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HomeMy WebLinkAboutNCS000606_Fact sheet binder_20230927 DEQ / DEMLR FACT SHEET FOR NPDES INDUSTRIAL INDIVIDUAL STORMWATER PERMIT DEVELOPMENT Basic Information for Permit Issuance and Renewals: Permit Writer/Date Brianna Young 9/14/2023 Permit Number NCS000606 Owner/Facility Name Duke Energy Progress, LLC /Harris Nuclear Plant SIC Code/Category 4911 /Electric Power Service Basin Name/ Sub-basin number Cape Fear/03-06-07 Receiving Stream/HUC Buckhorn Creek Harris Lake /030300040102 Stream Classification/ Stream Segment WS-V/ 18-7- 3 Is the stream impaired on 303 d list]? No Any TMDLs? No Any threatened and/or endangered species? See Section 2 below Any compliance concerns? See Section 2 below Any permit mods since lastpermit? N/A—New permit New expiration date 10/31/2028 Comments on Draft Permit? See Section 6 below Section 1. Facility Activities and Process: The Harris Nuclear Plant (HNP) is a nuclear electricity generating facility consisting of a 964 megawatt generating unit and associated facilities. The Harris Energy and Environmental Center(HEEC) includes facilities that provide support services (laboratories and training) for the HNP and other Duke Energy Progress, LLC facilities. The outfalls in this permit were previously permitted under NPDES wastewater permit NC0039586. Per the NCO039586 permit renewal application submitted to the Division of Water Resources (DWR) in 2021, stormwater runoff is composed of laydown yards, training areas, parking lots, roofs, and lawn drainage. Outside storage areas. Flow from these areas is estimated at 8.8 million gallons per month, based on average rainfall of 43 inches per year and a runoff assumption factor of 0.7. Per the NCO039586 permit renewal application, miscellaneous sources of water intermittently discharged to storm drains are: • Heat exchanger on the demineralizer feedwater: It is necessary to heat the source water to the demineralized water treatment system to achieve optimum degassification. To accomplish this, steam is used to heat the feedwater. The condensed steam is discharged to the storm drains that flow to Harris Lake at approximately 5-10 gallons per minute. This steam could contain trace amounts of hydrazine and ammonia used for chemistry control in the auxiliary boiler steam system. Due to the low flow rate and the long retention time, the temperature of the condensed steam should be at ambient temperature upon reaching the lake. • Condenser water box drains: Prior to condenser maintenance or repairs it is sometimes (approximately twice/year) necessary to drain circulating water to the storm drains approximately 60,000 gallons per condenser per event)that discharge to Harris Lake. This water is monitored for selected cooling tower blowdown parameters. • Filtered water storage and Derain water storage tanks: Water is treated using a micro-filtration unit for turbidity control and then stored in a tank prior to subsequent filtration(nano-filtration Page 1 of 16 unit) and disinfection. Occasionally, some water from these tanks may be drained to the storm drains that discharge to Harris Lake. This water may contain trace amounts of chlorine. • Fire protection system: Approximately 5,000 gallons of lake water used for annual testing of the fire protection system is routed to most of the storm drains that discharge to Harris Lake. In the event of a fire, additional water could be discharged to storm drains. • Condenser hotwell: During outages (approximately once per 18 months) it is necessary to drain the condenser hotwell for condenser maintenance and inspection. Approximately 70,000 gallons of this water resulting from condensed steam is drained to storm drains that discharge to Harris Lake. It may contain trace amounts of ethanolamine, 100 ppb or less of boron, and 100 ppb or less ammonia. • Condensate storage tank: Infrequently it is necessary to drain the condensate storage tank for maintenance. Approximately 400,000 gallons per event is drained to storm drains that discharge to Harris Lake. It may contain 200 ppb or less boron, 1000 ppb or less ammonia, and trace hydrazine. • Air conditioning system condensate: The condensate from various building air conditioning systems flows to various storm drains to Harris Lake. The volume is generally low and is greatest in the humid summer months. • Service water system strainers: Infrequently, when service water strainers located at the makeup pumps from the cooling tower basin are backwashed to remove biofouling organisms or debris, a small volume of service water overflows the basin and runs to the adjacent storm drain that discharge to Harris Lake. • Maintenance activities: During maintenance activities at the facility it may become necessary to drain all or some portion thereof of the following plant systems: normal service water, emergency service water, circulating water,potable water, and demineralized water. Maintenance activities at the facility may also require the hydrostatic flushing of system piping with discharge to the storm drain system. In addition, the facility may find it necessary to wash equipment with demineralized water and discharge to the storm drains. Per the submitted permit application, the proposed stormwater outfalls include: SW001: Drainage Area 1 Drainage area includes warehouse numbers 6 and 9, paved and gravel-surfaced parking areas, gravel- surfaced storage yards (metals present), rail lines, service transformers, scrap metal and solid waste dumpsters (contain food scraps,paint cans, wood, etc), four(4) sewage lift stations, and grassed yard areas. Stormwater runoff from this drainage area discharges into Harris Reservoir north of the causeway. Per information provided 6/8/2023, drainage of normal service water, emergency service water, circulating water,potable water, and demineralized water, hydrostatic flushing of system piping, and wash equipment water sometimes drain through this outfall. Significant potential pollutants include: Chemicals, used oils, mineral oil, scrap metal, dumpster solid waste, miscellaneous wood, structural steel, cable, and other metal, raw sewage (from lift station overflow), oils, gasoline, and diesel fuel. SW002: Drainage Area 2 Drainage area includes Diesel Generator Building, northern portion of the cooling tower, Major Projects Building, one (1) 6,500 gallon phosphoric acid tank, three (3) 4,500 gallon water treatment chemical tanks, service transformer, sewage lift station, gravel-surfaced parking areas, rail lines, and grassed yard areas. Stormwater runoff from this drainage area discharges into Harris Reservoir north of the causeway. Per information provided 6/8/2023, drainage of normal service water, emergency service water, Page 2 of 16 circulating water,potable water, and demineralized water, hydrostatic flushing of system piping, and wash equipment water, service water system strainers, condenser water box drains, and the condenser hotwell sometimes discharge to this outfall. Significant potential pollutants include: Lube oil, cooling water spray and drift, chemical storage tanks, diesel fuel, mineral oil, raw sewage (from lift station overflow), oil, gasoline, and diesel fuel. SWO03: Drainage Area 3 Drainage area includes the southern portion of the Cooling Tower, one (1) 5,600 gallon sodium hypochlorite tank, other small water treatment chemical storage tanks, chemical storage building, Cooling Tower circulating water pumps, transformer yard(adjacent to the Turbine Building), paved parking areas, and grassed yard areas. Per information provided 6/8/2023, drainage of normal service water, emergency service water, circulating water, potable water, and demineralized water, hydrostatic flushing of system piping, and wash equipment water, the condensate storage tank, condenser water box drains, and condenser hotwell sometimes discharge to this outfall. Significant potential pollutants include: Chlorine, acid, sodium hypochlorite, trilite, ammonium bisulfate, detergents, chemicals for sampling and analysis inside chemical storage building, cooling water spray and drift, lube oil, mineral oil, oil, gasoline, and diesel fuel. SWO04: Drainage Area 4 Drainage area includes gravel-surfaced switchyard(no transformers are present), paved roads and parking areas, and grassed yard areas. Stormwater runoff discharges into Harris Reservoir south of the causeway. Significant potential pollutants include: Mineral oil, acid electrolyte solution, oils, gasoline, and diesel fuel. SWO05: Drainage Area 5 Drainage area includes Administration Building, Security Building, a portion of the Service Building, a portion of the Bulk Warehouse, one (1) 10,800 gallon caustic tank, one (1) 4,500 gallon sulfuric acid tank, one (1) 1,500 gallon ammonia tank, one (1) liquid nitrogen tank, sewage lift station, one (1) aboveground diesel storage tank, one (1)below ground diesel storage tank, cooking grease storage shelter,paved roads, and paved parking areas. Stormwater runoff discharges into the Make-Up Water Intake Canal (if there is an event at the facility, the water goes back into the facility; if no event occurs, water goes into the primary intake reservoir to the lake). Per information provided 6/8/2023, drainage of normal service water, emergency service water, circulating water, potable water, and demineralized water, hydrostatic flushing of system piping, and wash equipment water sometimes drain through this outfall. Significant potential pollutants include: Liquid nitrogen, ammonia, sodium hydroxide, sulfuric acid, diesel fuel, leaks from the HVAC unit, mineral oil, cooking grease, various chemicals and other potential storm water pollutants, raw sewage overflow, miscellaneous wood, structural steel, cable, and other metal, oils, gasoline, and diesel fuel. SWO06: Drainage Area 6 Drainage area includes Water Treatment Buildings (1 primary for plant operations, 1 auxiliary intake for drinking water and back-up to primary), Paint Shop, Chemical Warehouse, Mobile Equipment Area, a portion of the Service Building, a portion of the Bulk Warehouse, the Neutralization Basin, the Settling Page 3 of 16 Basin, gasoline storage tanks, diesel fuel storage tanks, used oil storage tanks, oil/water separator and adjacent 1,000 gallon used oil collection tank, service transformers, three (3) sewage lift stations, one (1) 8,315 gallon sulfuric acid storage tank, solid waste compactor,paved roads, gravel-surfaced areas, external storage areas, parking areas, and grassed areas. Certain yard drains, concrete trenches and open containments within this drainage area are routed into the 10,000 gallon capacity Oil/Water Separator. The Oil/Water Separator discharges clean water to the Neutralization Basin. Storm water runoff from this drainage area discharges into a retention pond equipped with an inverted siphon that discharges into an open ditch, which eventually discharges into an arm of Harris Reservoir. Per information provided 6/8/2023, drainage of normal service water, emergency service water, circulating water,potable water, and demineralized water, hydrostatic flushing of system piping, and wash equipment water, the auxiliary boiler heat exchanger and draining of filtered water and decriminalized water storage tanks sometimes discharge to this outfall. Significant potential pollutants include: Various water treatment chemicals, various chemicals and other potential storm water pollutants,used oil, hydrazine, acids, caustics, chemistry lab materials, emptied paint and aerosol cans, used oil, sulfuric acid,untreated wastewater from the Neutralization and Settling Basins, oils, gasoline, and diesel fuel. SW008: Drainage Area 8 Drainage area includes Generator Rewind Building, a legacy stormwater detention pond, paved roads, gravel-surfaced areas, external storage areas (metal piping, sand piles, gravel piles, crushed stone, wood pallets, and empty tanks),parking areas, and grassed areas. Stormwater runoff discharges to the Service Water Discharge Canal. Per information provided 6/8/2023, drainage of normal service water, emergency service water, circulating water,potable water, and demineralized water, hydrostatic flushing of system piping, and wash equipment water sometimes drain through this outfall. Significant potential pollutants include: Various chemicals and other potential stormwater pollutants, oils, gasoline, and diesel fuel. SW009: Drainage Area 9 Drainage area includes tanker unloading station and fuel forwarding pumps for the two (2) Emergency Diesel Generator underground fuel oil storage tanks, service transformer, paved roads, gravel-surfaced areas, external storage areas (metal piping, sand piles, gravel piles, crushed stone, wood pallets, and empty tanks), and grassed areas. Stormwater runoff discharges into the Service Water Discharge Canal. Per information provided 6/8/2023, drainage of normal service water, emergency service water, circulating water,potable water, and demineralized water, hydrostatic flushing of system piping, and wash equipment water sometimes drain through this outfall. Significant potential pollutants include: Fuel oil, mineral oil, oils, gasoline, and diesel fuel. SW012 (SW-B): Drainage Area B Drainage area includes two facility maintenance storage buildings, gravel-surface roads, paved and gravel-surfaced external storage areas, and grassed and wooded areas. Most of the drainage area is non- industrial use. Stormwater runoff discharges though a ditch into the Service Water Discharge Canal. Per information provided 6/8/2023, drainage of normal service water, emergency service water, circulating water, potable water, and demineralized water, hydrostatic flushing of system piping, and wash equipment water sometimes drain through this outfall. Page 4 of 16 Significant potential pollutants include: Sand, gravel, oils, gasoline, and diesel fuel. Additional Outfalls: SW007: Drainage Area 7 Drainage area includes two (2) 110,000 gallon auxiliary boiler fuel oil storage tanks, gas storage yard, sewage treatment plant, a portion of the security training facility, flex building, two (2) service transformers, solid waste and recycling containers, paved roads,paved parking areas, and grassed and wooded areas. Stormwater runoff discharges to a ditch in the drainage area that runs to the Emergency Service Water Intake Canal (no discharge ends up in the lake; water from this canal goes into the facility, therefore is handled under the wastewater permit). Significant potential pollutants include: Diesel fuel, raw sewage, sodium carbonate, sodium hypochlorite, sodium hydroxide, water treatment polymers, lead from expended ammunition, mineral oil, equipment oils and fuels, oils, and gasoline. DA-10: Drainage Area 10 Drainage area includes a portion of the Security Training Facility, service transformer, sewage lift station, cardboard trash dumpster, paved parking areas, and grassed and wooded areas. This drainage area does not have an outlet structure. Stormwater runoff discharges via overland flow to the Emergency Service Water Intake Canal (no discharge ends up in the lake; water