please note that until CMSWS determines compliance with the Ordinance regarding the violation, Charlotte Bioenergy Facility will be considered in “continuing violation” of the Ordinance. Pursuant to the Ordinance, Section 18-83(j), Abatement by the City, any and all measures necessary may be taken by the City to abate the violation and/or restore impacted areas to their pre-violation condition should Charlotte Bioenergy Facility fail to do so in a timely manner, especially in situations where the violation may cause an imminent threat to human health or the environment. Any expense incurred by the City for such violation abatement and/or restoration work will be charged to Charlotte Bioenergy Facility, in addition to any potential civil penalty. If you have any questions or would like to request a meeting with CMSWS to discuss the violations and/or provide additional information, please contact me at (704) 400-3932 within ten (10) calendar days following receipt of this notice. Please be aware that a meeting request or an actual meeting with CMSWS does not relieve Charlotte Bioenergy Facility from the requirement to complete the corrective actions specified in this notice and does not negate a potential civil penalty. In addition, achieving and maintaining compliance with Section 18-80(d) of the Ordinance does not relieve Charlotte Bioenergy Facility from complying with other sections of the Ordinance and/or other local, state, or federal rules, laws and regulations. For your information, the Ordinance is available for review at: https://charlottenc.gov/StormWater/SurfaceWaterQuality/Pages/PollutionControlOrdinances.aspx. Copies of the Ordinance are also available in print or digital format from CMSWS upon request. The enclosed inspection report provides specific details about the inspection. If you have any questions or need additional information concerning this report, please contact Michael Schley at (910) 523-8072. Please note, because your facility has been issued an NPDES stormwater permit, the inspection was also conducted as part of a cooperative working agreement between CMSWS and the North Carolina Department of Environmental Quality (NCDEQ) – Division of Energy, Mineral and Land Resources 3 (DEMLR). NCDEQ-DEMLR has been given a copy of this report and made aware of the observations regarding the permit. For questions specifically regarding your NPDES stormwater permit, please contact Jerry Eplin with NCDEQ-DEMLR at (704) 663-1699. Your prompt cooperation and attention to this matter is requested. Thank you, Michael Schley Environmental Specialist II Charlotte-Mecklenburg Storm Water Services (910) 523-8072 | Michael.Schley@MeckNC.gov | StormWater.CharMeck.org We are passionate about making our environment safe and healthy by reducing flood losses and improving water quality for all 4 Charlofte•Mecklenburg /j STORM WATER Services March 28, 2023 CERTIFIED MAIL RETURN RECEIPT REQUESTED Charlotte Bioenergy Facility, LLC c/o Anaergia Services LLC Attention: Dr. Andrew Benedek, CEO 5780 Fleet Street, Suite 310 Carlsbad, CA 92008 Subject: NOTICE OF VIOLATION Industrial Facility Inspection Charlotte Bioenergy Facility CITY OF CHARLOTTE StormWater.CharMeck.org 2145 Suttle Ave. Charlotte, NC 28208 CODE OF ORDINANCES Chapter 18, Article III Stormwater Pollution Section 18-80(d), Improper Storage, Handling, or Processing of Materials Dear Dr. Andrew Benedek: North Carolina General Statute § 160A-459 authorizes cities to adopt and enforce a stormwater control ordinance to protect water quality and control water quantity. The City of Charlotte (the "City") adopted a Stormwater Pollution Control Ordinance (the "Ordinance") during 1995 which was most recently amended and effective as of July 1, 2020. On March 21, 2023, Michael Schley, Richard Farmer, Ryan Spidel, and John Thao with Charlotte - Mecklenburg Storm Water Services ("CMSWS") conducted an inspection at the Charlotte Bioenergy Facility located at 600 Johnson Road ("site") in Charlotte, NC. The inspection was conducted under authority granted by the Ordinance pursuant to Section 18-82, Powers and Authority for Inspection. As a result of the inspection, the following findings were determined at the inspection site: 1. Storage totes containing chemical cleaning agents, polymers and other liquid materials were observed to be kept without cover caps outdoors and without adequate product labels; and 2. Open grease containers, contaminated used pallets, and decomposing food waste that leaked and spilled from open totes in outdoor areas were observed on the ground in areas where the waste could become intermixed with stormwater runoff and discharge to the stormwater system and surface waters; and 3. Drains in the facility's tank farm areas, which get pumped back into the facility's wastewater reclamation system, were observed to be clogged due to inoperable CCM.CITYof CHARLOTTE Charlotte Bioenergy Facility, LLC c/o Anaergia Services LLC Attention: Dr. Andrew Benedek March 28, 2022 pumps. Wastewater was observed to be accumulating in several secondary containment areas. In addition, dark staining