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HomeMy WebLinkAboutShurtape Comments on Proposed NCG050000 Shurtape TECHNOLOGIE 16 May 2023 Via Email [brittany.cookgnncdenr.gov] Brittany Cook Stormwater Program NCDEQ — DEMLR 1612 Mail Service Center Raleigh, NC 27699-1612 RE: Comments on Draft NC DEQ General Storm Water Permit No. NCG050000 Dear Ms. Cook: Shurtape Technologies ("SHURTAPE") appreciates this opportunity to provide comment on the draft General Storm Water Permit No. NCG050000 (the "Draft Permit"), which covers establishments primarily engaged in activities classified as Converted Paper and Paperboard products (SIC 267 & NAISC 322220). Shurtape operates facilities under this SIC code potentially covered by the proposed Draft Permit located in Alexander, Caldwell, and Catawba Counties. Shurtape directly employs approximately 900 workers at these locations. 1. Comments on Draft Part EA — Required Baseline Monitoring SHURTAPE requests the following revisions to Part E.1 of the Draft Permit: • Remove quarterly baseline parameter monitoring of Non-Polar Oil & Grease & reduce frequency of Non-Polar Oil & Grease sampling from quarterly to annual. The required baseline parameter monitoring requirements proposed in the Draft Permit appear to largely rely upon and reflect USEPA's 2021 Multi-Sector General Permit ("MSGP"), which incorporated recommendations from a study by the National Research Council of the National Academies of Sciences, Engineering, and Medicine. However, USEPA's 2021 MSPG does not include a baseline parameter monitoring requirement for oil and grease. NCDEQ has proposed more stringent requirements in the Draft Permit than what is in USEPA's 2021 MSGP, or in recent permit renewals issued by other states in USEPA Region IV. Georgia,for example, issued a MSGP permit impacting these industrial sectors in 2022 which only requires annual sampling without benchmark monitoring. We do not believe that baseline monitoring for oil and grease is appropriate for these industrial sectors. To bring the Draft Permit in line with the USEPA and Georgia MSGPs, SHURTAPE requests that NCDEQ replace the proposed quarterly sampling and parameter monitoring requirement in Part EA with an annual "report only' monitoring requirement. SHURTAPE Comments on Draft Permit No. NCG050000 Ms. Brittany Cook Page 2 • Limit the requirements to track new motor oil and hydraulic oil usage and conduct sampling of non-polar oil and grease to vehicle maintenance areas with potential exposures to stormwater (e.q., outdoor and uncovered activities)and include a definition of"vehicle maintenance areas" in the Draft Permit. As proposed, the Draft Permit would require that facilities; (1) track average monthly usage of new motor and hydraulic oil use for vehicle maintenance; and (2)for that facilities with vehicle or equipment maintenance areas in which more than 55 gallons of new motor oil and hydraulic fluid is used per month when averaged over the calendar year, conduct quarterly non-polar oil and grease sampling and benchmark parameter monitoring. As drafted, it appears that these proposed requirements would apply regardless of whether a facility's vehicle maintenance areas are located entirely covered or indoors or otherwise lack potential exposure to stormwater. Applying these requirements to vehicle maintenance areas without potential exposure to stormwater goes beyond the scope of the permitting stormwater discharges associated with industrial activity. SHURTAPE therefore requests that these requirements be limited to vehicle maintenance areas with potential exposure to industrial stormwater. SHURTAPE also requests that a definition of vehicle maintenance areas be added to the Draft Permit that clarifies that the affected areas are limited to outdoor/exposed areas, similar to the definition of vehicle maintenance activities in NCDEQ's 2018 General Permit, as shown below: Vehicle Maintenance Activity. Vehicle rehabilitation, mechanical repairs, painting, fueling, lubrication, vehicle cleaning operations, or airport deicing operations. For the purposes of this permit, vehicle maintenance activity includes equipment maintenance that uses hydraulic oil and that is stored or used outside, or otherwise exposed to stormwater. [Emphasis added] A proposed definition of Vehicle Maintenance Area follows: Vehicle Maintenance Area. For the purposes of this permit a Vehicle Maintenance Area is an area dedicated to vehicle rehabilitation, mechanical repairs, painting, fueling, lubrication, vehicle cleaning operations, or airport deicing operations that is located outside, or otherwise exposed to stormwater. 2. Comments on Draft Part E.2— Baseline Sampling Benchmarks SHURTAPE requests the following revisions to Part E.2 of the Draft Permit: • Remove benchmark values for Total Suspended Solids ("TSS"), pH, and Chemical Oxygen Demand ("COD"). SHURTAPE Comments on Draft Permit No. NCG050000 Ms. Brittany Cook Page 3 USEPA's 2021 MSGP does not set benchmark values for TSS, pH, and COD, but rather establishes "report only" requirements for these parameters. Nor have other states (such as Georgia in its 2022 MSPG) established benchmark values for these parameters. SHURTAPE requests that the proposed benchmark values for these parameters be removed from the Draft Permit. SHURTAPE also offers the comment that NCDEQ does not provide sufficient rationale to support the proposed levels of the benchmark values in the Draft Permit. The values for TSS, COD and Oil and Grease are unreasonably low and inconsistent with benchmarks established in other states beyond Region IV. For example, in California (which, unlike USEPA's 2021 MSPG, establishes benchmark values for TSS), the benchmark value for TSS is 400 mg/L. Therefore, California's established benchmark value for TSS is 4 times greater than the proposed benchmark value of 100 mg/L in NCDEQ's Draft Permit. According the Fact Sheet that NCDEQ provided in support of the Draft Permit, the proposed TSS benchmark of 100 mg/L is based on a study from the National Urban Runoff Program ("NURP") in 1983, and NCDEQ takes the position that this study serves as a basis for benchmarks in other industrial stormwater permits that include TSS monitoring. SHURTAPE does not believe that applying this 40-year-old study is appropriate for setting the proposed TSS limits. To date, SHURTAPE has not identified a benchmark value as low as 100 mg/L in any other