from this canal goes into the facility, therefore is handled under the wastewater permit). Significant potential pollutants include: Lead from expended ammunition, mineral oil, raw sewage overflow, miscellaneous trash (from dumpster), oils, gasoline, and diesel fuel. Note: DA-10 does not contain an outlet structure. SW-A: Drainage Area A Drainage area includes non-industrial use grassed areas. Stormwater runoff from this area discharges through a ditch into Harris Reservoir north of the causeway. There are no significant potential pollutants. Why Industrial Sites with Stormwater are Subject to a Permit: Federal NPDES regulations define stormwater discharge associated with industrial activity in 40 CFR §122.26 (b)(14) as: "the discharge from any conveyance that is used for collecting and conveying storm water and that is directly related to manufacturing,processing or raw materials storage areas at an industrial plant. The term does not include discharges from facilities or activities excluded from the NPDES program under this part 122. For the categories of industries identified in this section, the term includes, but is not limited to, storm water [sic] discharges from industrial plant yards; immediate access roads and rail lines used or traveled by carriers of raw materials, manufactured products, waste material, or byproducts used or created by the facility; material handling sites; refuse sites; sites used for the application or disposal of process waste waters (as defined at part 401 of this chapter); sites used for the storage and maintenance of material handling equipment; sites used for residual treatment, storage, or disposal; shipping and receiving areas; manufacturing buildings; storage areas (including tank farms) for raw materials, and intermediate and final products; and areas where industrial activity has taken place in the past and significant materials remain and are exposed to storm water. For the purposes of this paragraph, material handling activities include storage, loading and unloading, transportation, or conveyance of any raw material, intermediate product, final product, byproduct or waste product. The term excludes areas located on plant lands separate from the plant's industrial activities, such as office buildings and accompanying parking lots as long as the drainage from the excluded areas is not mixed with storm water [sic] drained from the above described areas." Page 5 of 16 Section 2. Monitoring Information and Compliance History: • No tiered response information available as this is a new permit application • No analytical monitoring data for stormwater outfalls available for review as NPDES wastewater permit only has qualitative data monitoring required Threatened/Endangered Species: There are no threatened/endangered species at the discharge location, but there is a species of concern in the area: Regal Darner(Coryphaeschna ingens; NC status: SR) Section 3. Proposed Monitoring for Stormwater Discharges: The Division considered potential pollutants from past and present industrial activities (nuclear electric generation). There are no analytical results to review as the outfalls covered under the existing wastewater NPDES permit do not require analytical monitoring (visual monitoring only required). Unlike most stormwater permits in its program, the Division is proposing a permit structure with outfall- specific monitoring for discharges. Parameters are based on potential pollutants in the drainage area, sampling results, and in some cases, dependent upon future activities. Below is a table of the proposed monitoring for each outfall at the Harris Nuclear plant site. All outfalls discharge to the Shearon Harris Reservoir. Page 6 of 16 Outfalls SWO01 and SWO05 Quarterly monitoring Total Suspended Solids BASIS: Potential pollutant from drainage area and BMP effectiveness (TSS) indicator. Quarterly monitoring pH BASIS: Pollutant indicator Quarterly monitoring Total Rainfall BASIS: Discharge potential indicator Quarterly monitoring Non-Polar Oil & Grease BASIS: Potential pollutant from lubricants; Method 1664 SGT-HEM targets petroleum-based O&G. Quarterly monitoring Monthly Oil Usage BASIS: Potential pollutant from drainage area Quarterly monitoring BOD BASIS: Discharge potential indicator Quarterly monitoring COD BASIS: Discharge potential indicator Quarterly monitoring Ammonia Nitrogen BASIS: Potential pollutant from drainage area Quarterly monitoring Total Nitrogen BASIS: Potential pollutant from drainage area Quarterly monitoring Fecal Coliform BASIS: Potential pollutant from drainage area Quarterly monitoring Copper (Total) BASIS: Potential pollutant from drainage area Quarterly monitoring Lead(Total) BASIS: Potential pollutant from drainage area Quarterly monitoring Zinc (Total) BASIS: Potential pollutant from drainage area Quarterly monitoring Total Hardness BASIS: Monitoring for hardness dependent metals required Page 7 of 16 Outfalls SWO02 and SWO06 Quarterly monitoring Total Suspended Solids BASIS: Potential pollutant from drainage area and BMP effectiveness (TSS) indicator. Quarterly monitoring pH BASIS: Pollutant indicator Quarterly monitoring Total Rainfall BASIS: Discharge potential indicator Quarterly monitoring Non-Polar Oil & Grease BASIS: Potential pollutant from lubricants; Method 1664 SGT-HEM targets petroleum-based O&G. Quarterly monitoring Monthly Oil Usage BASIS: Potential pollutant from drainage area Quarterly monitoring BOD BASIS: Discharge potential indicator Quarterly monitoring COD BASIS: Discharge potential indicator Quarterly monitoring Fecal Coliform BASIS: Potential pollutant from drainage area Page 8 of 16 Outfall SWO03 Quarterly monitoring Total Suspended Solids BASIS: Potential pollutant from drainage area and BMP effectiveness (TSS) indicator. Quarterly monitoring pH BASIS: Pollutant indicator Quarterly monitoring Total Rainfall BASIS: Discharge potential indicator Quarterly monitoring Non-Polar Oil & Grease BASIS: Potential pollutant from lubricants; Method 1664 SGT-HEM targets petroleum-based O&G. Quarterly monitoring Monthly Oil Usage BASIS: Potential pollutant from drainage area Quarterly monitoring COD BASIS: Discharge potential indicator Quarterly monitoring Total Residual Chlorine BASIS: Potential pollutant from drainage area Outfalls SWO04 and SWO12 SW-B Quarterly monitoring Total Suspended Solids BASIS: Potential pollutant from drainage area and BM? effectiveness (TSS) indicator. Quarterly monitoring pH BASIS: Pollutant indicator Quarterly monitoring Total Rainfall BASIS: Discharge potential indicator Quarterly monitoring Non-Polar Oil & Grease BASIS: Potential pollutant from lubricants; Method 1664 SGT-HEM targets petroleum-based O&G. Quarterly monitoring Monthly Oil Usage BASIS: Potential pollutant from drainage area Quarterly monitoring COD BASIS: Discharge potential indicator Page 9 of 46 Outfalls SWO08 and SWO09 Quarterly monitoring Total Suspended Solids BASIS: Potential pollutant from drainage area and BMP effectiveness (TSS) indicator. Quarterly monitoring pH BASIS: Pollutant indicator Quarterly monitoring Total Rainfall BASIS: Discharge potential indicator Quarterly monitoring Non-Polar Oil & Grease BASIS: Potential pollutant from lubricants; Method 1664 SGT-HEM targets petroleum-based O&G. Quarterly monitoring Monthly Oil Usage BASIS: Potential pollutant from drainage area Quarterly monitoring BOD BASIS: Discharge potential indicator Quarterly monitoring COD BASIS: Discharge potential indicator Quarterly monitoring Copper (Total) BASIS: Potential pollutant from drainage area Quarterly monitoring Lead(Total) BASIS: Potential pollutant from drainage area Quarterly monitoring Zinc (Total) BASIS: Potential pollutant from drainage area Quarterly monitoring Total Hardness BASIS: Monitoring for hardness dependent metals required Stormwater Benchmarks and Tiered Response: Rather than limits,North Carolina NPDES Stormwater permits contain benchmark concentrations. Stormwater benchmarks are numerical action levels for stormwater monitoring. Benchmarks are not effluent limits, and benchmark exceedances are not permit violations. Benchmarks provide facilities a tool for assessing the significance of pollutants in stormwater discharges and the effectiveness of best management practices (BMPs). Benchmark concentrations are intended as guidelines for the facility's development and implementation of the Stormwater Pollution Prevention Plan(SWPPP). Benchmark exceedances require the permittee to increase monitoring, increase management actions, increase record keeping, and/or install stormwater BMPs in a tiered program. The permit establishes a tiered approach to specify actions the permittee must take in response to analytical results above Page 10 of 16 benchmark concentrations. The tiered structure of the permit provides the permittee and DEMLR wide flexibility to address issues that may arise with one or more parameters and/or outfalls. Metals benchmarks are calculated to mimic acute water quality standards and with the guidance of DWR. NC DWR follows established federal procedures for calculating acute standards when developing the benchmarks. Just like the acute standards, metals benchmarks normally reflect one half of the calculated Final Acute Value (the "1/2 FAV"). In most cases, translation into total recoverable values is based on an assumed hardness of 25 mg/L and a total suspended solids (TSS) concentration of 10 mg/L. Acute standards protect aquatic life from negative impacts of short-term exposure to higher levels of chemicals where the discharge enters a waterbody. The Stormwater Permitting Program applies this approach because of the ephemeral nature of rainfall events. The Division may evaluate results to determine if a smaller suite of parameters for some outfalls is adequate to characterize potential pollution or BMP effectiveness. For example, one or more metals or other parameters may serve as an adequate tracer for the presence of ash pollution during disturbance or ash removal in specific drainage areas at this site. For parameters that do not have a stormwater benchmark, the Division may develop a benchmark value if appropriate toxicity data become available or if rising trends in concentrations suggest a persistent source. A summary of the benchmarks in the draft permit, and their basis, is below: Parameter Benchmark Basis '/2 FAV; Based on (Cr III+ Cr VI) acute thresholds and Chromium(Total) 905 µg/L assumption that industrial activities here are not a source of hexavalent chromium Copper Total 10 /L Acute Aquatic Criterion, 1/2 FAV Assume all chromium III in most cases; chromium VI Chromium (Total) 905 µg/L only if suspected source; 1/2 FAV EPA's National Recommended Water Quality Criteria(Acute) for dissolved chromium III Lead Total 75 µg/L Acute Aquatic Criterion, '/2 FAV Nickel Total 335 /L Acute Aquatic Criterion, 1/2 FAV Zinc Total 126 /L Acute Aquatic Criterion, 1/2 FAV Total Residual Chlorine 28 /L 1/2 FAV NC's calculation, not EPA's Total Nitrogen 30 mg/L TKN+Nitrate+Nitrite Benchmarks (Expressed in mg/L of N Ammonia Nitrogen Based on the mussels-present/trout absent acute criteria summer 5.6 mg/L table in the 2013 EPA criteria document Ammonia Nitrogen Based on the mussels-present/trout absent acute criteria winter 15 mg/L table in the 2013 EPA criteria document Fecal Coliform 1,000 Based on geometric mean of 10+ samples/year col/100 mL BOD 30 mg/L BPJ; Based on Secondary Treatment Regulation(40 CFR g 133.03 COD 120 mg/L BPJ; Generally found at levels 4x BOD5 in domestic wastewaters Total Suspended Solids 100 mg/L National Urban Runoff Program (NURP) Study, 1983 TSS Page 11 of 16 H 6 s.u. —9 NC Water Quality Standard (Range) p S.U. Non-Polar Oil & Review of other state's daily maximum benchmark Grease, EPA Method 15 mg/L concentration for this more targeted O&G; NC WQS that 1664 SGT-HEM does not allow oil sheen in waters Stormwater Pollution Prevention Plan: The proposed permit conditions reflect the EPA and NC's pollution prevention approach to stormwater permitting. The Division's maintains that implementation of Best Management Practices (BMPs) and traditional stormwater management practices that control the source of pollutants meets the definition of Best Available Technology (BAT) and Best Conventional Pollutant Control Technology(BCT). The permit conditions are not numeric effluent limitations but are designed to be flexible requirements for implementing site-specific plans to minimize and control pollutants in stormwater discharges associated with the industrial activity. Title 40 Code of Federal Regulations (CFR) §122.44(k)(2) authorizes the use of BMPs in lieu of numeric effluent limitations in NPDES permits when the agency finds numeric effluent limitations to be infeasible. The agency may also impose BMP requirements which are "reasonably necessary" to carry out the purposes of the Act under the authority of 40 CFR 122.44(k)(3). The conditions proposed in this draft permit are included under the authority of both of these regulatory provisions. In essence, the pollution prevention and BMP requirements operate as limitations on effluent discharges that reflect the application of BAT/BCT. Flexibility in Tier Responses: Tier Two actions provide an opportunity for the permittee to propose an alternative monitoring plan for approval by the Region: • Alternatively, in lieu of steps 2 and 3, the permittee may, after two consecutive exceedances, exercise the option of contacting the DEMLR Regional Engineer as provided below in Tier Three. The Regional Engineer may direct the response actions on the part of the permittee as provided in Tier Three, including reduced or additional sampling parameters or frequency. • If pursuing the alternative above after two consecutive exceedances, the permittee may propose an alternative monitoring plan for approval by the Regional Engineer. The permit therefore allows the permittee to petition the Regional Office for monitoring changes sooner than Tier Three (upon any four benchmark exceedances) and gives guidance on one option to take. For example, the permittee may request that mercury only be monitored semi-annually under the tiers, or that only parameters over the benchmark be monitored more frequently. In this way, changes to the monitoring scheme for any outfall could be handled outside of a permit modification. Other Proposed Requirements: • It is standard for Stormwater Pollution Prevention Plan(SWPPP)requirements to include an annual certification that stormwater outfalls have been evaluated for the presence of non- stormwater discharges, and if any are identified, how those discharges are permitted or otherwise authorized. • Requirement to submit a request for permit modification if the facility identifies or creates any new outfalls, removes outfalls, or alters any drainage area that changes potential pollutants. • The Division expects the permittee to apply best professional judgment and consider the safety of its personnel in fulfilling sampling obligations under the permit. • Federal regulations require electronic submittal of all discharge