from prior wastewater discharges was observed on the ground adjacent to several above -ground storage tanks (ASTs) and outside of berms surrounding the ASTs. These conditions allow for the potential of wastewater to become intermixed with stormwater runoff and discharge to the stormwater system and surface waters; and 4. Eight open top waste dumpsters were observed to be uncovered outdoors. Anaergia staff stated that the dumpsters included food waste among other waste materials. Liquids were observed leaking from the waste dumpsters and on the ground surrounding the open top waste dumpsters; and 5. Excessive sediment and debris were observed on the interior roads throughout the facility. The sediment and debris included leaked and spilled waste picked up and tracked by vehicles and equipment driving around the facility. 6. These conditions constitute a violation of the Ordinance, Section 18-80(d), Improper Storage, Handling, or Processing of Materials. The inspection further determined that Charlotte Bioenergy Facility, LLC (hereafter "Charlotte Bioenergy Facility") is the "Person" ultimately responsible for the violation, as defined by the Ordinance. As such, Thomas Lewis and Miguel Lugo with Anaergia Services LLC were verbally notified of the violation on March 21, 2023 and directed by CMSWS to address the issues causing the violation. To achieve compliance with the legal requirements of the Ordinance, Charlotte Bioenergy Facility must implement the following corrective actions: • Label all chemical totes and storage containers with their contents; and • Ensure all totes, storage containers, contaminated/used pallets, and waste containers are kept sealed and/or under cover as to prevent stormwater runoff pollution; and • Remove and/or properly store food stock material in a manner as to prevent stormwater runoff pollution; and • Collect, remove, and properly dispose of all discharged material and any affected soils in accordance with state and federal rules. Manifests for contaminated wastes transported and disposed of offsite must be kept and provided upon request; and • Restore areas affected by the discharge to their pre -violation condition; and • Repair the wastewater reclamation system and secondary containment areas to ensure wastewater pollutants cannot become intermixed with stormwater runoff and discharge to the stormwater system; and • Remove sediment and debris from the interior roads and implement good housekeeping procedures in a manner as to minimize stormwater runoff pollution; and • Take appropriate corrective and/or preventive actions to prevent further improper storage, handling, or processing of materials. Among other potential actions, this should include reviewing and updating the SCADA system, written Kph CITY of CHARLOTTE Charlotte Bioenergy Facility, LLC c/o Anaergia Services LLC Attention: Dr. Andrew Benedek March 28, 2022 policies and procedures, equipment and process improvements, and employee training programs. Charlotte Bioenergy Facility is required to submit a written response to CMSWS within ten (10) calendar days following receipt of this notice. The response must specify: 1.) why the violation occurred; 2.) the actions taken to correct the violations; 3.) the actions taken to restore the affected areas; 4.) the actions taken to prevent the occurrence of violations in the future; 5.) copy of invoice(s) for costs incurred to remediate any discharges and restore affected areas; and 6.) any other information or explanation Charlotte Bioenergy Facility wishes to present regarding the violation. The written response will be taken into consideration in determining if additional enforcement remedies are warranted regarding the violation, which could include potential civil penalty assessment proceedings against Charlotte Bioenergy Facility. The written response may be submitted via U.S. Mail or other delivery service, or by e-mail. Please send the response to: Charlotte -Mecklenburg Storm Water Services Attention: Richard Farmer 2145 Suttle Ave. Charlotte, NC 28208-5237 E-mail: Richard.Farmer@Mecknc.gov Pursuant to the Ordinance, Section 18-83 (c), Civil Penalties, Charlotte Bioenergy Facility is subject to civil penalties of up to Ten Thousand Dollars ($10,000.00) per day beginning with the first day of violation and every day thereafter up until the violation ceases. It is the responsibility of Charlotte Bioenergy Facility to contact the CMSWS Investigator, Michael Schley at (910) 523-8072, immediately upon correcting the violations and restoring the areas affected by the violations in order to document compliance with the Ordinance and to minimize any potential civil penalty. Unless scheduled earlier by Charlotte Bioenergy Facility, a follow-up inspection by CMSWS will occur no later than April 18, 2023 to determine compliance with the Ordinance. Please note that until CMSWS determines compliance with the Ordinance regarding the violation, Charlotte Bioenergy Facility will be considered in "continuing violation" of the Ordinance. Pursuant to the Ordinance, Section 18-83 (j), Abatement by the City, any and all