state's stormwater permits for paperboard containers and boxes (SIC 265). Further, most state MSGPs covering these industry sectors (including the 2022 MSGP issued by Georgia) do not include TSS monitoring limits at all. NCDEQ's Fact Sheet also indicates that the proposed benchmark value for COD of 120 mg/L in the Draft Permit is based on wastewater limits. The Fact Sheet does not provide further clarification of what type of wastewater limits were used as the basis for the proposal. SHURTAPE offers this comment on the basis that applying industrial wastewater limits to stormwater discharges is not an appropriate way to establish baseline values, as these are distinct media with different characteristics and treatment options. Further, in our experience, industrial wastewater limits for industry sectors covered by SIC 265 are far higher than 120 mg/L. Lastly, consistent with Georgia, Facilities identifying under SIC codes 2611, 2621, 2652-2657, and 2671-2679, have no Indicator Thresholds or Benchmark values established. They are subjected to monitoring only, unless there are material storage piles present. For the reasons stated herein, SHURTAPE requests that the proposed baseline values be removed from the Draft Permit until more representative data is obtained from these industry sectors to establish proper baseline limits. Importantly, we believe this proposed rationale is consistent with the intent of USEPA's 2021 MSGP and also consistent with MSGPs in other states that are using this permit cycle to gather data on pH, TSS, and COD values in the stormwater discharge for these industrial sectors. 3. Comments on Draft Parts E-6 through E-8 —Tiered Responses: SHURTAPE requests the following revisions to the Parts E-6 through E-8 of the Draft Permit: • Remove Tiered Responses for Monitored Benchmark Values Until Appropriate Benchmark Values Are Established. SHURTAPE Comments on Draft Permit No. NCG050000 Ms. Brittany Cook Page 4 The Draft Permit appears to base the proposed tiered responses on USEPA's additional implementation measures ("AIM") for benchmark exceedances. However, the 2018 General Permit does not establish benchmark values TSS, pH, or COD for operations in these industrial sectors (other than for vehicle maintenance areas with potential exposure to stormwater), and it is SHURTAPE's position that the Draft Permit should establish report- only indicator monitoring without tiered responses and benchmark values, consistent with USEPA's 2021 MSGP. Consistent with the request that benchmark values be removed from the DRAFT Permit, the tiered responses for monitored benchmark values proposed in Parts E-6 through E-8 of the Draft Permit also should be removed.As further described above, establishing tiered responses for monitored parameter values is not consistent with USEPA's 2021 MSGP or other states (e.g., Georgia), which establish indicator monitoring (as opposed to benchmark monitoring)for TSS, pH, and COD for these industry sectors. SHURTAPE also notes that, where other states have established benchmark values and associated tiered responses for these industry sectors (such as in California), the tiered responses are far less burdensome than what is proposed in this Draft Permit. In California, for example, before a permitted facility triggers the tiered response requirements, it must have two exceedances of the benchmark at a single outfall or an exceedance of an annual average benchmark for the entire facility (all outfalls included), and the tiered response does not require agency notification or an increased frequency of sampling. In comparison, the proposed Tier One Response in North Carolina's Draft Permit would be triggered by a single benchmark value exceedance at any single outfall and would require notification to NCDEQ. Further, the proposed Tier Two Response would require increasing the monitored frequency from quarterly to monthly. SHURTAPE requests that the proposed tiered responses be removed from the Draft Permit along with the proposed benchmark values or, in the alternative,that the Tiered Responses be revised to be less burdensome on the regulated community (e.g., remove notification requirements, modify triggers for tiered response, and reduce the increased frequency requirements). 4. Comments on Draft Part E—ANALYTICAL MONITORING OF STORMWATER DISCHARGES The Draft Permit's Analytical Monitoring requirements represent a significant change to facilities previously covered by this General Permit. As such, many of these facilities do not have the resources or the processes in place to implement these requirements upon issuance of the permit. The significant change to Analytical Monitoring Requirements will result in a significant number of new eDMR registrants. SHURTAPE requests NCDEQ amend applicability of Analytical Monitoring requirements to no earlier than the end of the first FULL quarter occurring 12 months after the issuance of the permit or initiate analytical monitoring no later than 15 months after issuance of the permit. This period provides time to develop a sampling plan, obtain the necessary resources to support this requirement, and provides NCDEQ sufficient time to process and issue eDMR accounts. SHURTAPE Comments on Draft Permit No. NCG050000 Ms. Brittany Cook Page 5 5. Comments on Draft Part B-10 —Solvent Management Plan. SHURTAPE requests the following revisions to Part B-10 of the Draft Permit: • Remove the Requirement for a Solvent Management Plan. NCDEQ's Fact Sheet does not include a rationale for the proposed addition of a requirement to prepare and implement a solvent management plan in the Draft Permit. SHURTAPE requests that this proposed requirement be removed because,where solvents are stored and used exclusively indoors, such use poses an insignificant risk of exposure or impact to stormwater. SHURTAPE believes the proposed requirement is beyond the scope of the stormwater permitting program and is duplicative in this information is contained in SPCC and NC Oil Terminal Registrations. This represents an unduly burdensome duplication of efforts on the regulated community. SHURTAPE respectfully requests NCDEQ's kind consideration of the comments provided herein. IF you have any questions concerning Shurtape's comments, please contact me at 828.267.8428 or via email at mhawes@shurtape.com. Respectfully, Mark E. Hawes, P.E.� Director of Environment, Safety, & Product Compliance cc: Kathleen Fortney