monitoring reports (DMRs). If a state does not establish a system to receive such submittals, then permittees must submit DMRs electronically to the EPA. • Quarterly QualitativeNisual Monitoring to assure regular observation of outfalls throughout year. Page 12 of 16 Section 4. Changes from draft to final: • Monitoring for chromium, iron, and nickel removed from all outfalls as monitoring for copper, lead, and zinc are sufficient for monitoring metals • Monitoring for BOD removed from SW003, SW004, and SWO12 • Permit condition added for ammonia nitrogen allowing monitoring to cease after 4 sample results below detection Section 5. Discussions with the Facility and Regional Office: • Initial contact with facility: 3/9/22 • Initial contact with Regional Office: 3/9/22 • Draft sent to CO peer review: 1/17/2023 • Draft sent to Regional Office: 6/14/2023 • Final permit sent for supervisor signature: 9/14/2023 Section 6. Comments received on draft permit: • Shawn Guyer (PWS; via email 7/3/2023): The PWS Section concurs with the issuance of this permit provided the facility is operated and maintained properly, the stated effluent limits are met prior to discharge, and the discharge does not contravene the designated water quality standards. • Don Safrit(Duke Energy; via email 7/10/2023): The two biggest concerns we have with the draft permit are the benchmarks assigned to each of the outfalls and whether we could have the opportunity to begin the permit cycle with ROS status for some of our outfalls like you allowed us to do at the McGuire Nuclear Plant. To provide complete comments on the draft permit and create an opportunity for us to collaborate on benchmarks and ROS, we have two requests for you: 1. We would like to have a site visit with the DEMLR Central and Raleigh Regional Offices to discuss the benchmarks and ROS, considering the industrial activities and materials at the plant. Our data/site conditions demonstrate that it is not necessary to retract the ROS and believe a site visit would be instrumental in providing the agency with the information needed to evaluate our proposal ; and 2. We would like to have an extension to respond with specific comments on the benchmarks and ROS until two weeks after the date of the site visit. We would then like to set the new deadline. • Don Safrit(Duke Energy; via mail 8/14/2023): 1. ROS request has been submitted to the Raleigh Regional Office. Duke Energy requests that the ROS be reviewed and acted upon prior to issuance of the new permit. NC DEQ has historically allowed ROS at SW-003 and SW-006 at the HNP for the existing NPDES Wastewater Permit. ■ DEMLR Response: ROS requests and permit issuance are two separate processes. ROS is handled by the Regional Office while permit issuance is Page 13 of 16 handled by the Central Office. The Division cannot guarantee ROS will or will not be granted, therefore the permit review will move forward. 2. Based on the ROS request and review of general permits for similar industrial activities, Duke Energy requests certain monitoring parameters for the representative outfalls. Duke Energy would like to note that the monitoring parameters for SW-006 exceed those proposed in the current draft permit. ■ DEMLR Response: Per the Raleigh Regional Office, a determination cannot be made without sample data to support the request. Once you have at least four(4) samples, ROS can be re-requested. 3. Duke Energy requests removal of non-polar oil & grease and monthly oil usage from the monitoring parameters. Duke Energy has established procedures to minimize or ensure no exposure of oil,petroleum products, and other chemicals to stormwater. ■ DEMLR Response: Monitoring for non-polar oil & grease and monthly oil usage are standard monitoring parameters of all individual stormwater permits. Although practices may be in place to minimize exposure, as there is still potential for exposure in the drainage areas, monitoring shall remain in the permit. 4. Duke Energy requests removal of COD from the monitoring parameters. Duke Energy has established procedures to minimize exposure of chemicals used on site to stormwater. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated no detectable levels of COD. ■ DEMLR Response: Due to the type of chemicals and activities that occur in the drainage areas, monitoring for COD shall remain in the permit. If exceedances occur in monitoring results, Duke Energy may submit documentation to the Division with further information regarding the causes of the exceedances. 5. Duke Energy requests removal of BOD from the monitoring parameters. HNP is part of a voluntary wildlife sanctuary and has a large existing wildlife (e.g. deer, geese, turkeys, and many others)population on-site, which would be a significant source of this pollutant. No industrial processes at the site are expected to be a source of BOD. ■ DEMLR Response: Monitoring for BOD has been removed from outfalls SW003, SW004, and SW012. Monitoring for BOD shall remain for outfalls SW001, SW002, SW005, and SW006 due to the presence of lift stations in the drainage areas, and in outfalls SW008 and SW009 due to the presence of wood pallet storage. 6. Duke Energy requests removal of total residual chlorine from the monitoring parameters. Total residual chlorine is monitored under the existing wastewater NPDES permit (NC0039586) at the outfalls requested for ROS. Duke Energy has established procedures to minimize exposure to stormwater. ■ DEMLR Response: Monitoring for TRC was included in the draft permit as the drainage area has a chlorine tank. Although practices may be in place to minimize exposure, as there is still potential for exposure in the drainage areas, monitoring shall remain in the permit. 7. Duke Energy requests removal of fecal coliform from the monitoring parameters. HNP is part of a voluntary wildlife sanctuary and has a large existing wildlife (e.g., deer, geese, turkeys, and many others)population on-site, which would be a significant source of this pollutant. While sewage lift stations are located on site, they are operated as part of the wastewater treatment system which operates and is monitored under the existing wastewater NPDES permit (NC0039586). HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health and the environment. Except for operating the wastewater treatment plant, which is Page 14 of 16 permitted separately, no industrial processes are expected to be a source of fecal coliform. ■ DEMLR Response: As there are lift stations in the drainage areas, monitoring for fecal coliform shall remain in the permit. If exceedances occur in monitoring results, Duke Energy may submit documentation to the Division with further information regarding the causes of the exceedances. 8. Duke Energy requests removal of ammonia nitrogen from the monitoring parameters. The ammonia tank in Drainage Area 5 (SW-005) is abandoned and has been closed. Duke Energy is willing to consider re-cleaning the tank to provide appropriate documentation for closure to NC DEQ DEMLR if requested. No active industrial processes at the site are expected to be a source of ammonia nitrogen. ■ DEMLR Response: A condition will be added that the permittee may cease monitoring after four(4) consecutive samples show results below detection. If the tank should ever hold ammonia nitrogen, or some other substance, in the future, Duke Energy shall notify the Division and request a permit modification as early as possible to ensure proper permit coverage. 9. Duke Energy requests removal of total nitrogen from the monitoring parameters. HNP is part of a voluntary wildlife sanctuary and has a large existing wildlife (e.g., deer, geese, turkeys, and many others)population on-site, which would be a significant source of this pollutant. Duke Energy employs the practices to minimize exposure to stormwater. ■ DEMLR Response: As there is a liquid nitrogen storage tank in the SW005 drainage area and lift stations in the SW001 drainage area, monitoring shall remain. If exceedances occur in monitoring results, Duke Energy may submit documentation to the Division with further information regarding the causes of the exceedances. 10. Duke Energy requests removal of total chromium from the monitoring parameters. Total chromium is not a sampling parameter for similar general permits with outdoor materials storage/lay down areas. One historic process at the plant used chromium, but that process is no longer active and was conducted inside the main plant building in Drainage Area 6 (SW-006). No active industrial processes are expected to be a source of total chromium and thus has no reasonable potential to be in the industrial stormwater. ■ DEMLR Response: Monitoring for copper, lead, and zinc shall be sufficient to determine stormwater exposure to scrap metals stored in the drainage areas. Monitoring for total chromium will be removed from the permit. 11. Duke Energy requests removal of total nickel from the monitoring parameters. Total nickel is not a sampling parameter for similar general permits with outdoor materials storage/lay down areas. No industrial processes at the site are expected to be a source of total nickel and thus has no reasonable potential to be in the industrial stormwater. ■ DEMLR Response: Monitoring for copper, lead, and zinc shall be sufficient to determine stormwater exposure to scrap metals stored in the drainage areas. Monitoring for total nickel will be removed from the permit. 12. Duke Energy requests removal of total iron from the monitoring parameters. Total iron is not a sampling parameter for similar general permits with outdoor materials storage/lay down areas. In 2015, the NC DEQ DWR removed iron from the surface water standards when assessment reports indicated exceedances of the iron criteria in every basin. Evaluations of elevated levels did not correlate with individual dischargers, urban settings nor mining operations. Page 15 of 16 ■ DEMLR Response: Monitoring for copper, lead, and zinc shall be sufficient to determine stormwater exposure to scrap metals stored in the drainage areas. Monitoring for total iron will be removed from the permit. 13. The lay down storage area in Drainage Area 5 (SW-005) is temporary due to construction and will no longer be utilized for outdoor storage when construction is completed. Construction is scheduled to be completed by DATE. Duke Energy is willing to submit a lay down area consolidation plan by March 31, 2024, to facilitate ROS for the remainder of the outfalls. The lay down area consolidation plan would include a proposal for consolidating outdoor storage areas that can be moved and cover of those that cannot. ■ DEMLR Response: A permit modification request can be submitted at the time the laydown storage area is no longer utilized. Monitoring as permitted shall continue until that time. 14. Per discussion with NC DEQ DEMLR on July 27, 2023, if NC DEQ DEMLR does not agree with Duke Energy's assessment to justify removal of total chromium, total nickel, and COD as monitoring parameters after the site visit, Duke Energy is willing to consider sampling for a year(four(4) quarterly samples) to justify removal of these parameters from monitoring if results indicate levels are detected below the proposed benchmarks. ■ DEMLR Response: Monitoring for total chromium and total nickel has been removed from the permit. Monitoring for COD shall remain in the permit due to the type of chemicals and activities that occur in the drainage areas. Page 16 of 16 Naisfort Gazette The Herald-Pock Full at N ue Herald-Miami Sun News-Myrfle Beach Belleville Herald Sun-Durham Modesbc,See The News Tribum Tacc,mir Bellingham Herald Idahostatesnew Raleigh News&0115�r The Telegraph-Macon ObispoBradenton Herald Wand Packet The Olympian San Luis AKNCCLATCHY Centre Daily Tmms Kansars City Star Sacramento I Tri-City Herald Charlotte Qbsoivef Lexington Herald-Leader Fort Worth Stax-Telegram Wichiina Eagle Fre�mao See Marm Herald Sun Herald-Biloxi AFFIDAVIT OF PUBLICATION Account# Order Number Identification Order PO Amount Cols Depth 38106 432M Print Legal Ad-IPLO1270M-IPLO127084 $495.60 2 25L Attention: Joyce Sanford Clark STATE OF NORTH CAROLINA NC DENR ENGERGY MINERAL&LAND RESOURCES COUNTY OF WAKE,COUNTY OFDURHAM 1612 MAIL SERVICE CENTER I Before the undersigned,a Notary Public of Dallas RALEIGH,NC 276991612 County,Texas,duly commissioned and authorized to administer oaths,affirmations,etc,personally joyce.SanfOrd@deq.nc.gov appeared Tara Pennington,who being duly sworn or affirmed,according to law,cloth depose and say that he ---------------------------------------------------------------------------- or she is Accounts Receivable Specialist of the News& NORTH CAROLINA ENVIRONMENTAL MANAGEMENT Observer Publishing Company,a corporation organized COMMISSION INTENT TO ISSUE NPDES STORMWATER DISCHARGE PERMITS and doing business under the Laws of the State of North The North Caroline Environmental Management Commission proposes to issue Carolina,and publishing newspaper known as The NPDES stonnwater discharge permit(s)to the person(s) listed below.Public News&Observer,Wake and State aforesaid,the said comment or objection to the draft permits is invited.Written comments reganling the proposed permit will be accepted until 30 days after the publish date of this ; newspaper in which such notice,paper,document,or notice and considered in the final determination regarding permit issuance and j legal advertisement was published was,at the time of permit provisions The Director of the NC Division of Energy.Mineral,and Land Resources(DEVIL Ru may hold a public hearing should there be a significant each and every such publication,a newspaper meeting degree of public interest.Please mail comments and/or information requests to all of the requirements and qualifications of Section 1- DEMLR at 1612 Mall Service Center,Raleigh,NC 27699-1612. q • Duke Energy Progress,LLC 1526 S Church Street,Chadotte,NC 282011 j 597 of the General Statutes of North Carolina and was a has requested new coverage under permit NC3000606 for the Hams Nu- qualified newspaper within the meaning of Section 1-597 clear Plant In Wake County.This facility discharges to Buckthorn Creek q news P P Marrs Laical In the Cape Fear River Basin. of the General Statutes of North Carolina,and that as Interested persons may visit DEMIA at 512 N.Salisbury Street,Raleigh.NO such he or she makes this aff!davit:and is familiar with 27604 to review information on file.Additional Information on NPDES permits and this notice may be found on our website:ht1ps9/deq.nc.gcv/about/divI- the books,files and business of said corporation and by sions/energy-mineral-and-land-resources/stormwater/stormwater-program/ j reference to ublicatigntheattached stonowater-public-notkss,or by contacting Bdanna Young at brlanna.young W r P deq,mgov or 919a073647. advertisement for NC DENR ENGERGY MINERAL&LAND IPLO127084 RESOURCES was inserted in the aforesaid newspaper on Jun 162023 dates as follows: 1 insertion(s)published on: 06/16/23 R certify ordeclare)under penalty o perjury that t e foregoing is true and correct. ®EMLR-StDI Notary Public inand for the stateo exas,residing in waterProyram Dallas County STEPHANIEHATCHER My Notarf ID 111311YAII Expires January 14,2026 Ex Va dwrge for lost or duplicate afBdavlts. Legaldiwlmentpleasedonotdestroyl Young, Brianna A From: Valentine, Thad Sent: Wednesday, September 13, 2023 3:54 PM To: Safrit, Don;Young, Brianna A Cc: Wilson, Bob; Annette Lucas Subject: RE: [External] HNP NCS000606 ISW Draft Permit - Don After consideration of the maps and information submitted for the ROS request, I don't see that I can make a determination on this without sample data to support your request. Once you have at least a years' worth of sample data, or analytical data from 4) sample sessions,we can revisit this request.At that time, if sample data supports your request for ROS, I will revisit the facility and can make an informed assessment of which outfalls can be representative of any others. If you still have questions about the parameters for monitoring, Brianna can better assist with that. If you have any questions or concerns with this approach, please feel free to contact me. Thad Valentine Environmental Senior Specialist— RRO Division of Energy, Mineral, and Land Resources— Land Quality Section Department of Environmental Quality 919 791 4220 office thad.valentine(@ncdenr.gov 1628 Mail Service Center, Raleigh, North Carolina 27699 From: Safrit, Don <Don.Safrit@duke-energy.com> Sent: Monday,August 21, 2023 3:21 PM To:Young, Brianna A<Brianna.Young@deq.nc.gov>; Valentine,Thad <thad.valentine@deq.nc.