measures necessary may be taken by the City to abate the violation and/or restore impacted areas to their pre -violation condition should Charlotte Bioenergy Facility fail to do so in a timely manner, especially in situations where the violation may cause an imminent threat to human health or the environment. Any expense incurred by the City for such violation abatement and/or restoration work will be charged to Charlotte Bioenergy Facility, in addition to any potential civil penalty. Kph CITY of CHARLOTTE Charlotte Bioenergy Facility, LLC c/o Anaergia Services LLC Attention: Dr. Andrew Benedek March 28, 2022 If you have any questions or would like to request a meeting with CMSWS to discuss the violations and/or provide additional information, please contact me at (704) 400-3932 within ten (10) calendar days following receipt of this notice. Please be aware that a meeting request or an actual meeting with CMSWS does not relieve Charlotte Bioenergy Facility from the requirement to complete the corrective actions specified in this notice and does not negate a potential civil penalty. In addition, achieving and maintaining compliance with Section 18-80(d) of the Ordinance does not relieve Charlotte Bioenergy Facility from complying with other sections of the Ordinance and/or other local, state, or federal rules, laws and regulations. For your information, the Ordinance is available for review at: https://charlottenc.gov/StormWater/SurfaceWaterQuality_/Pages/PollutionControlOrdinances.a Vx. Copies of the Ordinance are also available in print or digital format from CMSWS upon request. The enclosed inspection report provides specific details about the inspection. If you have any questions or need additional information concerning this report, please contact Michael Schley at (910) 523-8072. Please note, because your facility has been issued an NPDES stormwater permit, the inspection was also conducted as part of a cooperative working agreement between CMSWS and the North Carolina Department of Environmental Quality (NCDEQ) - Division of Energy, Mineral and Land Resources (DEMLR). NCDEQ-DEMLR has been given a copy of this report and made aware of the observations regarding the permit. For questions specifically regarding your NPDES stormwater permit, please contact Jerry Eplin with NCDEQ-DEMLR at (704) 663-1699. Your prompt cooperation and attention to this matter is requested. Sincerely, Uj c., Richard Farmer Water Quality Supervisor Charlotte -Mecklenburg Storm Water Services Enclosure FILE: Cityworks NOV Activity Report # 74752 4 Kph CITY of CHARLOTTE C��rf�lrie-J4fetkJanburg STORM CATER SuviceS Facility Inspection sfo rmW a fe r. C<ha rMe c k. arg Facility Name: Orbit Energy Charlotte LLC Inspection # : 74751 Contact: Miguel Lugo, Facility Manager Permit #: NCG060387 Inspector: Michael Schley Receiving Stream: Derita Branch Inspection Date: 03/21/2023 Entry Time: 10:00 am Exit Time: 12:00 pm SIC #: Facility Description: The Orbit Energy Anaerobic Digestion facility is located at 600 Johnson Road on approximately 13 acres in Charlotte. The facility receives off -spec food products and other similar materials for use in an anaerobic digestion process that produces methane, which is subsequently captured and used for energy production. File Review/History: Charlotte -Mecklenburg Storm Water Services (CMSWS) has previously conducted Industrial Inspections at The Orbit Energy Anaerobic Digestion facility on September 3, 2020 and May 22, 2018. CMSWS issued Notices of Violations (NOVs) to the facility from service request inspections on August 31, 2021, May 2, 2018, January 30 , 2018, and November 1, 2017, with each of the NOVs issued due to discharges of wastewater. Additional follow-up inspections were conducted on various other dates for the issued NOVs. In addition, civil penalties were assessed on June 21, 2018 and October 14, 2021. Inspection Summary: A follow-up inspection was also conducted on March 23,2023 as a part of this report. At the time of the inspections, the facility was found to not be in compliance with the City of Charlotte Storm Water Pollution Control Ordinance. NOVs are being issued for an Illicit Discharge as a result of the spill which occurred on 3/17/2023 and for the Improper Storage and Handling of Materials during this inspection. Please refer to the inspection report for comments, deficiencies, and recommendations. f Site Inspection Deficiency Comments Stormwater system (catch basins, Yes Stormwater flows through the site via sheet flow to a series of inlets, outfalls, etc.) catch basins, drainage channels and an SCM pond which discharge through three outfalls. Discharges of sediment, debris and waste materials were observed within the stormwater system. CMSWS is issuing an NOV for an Illicit Discharge which occurred on 3/17/2023. The facility should remove sediment, debris and waste from the stormwater system and remediate all affected areas as a part of the clean up and corrective action response. Erosion issues Yes Sediment and debris were observed on the interior roads throughout the facility. The facility should clean and remove sediment from interior roadways. The facility should implement erosion control methods and good housekeeping procedures to help protect water quality. Structural stormwater control Yes The SCM pond was observed to be filled with waste material measures (SCMs) which accumulated from a spill that occurred on 3/17/2023. The SCM pond functioned as the secondary containment for the ASTs but was unable to contain all of the material. CMSWS issued a Notice of Violation (NOV) for an Illicit Discharge as part of the spill. The facility should conduct an evaluation to determine if the SCM and current secondary containment measures meet the post -construction guidelines for the site. • ((� To report pollution or drainage problems call: 311 CHARLOTTE_ http://stormwater.charmeck.org 3/28/2023 2:13:51 PM 0 Page 1 of 4 Site Inspection Deficiency Comments Illicit discharges/connections Yes Waste material was observed on the ground and in the SCM pond and associated outfall from a spill that occurred on 3/17 /2023. CMSWS issued an NOV for an Illicit Discharge as part of the spill. The facility should clean and remediate all areas affected by the spill and follow the corrective action and response requirements of the issued NOV. Aboveground storage tank(s) (ASTs) Yes The facility has several ASTs outdoors in the tank farm area. and any associated venting and/or A complete list of AST locations, sizes, contents, and dispenser(s) — list tank size(s) and processes can be found in the SWPPP. Approximately thirty contents 275-gallon totes were observed outdoors. Several totes were observed to be unsealed and/or missing labels. CMSWS is issuing an NOV for Improper Storage and Handling of Materials. The facility should adequately label all ASTs. The facility should keep all outdoor storage containers sealed to prevent stormwater exposure. Underground storage tank(s) (USTs) N/A and any associated fill port area(s) and dispenser(s) — list tank size(s) and contents Outdoor material storage area(s) Yes Food waste awaiting production was observed to be kept outdoors in covered and uncovered areas. Open grease containers, contaminated pallets, and decomposing food waste were observed in areas which the waste could become intermixed with stormwater runoff. CMSWS is issuing an NOV for Improper Storage and Handling of Materials. The facility should remove and properly store all food waste, containers and pallets in a manner as to prevent stormwater runoff pollution. Outdoor processing area(s) Yes Some drains in the tank farm areas, which get pumped back into the facility's wastewater reclamation system, were observed to be clogged with inoperable pumps. Wastewater was observed to be accumulating in several secondary containment areas onsite. Wastewater discharges resulting in staining on the sides of ASTs and outside bermed areas was observed. The facility should maintain the processing areas to ensure wastewater pollutants cannot become intermixed with stormwater and discharge offsite. Loading/unloading area(s) Recommendation Food waste was observed to be stored outdoors at the process loading area. A solid waste compost by-product process is completed in a covered area. Compost by-product material was observed outside the containment area. The facility should follow good housekeeping procedures to ensure the solid waste compost by-product cannot become intermixed with stormwater runoff and discharge to the stormwater system. Vehicle/equipment area(s) - fueling, No Per facility staff, equipment washing occurs in an area which maintenance, washing, storage, etc. drains to the facility's wastewater reclamation system. Equipment is fueled at the diesel fuel ASTs. Oil changes and light equipment maintenance is completed indoors. Other maintenance is performed by an outside vendor. Vehicles and equipment were observed to be stored indoors and outdoors. Reference the "Outdoor Processing' section of the report for deficiency recommendations. • ((� To report pollution or drainage problems call: 311 CttARIAI'TE_ http://stormwater.charmeck.org 3/28/2023 2:13:51 PM Page 2 of 4 Site Inspection Deficiency Comments Oil/water separator and/or No The facility has a wastewater reclamation system which was pretreatment observed to be clogged with inoperable pumps during the inspection. Please reference the "Outdoor Processing' section of this report for deficiency recommendations. Waste storage/disposal area(s) - Yes Eight open top waste dumpsters were observed to be open tops, waste containers, scrap uncovered outdoors. Anaergia staff stated that the dumpsters metal bins, etc. included food waste among other waste materials. Liquids were observed leaking from the waste dumpsters and on the ground surrounding the open top waste dumpsters. The facility should clean and remediate all affected areas and keep all outdoor waste containers covered to prevent stormwater exposure. Food service area(s) N/A Indoor material storage area(s) Recommendation Food waste was observed to be stored indoors before being added to the facility's anaerobic digestion process. Liquid and food waste