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Annette Lucas<lucas@mcadamsco.com> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna/Thad, Upon further review of our recent submittal noted below, it was observed that the Representative Outfall Status (ROS) cover letter was inadvertently mixed up with a previous letter to the Raleigh Regional Office.The correct cover letter has been integrated into the attached package (see page 15 of 25). We apologize for any confusion this aspect may have created. Please do not hesitate to contact us if any questions or further discussions are needed. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell: (984)209-0940 DUKE ENERGY, From: Safrit, Don Sent:Thursday,August 10, 2023 1:06 PM To:Young, Brianna A<Brianna.Young@deg.nc.gov>;Valentine,Thad <thad.valentine@deg.nc.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Annette Lucas<lucas@mcadamsco.com> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Importance: High Brianna/Thad, Per our Teams call meeting on July 271", enclosed you will find a copy of our comment letter on draft NPDES Permit No. NCS000606 and our letter requesting Representative Outfall Status (ROS) being sent to the Raleigh Regional Office. Originals of these documents are in route but we wanted to provide electronic copies directly to you to avoid any delays in our path forward. As previously discussed, we would like the opportunity to meet on site at the Harris Nuclear Plant to review and discuss these aspects before action is taken on the draft NPDES permit. Please let us know some dates which may work for your calendars so we can plan a site meeting accordingly. Thanks again for your continued assistance on this important matter. Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 DUKE ` ' ENERY From:Young, Brianna A<Brianna.Young@deg.nc.gov> Sent:Thursday,July 27, 2023 11:02 AM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deg.nc.gov>; Annette Lucas <lucas@mcadamsco.com> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Good morning Don, Please let us know if you have any other questions in the interim. Thank you, Brianna Young, MS(she/her) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) 2 Brianna.Young@deg.nc.gov(e-mail preferred)PLEASE NOTE NEW EMAIL ADDRESS **DEQ is updating its email addresses to @deq.nc.gov in phases from May 1st to June 9th. Employee email addresses may look different, but email performance will not be impacted. 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. The Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Thursday,July 27, 2023 10:50 AM To:Young, Brianna A<Brianna.Young@deg.nc.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deg.nc.gov>; Annette Lucas <lucas@mcadamsco.com> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna, Thanks again for the opportunity to discuss the draft permit and suggestions to move this matter forward to issue a permit that is appropriate for the Harris Nuclear facility. As discussed, we will provide our interim comments on the draft permit based upon our Teams Call this morning and submit the comments to your office no later than Friday, August 11tn We look forward to the continued collaboration on this important permit. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 hk DUKE ,4. " ENERGY From:Young, Brianna A<Brianna.Young@deg.nc.gov> Sent:Wednesday,July 12, 2023 4:04 PM To: Safrit, Don <Don.Safrit@duke-energy.com> 3 Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deq.nc.gov> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Yes,the comment period on the draft permit can be extended to July 31St.This date can be modified in the future based on when discussions on the draft are able to happen. Thank you, Brianna Young, MS(she/her) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@deg.nc.gov(e-mail preferred)PLEASE NOTE NEW EMAIL ADDRESS **DEQ is updating its email addresses to @deq.nc.gov in phases from May 1st to June 9th. Employee email addresses may look different, but email performance will not be impacted. 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. The Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent: Wednesday,July 12, 2023 3:58 PM To:Young, Brianna A<Brianna.Young@deq.nc.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deq.nc.gov> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Thanks Brianna—Bob and I will compare calendars and provide a few dates for Thad and your consideration. Also, can we push back the HNP comment response date from July 17t" until an interim date of July 315Y at a minimum? Thanks, Don Donald(Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 fDUDE E N ER 4 From: Young, Brianna A<Brianna.Young@deg.nc.gov> Sent:Wednesday,July 12, 2023 3:27 PM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deg.nc.gov> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- CAUTION! STOP. • expecting and spelling correct? Does the content make sense? Can you verify the sender? If suspicious report it, then do not click links, open attachments or enter your ID or password. Good afternoon Don, I apologize for my delay in response. As I mentioned on the phone, Lauren is leaving the Raleigh Regional Office so Thad Valentine is the regional office contact for now. I have copied him on this email chain.You mentioned the Harris Nuclear Plant folks would like to have an onsite meeting to go over the draft permit and walk around the site to observe outfalls for ROS discussion. Given staff availability restraints, I am not sure an onsite meeting will be possible, but we can pursue that avenue to start. When are Duke Energy representatives available for a discussion on the permit? If we are unable to meet in person, having photos taken to present during a Teams meeting will be helpful. Thank you, Brianna Young, MS(she/her) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@deq.nc.gov(e-mail preferred)PLEASE NOTE NEW EMAIL ADDRESS **DEQ is updating its email addresses to @deq.nc.gov in phases from May 1st to June 9th. Employee email addresses may look different, but email performance will not be impacted. 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. The Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent: Monday,July 10, 2023 12:55 PM To:Young, Brianna A<Brianna.Young@deg.nc.gov> Cc:Garcia, Lauren V<lauren.garcia@deg.nc.gov>; Wilson, Bob<Bob.Wilson@duke-energy.com>;Annette Lucas <lucas@mcadamsco.com> Subject: [External] HNP NCS000606 ISW Draft Permit- Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna, 5 Thank you for sharing the draft Harris Nuclear Plant permit and providing us with the opportunity to comment. The two biggest concerns we have with the draft permit are the benchmarks assigned to each of the outfalls and whether we could have the opportunity to begin the permit cycle with ROS status for some of our outfalls like you allowed us to do at the McGuire Nuclear Plant. To provide complete comments on the draft permit and create an opportunity for us to collaborate on benchmarks and ROS, we have two requests for you: 1. We would like to have a site visit with the DEMLR Central and Raleigh Regional Offices to discuss the benchmarks and ROS, considering the industrial activities and materials at the plant. Our data/site conditions demonstrate that it is not necessary to retract the ROS and believe a site visit would be instrumental in providing the agency with the information needed to evaluate our proposal ; and 2. We would like to have an extension to respond with specific comments on the benchmarks and ROS until two weeks after the date of the site visit. We would then like to set the new deadline. Please let me know your thoughts and I am happy to answer any questions you may have. Thanks, Don Donald(Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 DUKE t" EEe Email correspondence to and from this address may be subject to the North Carolina Public Records Law and may be disclosed to third parties by an authorized state official. 6 f� DUKE Thomas P P. Haaf Vice President ENERGY 541Hares Nuclear Plant 3 Shearon Harris Rd New Hill NC 27562-9300 AUG Q 9 2023 Serial: RA-23-0212 "��0l11'iU,�iG, i io9r6m Certified Mail Number: 7014 2120 0003 3196 6821 Return Receipt Requested Mr, Bill Denton-Engineering Supervisor NC DEQ DEMLR Raleigh Regional Office 3800 Barrett Drive, Raleigh, NC 27609 Subject: Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Harris Nuclear Plant(HNP) 5413 Shearon Harris Road New Hill, NC 27562 Wake County Dear Mr. Denton: Enclosed are the Permit Owner Affiliation Designation Form and the Stormwater Delegation of Signature Authority Form (DOSA) for the Harris Nuclear Plant. Please update your records as necessary. If you have any questions regarding this matter, please do not hesitate to contact Mr. Bob Wilson, HNP Site Environmental Professional, at (984) 229-2444. Sincerely, Thomas P. Haaf Enclosure: Representative Outfall Status Request Draft NPDES Stormwater Permit NC5000606 Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0212/page 2 CC: Certified Mail Number: 7014 2120 0003 3196 6838 Return Receipt Requested Thad Valentine— RRO Stormwater Program NC DEQ DEMLR Raleigh Regional Office 3800 Barrett Drive, Raleigh, NC 27609 Certified Mail Number: 7014 2120 0003 3196 6845 Return Receipt Requested Brianna Young— Industrial Program Individual Permit Coordinator DEMLR Central Office 1612 Mail Service Center Raleigh, NC 27699-1612 Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0212 Enclosures Representative Outfall Status Request(ROS) Draft NPDES Stormwater Permit NCS000606 Attachment 1 (4 pages including cover) Division of Energy, Mineral & Land Resources FOR AGENCY USE ONLY Date Received ��'` Yegr Ivtanth Day �::a Stormwater Program National Pollutant Discharge Elimination System Environmental REPRESENTATIVE OUTFALL STATUS (ROS) Quality REQUEST FORNI if a facility is required to sample multiple discharge locations with very similar storm water discharges, the permittee may petition the Director for,Representative Outfall Status(ROS). DEQ may grant Representative Outfall Status if stormwater discharges from a single outfall are representative of discharges from multiple outfalls. Approved ROS will reduce the number of outfalls where analytical sampling requirements apply. If Representative Outfall Status is granted, ALL outfalls are still subject to the qualitative monitoring requirements of the facility's permit—unless otherwise allowed by the permit(such as NCG0.20000)and DEQ approval. The approval letter from DEQ must be kept on site with the facility's Storm water Pollution Prevention Plan, The facility must notify DEQ in writing if any changes affect representative status. For questions, please contact the DEQ Regional Office for your area (see page 3). (Please print or type) 1) Enter the permit number to which this ROS request applies: Individual Permit (orl Certificate of Coverage N I C I s0 0 06 0 6 N C G 2) Facility Information: Owner/Facility Name Duke Energy Progress,LLC 1 Shearon Harris Nuclear Plant Facility Contact Bob Wilson Street Address 5413 Shearon Harris Road City New Hill State NC ZIP Code 27562 County Wake E-mail Address Bo6.Wilson@duke-energy.com Telephone No. 984 229-2444 Fax: 3) List the representative outfalls) information (attach additional sheets if necessary): Outfall(s) SW-003 is representative of Outfall(s) SW-002,SW-003,SW-004,and SW-005 Outfalls' drainage areas have the same or similar activities? a Yes ❑ No Outfalls' drainage areas contain the same or similar materials? X Yes ❑ No Outfalls have similar monitoring results? ❑ Yes ❑ No ® No data* Autfall(s) SW-006 is representative of Outfall(s) SW-001,SW-008,SW-007,SW-008,SW-009,and SW-8 Outfalls' drainage areas have the same or similar activities? a Yes ❑ No Outfalls' drainage areas contain the same or similar materials? a Yes ❑ No Outfalis have similar monitoring results? ❑ Yes ❑ No is No data* Outfall(s) is representative of Outfall(s) Outfalls' drainage areas have the same or similar activities? ❑Yes ❑ No Outfalls' drainage areas contain the same or similar materials? ❑Yes ❑ No Outfalls have similar monitoring results? ❑ Yes ❑ No o No data* *Non-compliance with analytical monitoring prior to this request may prevent ROS approval. Specific circumstances will be considered by the Regional Office responsible for review. Page 1 of 3 SWU-ROS-2009 Last revised 12/30/2009 Representative Outfall Status Request 4) Detailed explanation about why the outfalls above should be granted Representative Status: (Or,attach a letter or narrative to discuss this information.) For example,describe how activities and/or materials are similar. Please see Attachment 1 for more detailed explanation. 5) Certification: North Carolina General Statute 143-21S.6 B(i)provides that: Any person who knowingly makes any false statement,representation,or certification in any application, record, report,plan,or other document filed or required to be maintained under this Article or a rule implementing this Article;or who knowingly makes a false statement of a material fact in a rulemaking proceeding or contested case under this Article;or who falsifies,tampers with,or knowingly renders inaccurate any recording or monitoring device or method required to be operated or maintained under this Article or rules of the[Environmental Management] Commission implementing this Article shall be guilty of a Class 2 misdemeanor which may include a fine not to exceed ten thousand dollars($10,000). 1 hereby request Representative Outfall Status for my NPDES Permit. I understand that ALL outfalls are still subject to the qualitative monitoring requirements of the permit,unless otherwise allowed by the permit and regional office approval. I must notify DEQ in writing if any changes to the facility or its operations take place after ROS is granted that may affect this status. If ROS no longer applies, I understand I must resume monitoring of all outfalls as specified in my NPDES permit. I certify that I am familiar with the information contained in this application and that to the best of my knowledge and belief such information is true, complete,and accurate. Printed Name of Person Signing: Them-P.Haaf Title: Vice President-Harris V ar Plant00, 9- 1.45 (Signature of Applicant) (Date Signed) Please note: This application for Representative Outfall Status is subject to approval by the NCDEQ Regional Office. The Regional Office may inspect your facility for compliance with the conditions of the permit prior to that approval. Final Checklist for ROS Request This application should include the following items: ❑ This completed form. ❑ Letter or narrative elaborating on the reasons why specified outfalls should be granted representative status,unless all information can be included in Question 4. ❑ Two(2)copies of a site map of the facility with the location of all outfalls clearly marked, including the drainage areas,industrial activities,and raw materials/finished products within each drainage area. ❑ Summary of results from monitoring conducted at the outfalls listed in Question 3. ❑ Any other supporting documentation. Page 2 of 3 SWU-ROS-2009 Last revised 12/30/2009 Representative Outfall Status Request Mail the entire package to: NCDEQ DEMLR at the appropriate Regional Office (See map and addresses below) Notes The submission of this document does not guarantee Representative Outfall Status (ROS) will be granted as requested. Analytical monitoring as per your current permit must be continued, at all outfalls, until written approval of this request is granted by DEQ. Non-compliance with analytical monitoring prior to this request may prevent ROS approval. Specific circumstances will be considered by the Regional Office responsible for review. For questions, please contact the DEQ Regional Office for your area. Win da ie r ie y try ngrcn Asheville Regional Office 2090 U.S. Highway 70 Swannanaa, NC 28778 Washington Regional Office 943 Washington Square Mall Phone (828) 296-4500 Washington, NC 27889 FAX (828) 299-7043 Phone (252) 946-6481 Fayetteville Regional Office FAX (252) 975-3716 Systel Building, 225 Green St., Suite 714 Wilmington Regional Office Fayetteville, NC 28301-5094 127 Cardinal Drive Extension Phone (910) 433-3300 Wilmington, NC 28405 FAX 9101486-0707 Phone (910) 796-7215 Mooresville Regional Office FAX {910} 350-2004 610 East Center Ave. Winston-Salem Regional Office Mooresville, NC 28115 585 Waughtown Street Winston-Salem, NC 27107 Phone (704) 663-1699 Phone (336) 771-5000 FAX (704) 663-6040 Water Quality Main FAX (336) 771-4630 Raleigh Regional Office Central Office 1628 Mail Service Center 1612 Mail Service Center Raleigh, NC 27699-1628 Raleigh, NC 27699-1612 Phone (919) 791-4200 Phone (919) 807-6300 FAX (919) 571-4718 FAX (919) 807-6494 Page 3 of 3 5WU-ROS-2009 Last revised 12/30/2009 Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0212 Enclosures Representative Outfall Status Request(ROS) Draft NPDES Stormwater Permit NCS000606 (4 pages including cover) Duke Energy requests that the ROS be reviewed and acted upon prior to issuance of the new permit. NC DEQ has historically allowed ROS at SW-003 and SW-006 at the HNP for the wastewater NPDES permit (NC0039586). Table 1. Summary of ROS Request Outfall Represents SW-003 SW-002,SW-003,SW-004,SW-005 SW-006 SW-001,SW-006, SW-008,SW-009,SW-B Figure 1. Existing Outfolls at the Harris Nuclear Plant 7- Figure 2. Proposed ROS at the Harris Nuclear Plant -r a� lof3 SW-003 Representative Status for SW-002 SW-003 SW-004 and SW-005 Duke Energy is requesting that representative outfall status where SW-003 will represent outfalls SW- 003, SW-002, SW-004, and SW-005. SW-003 was chosen for monitoring because it has the most potential to capture pollutants from a potential release as it has the most industrial activities of all the represented outfalls. Each industrial activity in the other drainage areas is also performed in SW-003 (see Table 2). Table 2. Industrial Activities Performed in Each Drainage Area industrial Activity 11 11 11' 11 Vehicle and equipment parking Occasional non-SW discharges d d VO Above/below ground storage and associated I loading/unloading -transformer operation Cooling tower operation VO l Sewage lift stations' V0 Indoor chemical and equipment storage i r/ I E_aydown storage area Note 1: Duke Energy is requesting removal of parameters associated with sewage lift stations as part of the permit issuance as they are covered under wastewater NPDES Permit NCO039586 and HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health, and the environment Nate 2:The lay down storage area in Drainage Area S (SW-005)is temporary due to construction and will no longer be utilized for outdoor storage when construction is completed.Construction is scheduled to be completed by December 1, 2023. 2of3 SW-006 Representative Status for SW-001, SW-006, SW-008, SW-009, SW-B Duke Energy is requesting that representative outfall status where SW-006 will represent outfalls SW- 006, SW-001, SW-008, SW-009, and SW-B. SW-006 was chosen for monitoring because it has the most potential to capture pollutants from a potential release as it has the most industrial activities of all the represented outfalls. Each industrial activity in the other drainage areas is also performed in SW-006 (see Table 3). Table 3. Industrial Activities Performed in Each Drainage Area Laydown storage area' YO Occasional non-SW discharges Indoor chemical and equipment storage VO Transformer operation Above/below ground j storage/emergency power generation i V and associated loading/unloading Vehicle and equipment parking Sewage lift stations' -- � - � ------..____ - _ -- .---------__-- Recycling, compacting, general refuse handling Fueling Drinking water treatment i Bulk storage of sand, gravel, and crushed stone' Note 1: Duke Energy is requesting removal of parameters associated with sewage lift stations as part of the permit issuance as they are covered under wastewater NPDES Permit NCO039586 and HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health, and the environment. Note 2: Duke Energy is willing to submit a lay down area consolidation plan by March 31, 2024, to facilitate ROS.The lay down area consolidation plan would include a proposal for consolidating outdoor storage areas that can be moved and cover of those that cannot. Minimizing exposure of bulk storage areas will be discussed in the lay down area consolidation plan as well. 3of3 Thomas P. Haaf DUKE Vice President Harris Nuclear Plant ENERGY, 5413 Shearon Harris Rd New Hill NC 27562-9300 AUG 0 9 2023 Serial: RA-23-0213 Certified Mail Number: 7014 2120 0003 3196 6852 `n- Return Receipt Requested AUG Mr. Douglas Ansel, Interim Director NC DEQ DEMLR 1612 Mail Service Center Raleigh, NC 27699-1612 Subject: Comments — Draft NPDES Stormwater Permit NCS000606 Harris Nuclear Plant 5413 Shearon Harris Road New Hill, NC 27562 Wake County Dear Mr. Ansel: Duke Energy would like to thank the North Carolina Department of Energy, Mineral, and Land Resources (NC DEQ DEMLR; Young & Valentine) for participating in a Teams call meeting on July 27, 2023, to discuss the draft National Pollutant Discharge Information Service (NPDES) Permit (NCS000606) for Harris Nuclear Plant (HNP). Attached are comments on the draft permit that reflect that discussion. These comments have been provided with the understanding that NC DEQ DEMLR will complete a site visit after review of comments and before issuance of a final permit. If you have any questions regarding this matter, please do not hesitate to contact Mr. Bob Wilson, HNP Site Environmental Professional, at (984) 229-2444. Sincerely, Thomas P. Haaf Enclosure: NCS000606 Draft Permit— List of Comments NCS000606 Draft Permit— ROS Request Letter RA-23-0212 Comments— Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 /page 2 CC: Certified Mail Number: 7014 2120 0003 3196 6869 Return Receipt Requested Thad Valentine— RRO Stormwater Program NC DEQ DEMLR Raleigh Regional Office 3800 Barrett Drive, Raleigh, NC 27609 Certified Mail Number: 7014 2120 0003 3196 6876 Return Receipt Requested Brianna Young — Industrial Program Individual Permit Coordinator DEMLR Central Office 1612 Mail Service Center Raleigh, NC 27699-1612 Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures NCS000606 Draft Permit— List of Comments (10 pages including cover) Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures REPRESENTATIVE OUTFALL STATUS REQUEST Comment 1.: A Representative Outfall Status Request (ROS) has been submitted to NC DEQ DEMLR's Raleigh Regional Office, The ROS request form is attached for reference. Duke Energy requests that the ROS be reviewed and acted upon prior to issuance of the new permit. NC DEQ has historically allowed ROS at SW-003 and SW-006 at the HNP for the existing NPDES Wastewater Permit. The following is a summary of the ROS request. Table 1. SummaDl of ROS Request • 1 Represents SW- SW-0fl2, SW-003, SW-004, SW-005 003 SW SW-001, SW-006, SW-008, SW-009, 006 SW-B Figure 9. Existing Outfalls at the Harris Nuclear Plant Al *_ Fi ure 2. Pro osed ROS at the Harris Nuclear Plant A, Y Y 16. MAW j• ram.} /d Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures Monitoring Parameter Review Comment 2: Based on the ROS request and review of general permits for similar industrial activities, Duke Energy requests the following monitoring parameters for the representative outfalls. Duke Energy would like to note that the monitoring parameters for SW-006 exceed those proposed in the current draft permit. Please see the following comments for a discussion of individual parameters that do not reflect the industrial activities at HNP. Table 2. Proposed Monitoring Parameters— SW-003, SW-002, SW-004, SW-005 11 11 I1 11 Total Suspended TSS TSS TSS Solids (TSS) pH pH pH pH Total Rainfall Total Rainfall Total Rainfall Total Rainfall - - - Total Copper' - Total Lead' - - - Total Zinc' - - - Total Hardness' Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Grease Grease Grease Grease Monthly Oil Monthly Oil Monthly Oil Monthly Oil Usage Usage Usage Usage Chemical Oxygen Demand COD COD COD (COD) Biochemical Oxygen Demand BOD BOD BOD (BOD) Total Residual Chlorine - Fecal Coliform - Fecal Coliform Ammonia Nitrogen Total Nitrogen - - - Total Chromium - Total Nickel Note 1: The lay down storage area in Drainage Area 5 (SW-005) is temporary due to construction and will no longer be utilized for outdoor storage when construction is completed. Construction is scheduled to be completed by DATE, Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures Table 3. Proposed Monitoring Parameters— SW-006, SW-009, SW-008, SW-009, SW-B 116 11 11 ' 11 ' TSS TSS TSS ' TSS TSS pH - pH pH pH pH Total Rainfall Total Rainfall Total Rainfall Total Rainfall Total Rainfall Total Copper Total Copper Total Copper Total Copper - Total Lead Total Lead Total Lead Total Lead - Total Zinc2 Total Zinc Total Zinc Total Zinc - Total Hardness2 Total Hardness Total Hardness Total Hardness - Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Grease Grease Grease Grease Grease Monthly Oil Usage Monthly Oil Usage Monthly Oil Usage Monthly Oil Usage Monthly Oil Usage COD COD COD COD COD BOD BOD BOD BOD BOD Fecal Coliform Fecal Coliform - - - Ammonia - - - Nitrogen Total Nitrogen - - - - Total Chromium Total Chromium Total Chromium - Total Nickel Total Nickel Total Nickel - - Total Iron Total Iron - Note 2: Duke Energy would like to note that the monitoring parameters for SW-006 exceed those proposed in the current draft permit. To facilitate ROS, Duke Energy proposes monitoring these additional parameters at SW-006_ Non-Polar Oil & Grease, Monthly Oil Usage Comment 3: Duke Energy requests removal of non-polar oil & grease and monthly oil usage from the monitoring parameters. Duke Energy has established the following procedures to minimize or ensure no exposure of oil, petroleum products, and other chemicals to stormwater: All storage tanks and the associated loading/unloading areas are located within secondary containment. Depending on the material in containment, water in the secondary containment is either emptied back into the process, treated by an oil water separator and discharged to the sanitary sewer for additional treatment, or removed by a contractor after testing. No stormwater from secondary containment is discharged to the environment. See Figure 3. As a redundant measure of safety, secondary containment outlets are locked and equipped with "Petro Plugs," which solidify when exposed to oil or petroleum products. The Petro Plugs are a backup in case the outlet fails or is left open and will prevent stormwater containing oil or petroleum products from passing through the outlet. Loading and unloading to all tanks is performed in secondary containment. The loading and unloading areas have been constructed to ensure hoses and piping are located within the containment to prevent exposure. See Figure 3. Except for very large equipment (e.g., cranes) and fixed transformers in Drainage Areas 2 and 3 (SW-002 and SW-003), vehicle and equipment maintenance are performed off-site. On the occasions when fixed transformers or very large equipment require routine maintenance on site, temporary secondary containment is deployed during such maintenance activities. Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures The fuel island is equipped with a spill kit. HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health and the environment. HNP employees undergo annual training on spill recognition, spill prevention, and associated spill procedures. Fi ure 3. Secondary Containment and Loading/Unloading Examples I - I I i n: � F 4 1" Comments--Draft NPDES Storm water Permit NCS000606 Serial: RA-23-0213 Enclosures XIt vz� r .r���{m��t' arc• - nY cy, -'r A'{ k Al'I Sr�Y a� �• Ya Additionally, sampling at SW-003 and SW-006 submitted on June 17, 2022, in EPA Form 2F indicated no detectable levels of oil and grease. Table 4. Samolinq from 2022 i 1 Draft Permit Parameter0i ii . j Benchmark Oil & Grease <4.8 mg1l' <4.8 mg/P 15 mgll Note 3. Less than the detection limit. Chemical Oxygen Demand (COD) Comment 4: Duke Energy requests removal of COD from the monitoring parameters. Duke Energy has established the procedures described above to minimize exposure of chemicals used on site to stormwater. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated no detectable levels of COD. Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures Table 5. Samyfinq from 2022 Parameter SW-003Fi . Draft Permit Benchmark COD <25 mg113 <25 mg113 120 mg/1 Note 3. Less than the detection limit. Biochemical Oxygen Demand (BOD) Comment 5: Duke Energy requests removal of BOD from the monitoring parameters. HNP is part of a voluntary wildlife sanctuary and has a large existing wildlife (e.g., deer, geese, turkeys, and many others) population on-site, which would be a significant source of this pollutant. No industrial processes at the site are expected to be a source of BOD. Duke Energy employs the following practices to minimize exposure to stormwater: Dumpsters that contain general refuse are scheduled for emptying weekly and the lids are closed when not in use. The trash compactor located on site is not open to rainwater and is not expected to contact stormwater. Fertilizer is not applied as part of landscape management. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated BOD was undetectable or detected at levels significantly below the proposed benchmarks. Table 6. Samplin from 2022 Draft Permit 11 il . Benchmark BOD 2.3 mgll <2.0 mg113 30 mg!l_ Note 3. Less than the detection limit. Total Residual Chlorine Comment 6: Duke Energy requests removal of total residual chlorine from the monitoring parameters. Total residual chlorine is monitored under the existing wastewater NPDES permit (NC0039586) at the outfalls requested for ROS. Duke Energy has established the procedures described above to minimize exposure to stormwater as well as the following specific procedures: The chlorine tank in Drainage Area 3 (SW-003) and the loading/unloading area are located within secondary containment which drains back to the process water and is not discharged to the environment. The cooling system employs a dichlorination system. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated no detectable levels of total residual chlorine. Table 7. Sam fin from 2022 Draft Parameter 11 11 . Benchmark Total Residual <0.05 mg113 <0.05 mg113 28 ugll Chlorine Note 3. Less than the detection limit. Comments—Draft NPDES Storm water Permit NCS000606 Serial: RA-23-0213 Enclosures Fecal Coliform Comment 7: Duke Energy requests removal of fecal coliform from the monitoring parameters. HNP is part of a voluntary wildlife sanctuary and has a large existing wildlife (e.g., deer, geese, turkeys, and many others) population on-site, which would be a significant source of this pollutant. While sewage lift stations are located on site, they are operated as part of the wastewater treatment system which operates and is monitored under the existing wastewater NPDES permit (NC0039586). HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health and the environment. Except for operating the wastewater treatment plant, which is permitted separately, no industrial processes are expected to be a source of fecal coliform. Ammonia Nitrogen Comment 8: Duke Energy requests removal of ammonia nitrogen from the monitoring parameters. The ammonia tank in Drainage Area 5 (SW-005) is abandoned and has been closed. Duke Energy is willing to consider re-cleaning the tank to provide appropriate documentation for closure to NC DEQ DEMLR if requested. No active industrial processes at the site are expected to be a source of ammonia nitrogen. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated no detectable levels of ammonia. Table 8. Samolina from 2022 braft Permit Parameter SW-003 l . Benchmark Ammonia (NH3 as <0.10 mg113 <0.10 mg113 5.6-15 mgll N) Note 3. Less than the detection limit. Total Nitrogen Comment 9: Duke Energy requests removal of total nitrogen from the monitoring parameters. HNP is part of a voluntary wildlife sanctuary and has a large existing wildlife (e.g., deer, geese, turkeys, and many others) population on-site, which would be a significant source of this pollutant. Duke Energy employs the following practices to minimize exposure to stormwater: While a nitrogen aboveground storage tank (AST) is located on site, the tank contains nitrogen in a gaseous form used to purge lines. A release from the tank would be to the atmosphere and would not have an impact to stormwater. No industrial processes at the site are expected to be a source of total nitrogen to stormwater runoff. Fertilizer is not applied as part of landscape management. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated total nitrogen was detected significantly below the proposed benchmarks. Table 9. Sameng from 2022 ___...__.F,_.__.. -i _ - Parameter fl 11 . Benchmark Total Nitrogen 1 A mgll 1.6 mgll 30 mg/l Comments—Draft NPDES Storaiwater Permit NCS000606 Serial: RA-23-0213 Enclosures Total Chromiurri Comment 10:'Duke Energy requests removal of total chromium from the monitoring parameters. Total chromium is not a sampling parameter for similar general permits with outdoor materials storage/lay down areas ( Table 10). One historic process at the plant used chromium, but that process is no longer active and was conducted inside the main plant building in Drainage Area 6 (SW-006). No active industrial processes are expected to be a source of total chromium and thus has no reasonable potential to be in the industrial stormwater. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated total chromium was undetectable or detected at levels significantly below the proposed benchmarks. Table 10. Metal Sampling Comparison from Related General Permits NCG030000 NCG100000 NCG200000 NCS000606 Metal Fabrication Used Motor Scrap Metal • Vehicles Copper - Copper Copper Lead Lead Lead Lead Zinc - Zinc Zinc - - - Chromium i Table 11. Sam lin from 2022 PermitDraft r li 11 . Benchmark Chromium 1.46 ug/I <1.0 494-3 905 ugll Note 3. Less than the detection limit. Total Nickel Comment 11: Duke Energy requests removal of total nickel from the monitoring parameters. Total nickel is not a sampling parameter for similar general permits with outdoor materials storage/lay down areas ( Table 12). No industrial processes at the site are expected to be a source of total nickel and thus has no reasonable potential to be in the industrial stormwater. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated nickel was undetectable or detected significantly below the proposed benchmarks. Table 12. Metal SamDlinq Com arison from Related General Permits _NCG! ill # NCG100000 NCG200000 lli , i .Fabrication - Metal - • Motor Scrap Metal Shearon Vehicles Copper _ Copper f Copper Lead Lead Lead Lead Zinc - Zinc Zinc - - r Nickel Table 13. Sampling from 2022 Parametet i t3 SW-006 Draft Comments—Draft NPDES Storm�vater Permit NCS000606 Serial: RA-23-0213 Enclosures Benchmark Nickel 1.04 ugll <1.0 ugll3 335 ugll Note 3. Less than the detection limit. Total iron Comment 12: Duke Energy requests removal of total iron from the monitoring parameters. Total iron is not a sampling parameter for similar general permits with outdoor materials storage/lay down areas (see Table 14). In 2015, the NC DEQ DWR removed iron from the surface water standards when assessment reports indicated exceedances of the iron criteria in every basin. Evaluations of elevated levels did not correlate with individual dischargers, urban settings nor mining operations. Table 14. Metal Sampling Comparison from Related General Permits NCG030000 NCG100000 NCG200000 NCS000606 Metal Fabrication Used Motor Scrap Metal Shearon Vehicles Copper - Copper Copper Lead Lead Lead Lead Zinc - T Zinc Zinc Iron Table 15. Sam ling from 2022 _ Permit Parameter ! 1 11 . Iron 0.309 mg/l 0.050 mgll - Additional Considerations Comment 13: The lay down storage area in Drainage Area 5 (SW-005) is temporary due to construction and will no longer be utilized for outdoor storage when construction is completed. Construction is scheduled to be completed by DATE. Duke Energy is willing to submit a lay down area consolidation plan by March 31, 2024, to facilitate ROS for the remainder of the outfalls. The lay down area consolidation plan would include a proposal for consolidating outdoor storage areas that can be moved and cover of those that cannot. Comment 14: Per discussion with NC DEQ DEMLR on July 27, 2023, if NC DEQ DEMLR does not agree with Duke Energy's assessment to justify removal of total chromium, total nickel, and COD as monitoring parameters after the site visit, Duke Energy is willing to consider sampling for a year (four (4) quarterly samples) to justify removal of these parameters from monitoring if results indicate levels are detected below the proposed benchmarks. Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures NCS000606 Draft Permit—ROS Request Letter RA-23-0212 (14 pages including cover) DUKE Thomas Haaf Vice President ENERGY Harris Nuclear Plant � 5413 Shearon Harris Rd New Hill NC 27562-9300 AUG 0 9 2023 Serial: RA-23-0212 Certified Mail Number: 7014 2120 0003 3196 6821 Return Receipt Requested Mr. Bill Denton-Engineering Supervisor NC DEQ DEMLR Raleigh Regional Office 3800 Barrett Drive, Raleigh, NC 27609 Subject: Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Harris Nuclear Plant(HNP) 5413 Shearon Harris Road New Hill,NC 27562 Wake County Dear Mr. Denton: Enclosed are the Permit Owner Affiliation Designation Form and the Stormwater Delegation of Signature Authority Form (DOSA) for the Harris Nuclear Plant. Please update your records as necessary. If you have any questions regarding this matter, please do not hesitate to contact Mr. Bob Wilson, HNP Site Environmental Professional, at (984) 229-2444. Sincerely, Thomas P. Haaf Enclosure: Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0212 /page 2 CC: Certified Mail Number: 7014 2120 0003 3196 6838 Return Receipt Requested Thad Valentine — RRO Stormwater Program NC DEQ DEMLR Raleigh Regional Office 3800 Barrett Drive, Raleigh, NC 27609 Certified Mail Number: 7014 2120 0003 3196 6845 Return Receipt Requested Brianna Young —Stormwater Permitting Program DEMLR Central Office 1612 Mail Service Center Raleigh, NC 27699-1612 Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0212 Enclosures Representative Outfall Status Request(ROS) Draft NPDES Stormwater Permit NCS000606 (4 pages including cover) Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0212 Enclosures Representative Outfall Status Request(ROS) Draft NPDES Stormwater Permit NCS000606 Attachment 1 (4 pages including cover) FOR AGENCY USE ONLY Division of Energy, Mineral & Land Resources Date Received Year Mvnth pay Stormwater Program National Pollutant Discharge Elimination System Environmental REPRESENTATIVE OUTFALL STATUS (ROS) Quality REQUEST FORM If a facility is required to sample multiple discharge locations with very similar stormwater discharges, the permittee may petition the Director for Representative Outfall Status(ROS). DEQ may grant Representative Outfall Status if stormwater discharges from a single outfall are representative of discharges from multiple outfalls. Approved ROS will reduce the number of outfalls where analytical sampling requirements apply. If Representative Outfall Status is,granted,ALL outfalls are still subject to the qualitative monitoring requirements of the facility's permit—unless otherwise allowed by the permit(such as NCG020000) and DEQ approval. The approval letter from DEQ must be kept on site with the facility's Stormwater Pollution Prevention Plan. The facility must notify DEQ in writing if any changes affect representative status. For questions, please contact the DEQ Regional Office for your area (see page 3). (Please print or type) 1) Enter the permit number to which this ROS request applies: Individual Permit (or) Certificate of Coverage N I C I SO 10 106 1 1 N I C I G 2) Facility information: Owner/Facility Name Duke Energy Progress,LLC 1 Shearon Harris Nuclear Plant Facility Contact Bob Wilson Street Address 5413 Shearon Harris Road City New Hill State NC ZIP Code 27562 County Wake E-mail Address Bob.Wilsona@duke-ener9y.com Telephone No. 984 229-2444 Fax: 3) List the representative outfalls) information (attach additional sheets if necessary): Outfall(s) SW-003 is representative of Dutfall(s) SW-002,SW-003,SW-004,and SW-005 Outfalls' drainage areas have the same or similar activities? 2q Yes n No Outfalls' drainage areas contain the same or similar materials? &Yes ❑ No Outfalls have similar monitoring results? ❑ Yes ❑ No m No data* Outfall(s) SW-006 is representative of Outfall(s) sw-001,SW-006,sW-007,SW-0D6,SW-009,and SW-e Outfalls' drainage areas have the same or similar activities? rya Yes u No Outfalls' drainage areas contain the same or similar materials? ® Yes ❑ No Outfalls have similar monitoring results? ❑ Yes ❑ No ® No data* Outfall(s) is representative of Outfall(s) Outfalls' drainage areas have the same or similar activities? ❑ Yes ❑ No Outfalls' drainage areas contain the same or similar materials? ❑ Yes ❑ No Outfalls have similar monitoring results? ❑ Yes ❑ Na ❑ No data* *Non-compliance with analytical monitoring prior to this request may prevent ROS approval. Specific circumstances will be considered by the Regional Office responsible for review. Page 1 of 3 SWU-ROS-2009 Last revised 12/30/2009 Representative Outfall Status Request 4) Detailed explanation about why the outfalls above should be granted Representative Status: (Or,attach a letter or narrative to discuss this information.) For example,describe how activities and/or materials are similar. Please see Attachment 1 for more detailed explanation. 5) Certification: North Carolina General Statute 143-215.6 B(i) provides that: Any person who knowingly makes any false statement, representation,or certification in any application,record, report,plan,or other document filed or required to be maintained under this Article or a rule implementing this Article;or who knowingly makes a false statement of a material fact in a rulemaking proceeding or contested case under this Article;or who falsifies,tampers with,or knowingly renders inaccurate any recording or monitoring device or method required to be operated or maintained under this Article or rules of the[Environmental Management] Commission implementing this Article shall be guilty of a Class 2 misdemeanor which may include a fine not to exceed ten thousand dollars($10,000). 