products were observed being tracked by equipment to the outside. The facility should implement good housekeeping procedures to help protect water quality. Indoor processing area(s) No Food waste is sorted and grinded indoors. The processed material is then pumped to the outdoor ASTs to begin the anaerobic digestion process. Reference the 'Indoor Material Storage' section of the report for recommendations. Floor drains No Several drains in the facility's tank farm areas, which get pumped back into the facility's wastewater reclamation system, were observed to be clogged with inoperable pumps. Reference the 'Outdoor Processing' section of this report for deficiency recommendations. Spill response equipment Recommendation Spill response equipment was observed at the facility; however, spill response equipment was not observed at the signed designated areas onsite. CMSWS recommends keeping spill response equipment in the designated areas throughout the facility. SWPPP Section Observed Comments Does the facility have a Stormwater Yes Pollution Prevention Plan (SWPPP)? Reviewed and updated annually No The SWPPP was last updated in December of 2021. The facility should review and update the SWPPP annually. Responsible party Yes General location (USGS) map Yes Detailed site map Recommendation A detailed site map was observed in the SWPPP. The map did not include a diagram for the wastewater reclamation system for the facility. The facility should create a drainage map for the facility's wastewater reclamation system. Narrative description of industrial Yes processes Feasibility study Yes Evaluation of stormwater outfalls (non No A non-stormwater discharge evaluation was not observed in -stormwater discharge evaluation) the SWPPP. The facility should conduct annual non-stormwa ter discharge evaluations per the NCG060000 permit, Part B- 6. Stormwater best management Yes practice (BMP) summary • (& To report pollution or drainage problems call: 311 CttARIAI'TE_ http://stormwater.charmeck.org 3/28/2023 2:13:51 PM 0 Page 3 of 4 SWPPP Section Observed Comments Secondary containment plan (all Recommendation A secondary containment plan is listed in the SWPPP. necessary secondary containment NOVs have been issued to the facility for an Illicit Discharge provided and documented) and Improper Storage and Handling of Materials. The facility should re-evaluate secondary containment measures onsite. Records on every release from a No Records of secondary containment inspections were secondary containment system (for observed; however, no records for the release of material from the last 5 years) secondary containment were observed. The facility should record all releases from secondary containment in the SWPPP per the NCG060000 permit, Part B-8.(e). Spill prevention and response Yes procedures (SPRP) List of significant spills or leaks (for No No spill log was observed. The facility should document all the last 3 years) spills in a spill log per the NCG060000 permit, Part B-9(f). Solvent management plan (SMP) No No SMP was observed in the SWPPP. The facility should update the SWPPP to include a SMP per the NCG060000 permit, Part B-10. Preventative maintenance and good Yes housekeeping program (PMGHP) Facility inspections conducted as Recommendation Facility inspection were conducted and recorded on 7/11/202 required 2, 9/21/2022, and 2/10/2023. Inspections were not observed for quarters 2 and 4 in 2022. The facility should conduct inspections per the NCG060000 permit, Part B-11. Employee training (provided and Yes Employee training was provided and documented on 2/15/202 documented) 3. Qualitative/Analytical Monitoring Observed Comments Qualitative monitoring conducted as No No qualitative moniitoring results were observed. The facility required should conduct qualitative monitoring quarterly per the NCG060000 permit, Part D. Analytical monitoring conducted as Recommendation Analytical Monitoring was conducted on 1/19/2022, 3/22/202 required 2, 6/23/2022, and 1/16/2023. Monitoring results were only observed for one outfall during each monitoring event. Monitoring at all outfalls was not observed to be completed quarterly as required. The facility should conduct analytical monitoring per the NCG060000 permit, Part E. Analytical monitoring for onsite N/A vehicle and equipment maintenance as required Permit and Outfalls Observed Comments Copy of permit and certificate of Yes Certificate of coverage # NCG060387. coverage onsite All outfalls observed Yes Waste material from the spill which happened on 3/17/2023 was observed in the onsite SCM pond and at the associated outfall. CMSWS issued an NOV for an Illicit Discharge as part of the spill. All waste material should be removed from the outfall area. Reference the'SCM' and 'Illicit Discharge' sections of this report for deficiency recommendations. Number of Outfalls Observed 3 Representative outfall status N/A documented by DEMLR Annual no -exposure self re-certificatio N/A n documented • ((� To report pollution or drainage problems call: 311 CttARIAI'TE_ http://stormwater.charmeck.org 3/28/2023 2:13:51 PM Page 4 of 4