1 hereby request Representative Outfall Status for my NPDES Permit. I understand that ALL outfalls are still subject to the qualitative monitoring requirements of the permit, unless otherwise allowed by the permit and regional office approval. I must notify DEQ in writing if any changes to the facility or its operations take place after ROS is granted that may affect this status. If ROS no longer applies, I understand I must resume monitoring of all outfalls as specified in my NPDES permit. I certify that I am familiar with the information contained in this application and that to the best of my knowledge and belief such information is true, complete,and accurate. Printed Name of Person Signing: Thomas P.Haaf Title: Vice President-Harris N ar Plant J (Signature of Applicant) (Date Signed) Please note: This application for Representative Outfall Status is subject to approval by the NCDEQ Regional Office. The Regional Office may inspect your facility for compliance with the conditions of the permit prior to that approval. Final Checklist for ROS Request This application should include the following items: ❑ This completed form. ❑ Letter or narrative elaborating on the reasons why specified outfalls should be granted representative status, unless all information can be included in Question 4. ❑ Two (2)copies of a site map of the facility with the location of all outfalls clearly marked, including the drainage areas, industrial activities, and raw materials/finished products within each drainage area. ❑ Summary of results from monitoring conducted at the outfalls listed in Question 3. o Any other supporting documentation. Page 2 of 3 SWU-ROS-2009 Last revised 12/30/2009 Representative Outfali Status Request Mail the entire package to: NCDEQ DEMLR at the appropriate Regional Office (See map and addresses below) Notes The submission of this document does not guarantee Representative Outfall Status (ROS)will be granted as requested. Analytical monitoring as per your current permit must be continued,at all outfalls, until written approval of this request is granted by DEQ. Non-compliance with analytical monitoring prior to this request may prevent ROS approval. Specific circumstances will be considered by the Regional Office responsible for review. For questions, please contact the DEQ Regional Office for your area. \F aft 'lie ��n�Fan V r Asheville Regional Office 2090 U.S. Highway 70 Swannanoa, NC 28778 Washington Regional Office 943 Washington Square Mall Phone (828) 296-4500 Washington, NC 27889 FAX (828) 299-7043 Phone (252) 946-6481 Fayetteville Regional Office FAX (252) 975-3716 Systel Building, 225 Green St., Suite 714 Wilmington Regional Office Fayetteville, NC 28301-5094 127 Cardinal Drive Extension Wilmington, NC 28405 Phone (910) 433-3300 FAX 9101486-0707 Phone (910) 796-7215 FAX (910) 350-2004 Mooresville Regional Office 610 East Center Ave. Winston-Salem Regional Office Mooresville, NC 28115 585 Waughtown Street Winston-Salem, NC 27107 Phone (704) 663-1699 Phone (336) 771-5000 FAX (704) 663-6040 Water Quality Main FAX (336) 771-4630 Raleigh Regional Office Central Office 1628 Mail Service Center 1612 Mail Service Center Raleigh, NC 27699-1628 Raleigh, NC 27699-1612 Phone (919) 791-4200 Phone (919) 807-6300 FAX (919) 571-4718 FAX (919) 807-6494 Page 3 of 3 SWU-ROS-2009 Last revised IW30/2009 ATTACHMENT 1 SUMMARY OF ROS REQUEST Duke Energy requests that the ROS be reviewed and acted upon prior to issuance of the new permit. NC DEQ has historically allowed ROS at SW-003 and SW-006 at the HNP far the wastewater NPDES permit (NC0039586). Table 1.Summary of ROS Request Outfall Represents SW-003 SW-002,SW-003,SW-004,SW-005 SW-006 SW-001,SW-006,SW-008,SW-009, SW-B Figure 1. Existing Outfolls at the Harris Nuclear Plant 'ZOO ,. Figure 2. Proposed ROS at the Harris Nuclear Plant A .�� 9 2 8 •;, 3 All 6 4 Y W. ... ' yrfiZ 103 ATTACHMENT 1 SUMMARY OF ROS REQUEST SW-003 Representative Status for SW-002, SW-003, SW-004, and SW-005 Duke Energy is requesting that representative outfall status where SW-003 will represent outfalls SW- 003,SW-002, SW-004, and SW-005. SW-003 was chosen for monitoring because it has the most potential to capture pollutants from a potential release as it has the most industrial activities of all the represented outfalls. Each industrial activity in the other drainage areas is also performed in SW-003 (see Table 2). Table 2. Industrial Activities Performed in Each Drainage Area Industrial Activity 00 00 00 00 Vehicle and equipment parking V V V �► Occasional non-SW discharges V �! Above/below ground storage and associated V V V loading/unloading Transformer operation V V Cooling tower operation V V Sewage lift stations'- V V Indoor chemical and equipment storage V Laydown storage areal V Note 1: Duke Energy is requesting removal of parameters associated with sewage lift stations as part of the permit issuance as they are covered under wastewater NPDES Permit NC0039586 and HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health,and the environment. Note 2:The lay down storage area in Drainage Area 5 (SW-005) is temporary due to construction and will no longer be utilized for outdoor storage when construction is completed.Construction is scheduled to be completed by December 1, 2023. 2of3 ATTACHMENT 1 SUMMARY OF ROS REQUEST SW-006 Representative Status for SW-001, SW-006,SW-008, SW-009,SW-B Duke Energy is requesting that representative outfall status where SW-006 will represent outfalls SW- 006,SW-001,SW-008, SW-009, and SW-B. SW-006 was chosen for monitoring because it has the most potential to capture pollutants from a potential release as it has the most industrial activities of all the represented outfalls. Each industrial activity in the other drainage areas is also performed in SW-006 (see Table 3). Table 3. Industrial Activities Performed in Each Drainage Area Laydown storage area' 400 Occasional non-SW discharges Indoor chemical and equipment storage % Transformer operation VO Above/below ground storage/emergency power generation v and associated loading/unloading Vehicle and equipment parking ,/ YO y Sewage lift stations' v Recycling, compacting, general refuse handling Fueling Drinking water treatment Bulk storage of sand, gravel, and crushed 40 stone2 Note 1: Duke Energy is requesting removal of parameters associated with sewage lift stations as part of the permit issuance as they are covered under wastewater NPDES Permit NCO039586 and HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health, and the environment. Note 2: Duke Energy is willing to submit a lay down area consolidation plan by March 31, 2024,to facilitate ROS.The lay down area consolidation plan would include a proposal for consolidating outdoor storage areas that can be moved and cover of those that cannot. Minimizing exposure of bulk storage areas will be discussed in the lay down area consolidation plan as well. 3of3 �' DUKE 541 Thomas P. Haaf Vice President 4 ENERGY. Harris Nuclear Plant 3 Shearon Harris Rd New Hill NC 27562-9300 AUG 0 9 2023 Serial: RA-23-0213 Certified Mail Number: 7014 2120 0003 3196 6852 Return Receipt Requested Mr. Douglas Ansel, Interim Director NC DEQ DEMLR 1612 Mail Service Center Raleigh, NC 27699-1612 Subject: Comments— Draft NPDES Stormwater Permit NCS000606 Harris Nuclear Plant 5413 Shearon Harris Road New Hill, NC 27562 Wake County Dear Mr. Ansel: Duke Energy would like to thank the North Carolina Department of Energy, Mineral, and Land Resources (NC DEQ DEMLR; Young &Valentine) for participating in a Teams call meeting on July 27, 2023, to discuss the draft National Pollutant Discharge Information Service (NPDES) Permit (NCS000606) for Harris Nuclear Plant (HNP). Attached are comments on the draft permit that reflect that discussion. These comments have been provided with the understanding that NC DEQ DEMLR will complete a site visit after review of comments and before issuance of a final permit. If you have any questions regarding this matter, please do not hesitate to contact Mr. Bob Wilson, HNP Site Environmental Professional, at (984) 229-2444. Sincerely, Thomas P. Haaf Enclosure: NCS000606 Draft Permit— List of Comments NCS000606 Draft Permit— ROS Request Letter RA-23-0212 Comments— Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213/page 2 CC: Certified Mail Number: 7014 2120 0003 3196 6869 Return Receipt Requested Thad Valentine— RRO Stormwater Program NC DEQ DEMLR Raleigh Regional Office 3800 Barrett Drive, Raleigh, NC 27609 Certified Mail Number: 7014 2120 0003 3196 6876 Return Receipt Requested Brianna Young — Industrial Program Individual Permit Coordinator DEMLR Central Office 1612 Mail Service Center Raleigh, NC 27699-1612 Comments— Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 /page 3 bc: Scott Brooks Joseph Francom William Gunter Dave Hoffman Don Safrit Bob Wilson Darlene Wallace Nuclear Records Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures NCS000606 Draft Permit— List of Comments (10 pages including cover) Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures REPRESENTATIVE OUTFALL STATUS REQUEST Comment 1: A Representative Outfall Status Request (ROS) has been submitted to NC DEQ DEMLR's Raleigh Regional Office. The ROS request form is attached for reference. Duke Energy requests that the ROS be reviewed and acted upon prior to issuance of the new permit. NC DEQ has historically allowed ROS at SW-003 and SW-006 at the HNP for the existing NPDES Wastewater Permit. The following is a summary of the ROS request. Table 1. Summary of ROS Re guest Outfall Represents_ SW- SW-002, SW-003, SW-004, SW-005 003 SW- SW-001, SW-006, SW-008, SW-009, 006 SW-B Fi ure 1. Ex.stin Outfalls at the Harris Nuclear Plant 11: 19 - 2 3 1 1 4 _ 5 •a �-1 7 f Fi ure 2. Proposed ROS at the Harris Nuclear Plant . A ! 11 9 2 8 3 3 5 6 4 7 11. Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures Monitoring Parameter Review Comment 2: Based on the ROS request and review of general permits for similar industrial activities, Duke Energy requests the following monitoring parameters for the representative outfalls. Duke Energy would like to note that the monitoring parameters for SW-006 exceed those proposed in the current draft permit. Please see the following comments for a discussion of individual parameters that do not reflect the industrial activities at HNP. Table 2. Proposed Monitoring Parameters— SW-003, SW-002, SW-004, SW-005 SW-00300 00 00 Total Suspended TSS TSS TSS Solids (TSS) _ pH pH--- pH pH Total Rainfall Total Rainfall Total Rainfall Total Rainfall_ --- _ Total Copper' - Total Lead' [—_ -- - Total Zinc' Total Hardness' l Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Grease _ Grease Grease Grease Monthly Oil Monthly Oil Monthly Oil Monthly Oil Usage Usage Usage Usage _ Chemical Oxygen Demand COD COD COD (COD) _- - - ----! --- ---- - -- — --- Biochemical Oxygen Demand BOD BOD BOD Total Residual Chlorine Fecal Coliform - Fecal Coliform - Ammonia _ Nitrogen ` - Total Nitrogen - Total Chromium - Total Nickel Note 1: The lay down storage area in Drainage Area 5 (SW-005) is temporary due to construction and will no longer be utilized for outdoor storage when construction is completed. Construction is scheduled to be completed by DATE. Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures Table 3. Pro nosed Monitorina Parameters— SW-006, SW-001, SW-008, SW-009, SW-B TSS TSS TSS TSS TSS PH _ pH pH pH pH Total Rainfall Total Rainfall _ Total Rainfall Total Rainfall Total Rainfall _ Total Copper2 Total Copper_ Total Copper Total Copper - Total Lead Total Lead Total Lead _ Total Lead - Total Zinc2 Total Zinc Total Zinc Total Zinc _ - [Total Hardness2 Total Hardness Total Hardness ' Total Hardness - Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Non-Polar Oil & Grease Grease Grease Grease Grease Monthly Oil Usage Monthly Oil Usage Monthly Oil Usage Monthly Oil Usage Monthly Oil Usage COD COD COD ICOD COD BO_D_ BOD BOD ; BOD BOD Fecal Coliform Fecal Coliform - _ - - Ammonia - - - Nitrogen l Total Nitrogen - Total Chromium Total Chromium I Total Chromium Total Nickel Total Nickel j Total Nickel - _ Total Iron Total Iron - Note 2: Duke Energy would like to note that the monitoring parameters for SW-006 exceed those proposed in the current draft permit. To facilitate ROS, Duke Energy proposes monitoring these additional parameters at SW-006. Non-Polar Oil & Grease, Monthly Oil Usage Comment 3: Duke Energy requests removal of non-polar oil & grease and monthly oil usage from the monitoring parameters. Duke Energy has established the following procedures to minimize or ensure no exposure of oil, petroleum products, and other chemicals to stormwater: All storage tanks and the associated loading/unloading areas are located within secondary containment. Depending on the material in containment, water in the secondary containment is either emptied back into the process, treated by an oil water separator and discharged to the sanitary sewer for additional treatment, or removed by a contractor after testing. No stormwater from secondary containment is discharged to the environment. See Figure 3. As a redundant measure of safety, secondary containment outlets are locked and equipped with "Petro Plugs," which solidify when exposed to oil or petroleum products. The Petro Plugs are a backup in case the outlet fails or is left open and will prevent stormwater containing oil or petroleum products from passing through the outlet. Loading and unloading to all tanks is performed in secondary containment. The loading and unloading areas have been constructed to ensure hoses and piping are located within the containment to prevent exposure. See Figure 3. Except for very large equipment (e.g., cranes) and fixed transformers in Drainage Areas 2 and 3 (SW-002 and SW-003), vehicle and equipment maintenance are performed off-site. On the occasions when fixed transformers or very large equipment require routine maintenance on site, temporary secondary containment is deployed during such maintenance activities. Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures The fuel island is equipped with a spill kit. HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health and the environment. HNP employees undergo annual training on spill recognition, spill prevention, and associated spill procedures. Fi ure 3. Secondary Containment and Load' /Unloading Examples i _ ikA i - I 1 1 V r. 1 y 's Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures IT Additionally, sampling at SW-003 and SW-006 submitted on June 17, 2022, in EPA Form 2F indicated no detectable levels of oil and grease. Table 4. Sampling SaMpling from 2022 Draft Permit Parameter 00 00. Benchmark Oil & Grease <4.8 mg/13 <4.8 mg/13 15 mg/l Note 3. Less than the detection limit. Chemical Oxygen Demand (COD) Comment 4: Duke Energy requests removal of COD from the monitoring parameters. Duke Energy has established the procedures described above to minimize exposure of chemicals used on site to stormwater. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated no detectable levels of COD. Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures Table 5. Samolinct from 2022 Draft Permit Parameter i0 0i . Benchmark COD <25 mg/13 <25 mg/13 120 mg/I Note 3. Less than the detection limit. Biochemical Oxygen Demand (BOD) Comment 5: Duke Energy requests removal of BOD from the monitoring parameters. HNP is part of a voluntary wildlife sanctuary and has a large existing wildlife (e.g., deer, geese, turkeys, and many others) population on-site, which would be a significant source of this pollutant. No industrial processes at the site are expected to be a source of BOD. Duke Energy employs the following practices to minimize exposure to stormwater: Dumpsters that contain general refuse are scheduled for emptying weekly and the lids are closed when not in use. The trash compactor located on site is not open to rainwater and is not expected to contact stormwater. Fertilizer is not applied as part of landscape management. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated BOD was undetectable or detected at levels significantly below the proposed benchmarks. Table 6. Samolina from 2022 Draft Permit Parameter i SW-00300. Benchmark BOD 2.3 mg/I <2.0 mg/13 30 mg/I Note 3. Less than the detection limit. Total Residual Chlorine Comment 6: Duke Energy requests removal of total residual chlorine from the monitoring parameters. Total residual chlorine is monitored under the existing wastewater NPDES permit (NC0039586) at the outfalls requested for ROS. Duke Energy has established the procedures described above to minimize exposure to stormwater as well as the following specific procedures: The chlorine tank in Drainage Area 3 (SW-003) and the loading/unloading area are located within secondary containment which drains back to the process water and is not discharged to the environment. The cooling system employs a dichlorination system. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated no detectable levels of total residual chlorine. Table 7. Sam lin from 2022 1 1 Draft Permit Parameter 00 00. Total Residual <0.05 mg/13 <0.05 mg/13 28 ug/I Chlorine Note 3. Less than the detection limit. Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures Fecal Coliform Comment 7: Duke Energy requests removal of fecal coliform from the monitoring parameters. HNP is part of a voluntary wildlife sanctuary and has a large existing wildlife (e.g., deer, geese, turkeys, and many others) population on-site, which would be a significant source of this pollutant. While sewage lift stations are located on site, they are operated as part of the wastewater treatment system which operates and is monitored under the existing wastewater NPDES permit (NC0039586). HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health and the environment. Except for operating the wastewater treatment plant, which is permitted separately, no industrial processes are expected to be a source of fecal coliform. Ammonia Nitrogen Comment 8: Duke Energy requests removal of ammonia nitrogen from the monitoring parameters. The ammonia tank in Drainage Area 5 (SW-005) is abandoned and has been closed. Duke Energy is willing to consider re-cleaning the tank to provide appropriate documentation for closure to NC DEQ DEMLR if requested. No active industrial processes at the site are expected to be a source of ammonia nitrogen. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated no detectable levels of ammonia. Table 8. Sam lin from 2022 Parameter Draft Permit jj::���FSV"06 Benchmark Ammonia (NH3 as <0.10 mg/l, <0.10 mg/l, 5.6-15 mg/I N) Note 3. Less than the detection limit. Total Nitrogen Comment 9: Duke Energy requests removal of total nitrogen from the monitoring parameters. HNP is part of a voluntary wildlife sanctuary and has a large existing wildlife (e.g., deer, geese, turkeys, and many others) population on-site, which would be a significant source of this pollutant. Duke Energy employs the following practices to minimize exposure to stormwater: While a nitrogen aboveground storage tank (AST) is located on site, the tank contains nitrogen in a gaseous form used to purge lines. A release from the tank would be to the atmosphere and would not have an impact to stormwater. No industrial processes at the site are expected to be a source of total nitrogen to stormwater runoff. Fertilizer is not applied as part of landscape management. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated total nitrogen was detected significantly below the proposed benchmarks. Table 9. Samolinq from 2022 Parameter � � 00. Draft Permit Total Nitrogen 1.4 mg/I 1.6 mg/I 30 mg/I Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures Total Chromium Comment 10:'Duke Energy requests removal of total chromium from the monitoring parameters. Total chromium is not a sampling parameter for similar general permits with outdoor materials storage/lay down areas ( Table 10). One historic process at the plant used chromium, but that process is no longer active and was conducted inside the main plant building in Drainage Area 6 (SW-006). No active industrial processes are expected to be a source of total chromium and thus has no reasonable potential to be in the industrial stormwater. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated total chromium was undetectable or detected at levels significantly below the proposed benchmarks. Table 10. Metal Sampling Comparison from Related General Permits MotorMetal Fabrication Used Vehicles Copper opper --Copper Lead Lead Lead Lead Zinc - Zinc Zinc Chromium Table 11. Sampling from 2022 Parameter SW-003 SW_006 Draft Permit Benchmark Chromium 1.46 ug/I <1.0 ug/13 905 ug/I Note 3. Less than the detection limit. Total Nickel Comment 11: Duke Energy requests removal of total nickel from the monitoring parameters. Total nickel is not a sampling parameter for similar general permits with outdoor materials storage/lay down areas ( Table 12). No industrial processes at the site are expected to be a source of total nickel and thus has no reasonable potential to be in the industrial stormwater. Additionally, sampling at SW-003 and SW-006 submitted as part of the permit application indicated nickel was undetectable or detected significantly below the proposed benchmarks. Table 12. Metal Samolina Comparison from Related General Permits Fabrication600 TN-CrG Metal Motor Vehicles - Copper-- --------- Co----- pp Copper Lead Lead Lead Lead Zinc Zinc Zinc _---- -- Nickel _ J Table 13. Sam lin from 2022 Parameter : 0i 00. Draft Permit Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures Benchmark Nickel 1.04 ug/I <1.0 ug/l, 335 ug/I Note 3. Less than the detection limit. Total Iron Comment 12: Duke Energy requests removal of total iron from the monitoring parameters. Total iron is not a sampling parameter for similar general permits with outdoor materials storage/lay down areas (see Table 14). In 2015, the NC DEQ DWR removed iron from the surface water standards when assessment reports indicated exceedances of the iron criteria in every basin. Evaluations of elevated levels did not correlate with individual dischargers, urban settings nor mining operations. Table 14. Metal Sampling Comparison from Related General Permits MotorMetal Fabrication Used Shearon Harris Vehicles Copper - Copper Copper Lead Lead Lead Lead Zinc - Zinc Zinc - - - Iron Table 15. Sam fin from 2022 I Draft Permit Parameter 0i i0. Benchmark Iron 0.309 mg/I 0.050 mg/I Additional Considerations Comment 13: The lay down storage area in Drainage Area 5 (SW-005) is temporary due to construction and will no longer be utilized for outdoor storage when construction is completed. Construction is scheduled to be completed by DATE. Duke Energy is willing to submit a lay down area consolidation plan by March 31, 2024, to facilitate ROS for the remainder of the outfalls. The lay down area consolidation plan would include a proposal for consolidating outdoor storage areas that can be moved and cover of those that cannot. Comment 14: Per discussion with NC DEQ DEMLR on July 27, 2023, if NC DEQ DEMLR does not agree with Duke Energy's assessment to justify removal of total chromium, total nickel, and COD as monitoring parameters after the site visit, Duke Energy is willing to consider sampling for a year (four (4) quarterly samples) to justify removal of these parameters from monitoring if results indicate levels are detected below the proposed benchmarks. Comments—Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0213 Enclosures NCS000606 Draft Permit— ROS Request Letter RA-23-0212 (14 pages including cover) & DUKE Thomas P. Haat Vice President 541 ENERGY. Harris Nuclear Plant 3 Shearon Harris Rd New Hill NC 27562-9300 AUG 09 2023 Serial: RA-23-0212 Certified Mail Number: 7014 2120 0003 3196 6821 Return Receipt Requested Mr. Bill Denton-Engineering Supervisor NC DEQ DEMLR Raleigh Regional Office 3800 Barrett Drive, Raleigh, NC 27609 Subject: Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Harris Nuclear Plant(HNP) 5413 Shearon Harris Road New Hill, NC 27562 Wake County Dear Mr. Denton: Duke Energy is submitting a Representative Outfall Status (ROS) request for the draft National Pollutant Discharge Information Service (NPDES) Permit (NCS000606) for Harris Nuclear Plant (HNP). Since the permit is in draft form and pending comments, the permit number was not available online for an online submission. Therefore, Duke Energy is submitting a hard copy and email copy of this request to the Raleigh Regional Office for review. Duke Energy requests that the ROS be reviewed and acted upon prior to issuance of the new permit. Attached is the ROS Request Form and an explanation for the ROS request. If you have any questions regarding this matter, please do not hesitate to contact Mr. Bob Wilson, HNP Site Environmental Professional, at (984) 229-2444. SincereI Thomas P. Haaf Enclosure: Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Representative Outfall Status Request DraffNPDES Stormwater Permit NCS000606 Serial: RA-23-0212/page 2 CC: Certified Mail Number: 7014 2120 0003 3196 6838 Return Receipt Requested Thad Valentine— RRO Stormwater Program NC DEQ DEMLR Raleigh Regional Office 3800 Barrett Drive, Raleigh, NC 27609 Certified Mail Number: 7014 2120 0003 3196 6845 Return Receipt Requested Brianna Young —Stormwater Permitting Program DEMLR Central Office 1612 Mail Service Center Raleigh, NC 27699-1612 Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0212/page 3 bc: Scott Brooks Joseph Francom William Gunter Dave Hoffman Don Safrit Bob Wilson Darlene Wallace Nuclear Records Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0212 Enclosures Representative Outfall Status Request(ROS) Draft NPDES Stormwater Permit NCS000606 (4 pages including cover) FOR AGENCY USE ONLY Division of Energy, Mineral & Land Resources Date Received Year Month Day Stormwater Program National Pollutant Discharge Elimination System Environmental REPRESENTATIVE OUTFALL STATUS (ROS) Quality REQUEST FORM if a facility is required to sample multiple discharge locations with very similar storm water discharges, the permittee may petition the Director for Representative Outfall Status(ROS). DEQ may grant Representative Outfall Status if storm water discharges from a single outfall are representative of discharges from multiple outfalls. Approved ROS will reduce the number of outfalls where analytical sampling requirements apply. if Representative Outfall Status is granted,ALL outfalls are still subject to the qualitative monitoring requirements of the facility's permit—unless otherwise allowed by the permit(such as NCG020000)and DEQ approval. The approval letter from DEQ must be kept on site with the facility's Stormwater Pollution Prevention Plan. The facility must notify DEQ in writing if any changes affect representative status. For questions, please contact the DEQ Regional Office for your area (see page 3). (Please print or type) 1) Enter the permit number to which this ROS request applies: Individual Permit (or) Certificate of Coverage N I C I SO 10 10 6 10 16 1 N I C I G 2) Facility Information: Owner/Facility Name Duke Energy Progress,LLC/Shearon Harris Nuclear Plant Facility Contact Bob Wilson Street Address 5413 Shearon Harris Road City New Hill State NC ZIP Code 27562 County Wake E-mail Address Bob.Wilson@duke-energy.com Telephone No. 984 229-2444 Fax: 3) List the representative outfalls)information (attach additional sheets if necessary): Outfall(s) SW-003 is representative of Outfall(s) SW-002,SW-003,SW-004,and SW-005 Outfalls' drainage areas have the same or similar activities? in Yes ❑ No Outfalls' drainage areas contain the same or similar materials? ® Yes ❑ No Outfalls have similar monitoring results? ❑Yes ❑ No in No data* Outfall(s) SW-006 is representative of Outfall(s) sw-001,SW-006,SW-007,SW-008,SW-009,and SW-B Outfalls' drainage areas have the same or similar activities? ®Yes ❑ No Outfalls' drainage areas contain the same or similar materials? ® Yes ❑ No Outfalls have similar monitoring results? ❑Yes ❑ No ® No data* Outfall(s) is representative of Outfall(s) Outfalls' drainage areas have the same or similar activities? ❑ Yes ❑ No Outfalls' drainage areas contain the same or similar materials? ❑Yes ❑ No Outfalls have similar monitoring results? ❑ Yes ❑ No ❑ No data* *Non-compliance with analytical monitoring prior to this request may prevent ROS approval. Specific circumstances will be considered by the Regional Office responsible for review. Page 1 of 3 SWU-ROS-2009 Last revised 12/30/2009 Representative Outfall Status Request 4) Detailed explanation about why the outfalls above should be granted Representative Status: (Or, attach a letter or narrative to discuss this information.) For example,describe how activities and/or materials are similar. Please see Attachment 1 for more detailed explanation. 5) Certification: North Carolina General Statute 143-215.6 B(i) provides that: Any person who knowingly makes any false statement,representation,or certification in any application,record, report,plan,or other document filed or required to be maintained under this Article or a rule implementing this Article;or who knowingly makes a false statement of a material fact in a rulemaking proceeding or contested case under this Article;or who falsifies,tampers with,or knowingly renders inaccurate any recording or monitoring device or method required to be operated or maintained under this Article or rules of the[Environmental Management] Commission implementing this Article shall be guilty of a Class 2 misdemeanor which may include a fine not to exceed ten thousand dollars($10,000). 1 hereby request Representative Outfall Status for my NPDES Permit. I understand that ALL outfalls are still subject to the qualitative monitoring requirements of the permit, unless otherwise allowed by the permit and regional office approval. I must notify DEQ in writing if any changes to the facility or its operations take place after ROS is granted that may affect this status. If ROS no longer applies, I understand I must resume monitoring of all outfalls as specified in my NPDES permit. I certify that 1 am familiar with the information contained in this application and that to the best of my knowledge and belief such information is true, complete, and accurate. Printed Name of Person Signing: Thomas P.Haaf Title: vice President-HarrisN arPlant (Signature of Applicant) (Date Signed) Please note: This application for Representative Outfall Status is subject to approval by the NCDEQ Regional Office. The Regional Office may inspect your facility for compliance with the conditions of the permit prior to that approval. Final Checklist for ROS Request This application should include the following items: ❑ This completed form. ❑ Letter or narrative elaborating on the reasons why specified outfalls should be granted representative status, unless all information can be included in Question 4. ❑ Two(2)copies of a site map of the facility with the location of all outfalls clearly marked, including the drainage areas, industrial activities, and raw materials/finished products within each drainage area. ❑ Summary of results from monitoring conducted at the outfalls listed in Question 3. ❑ Any other supporting documentation. Page 2 of 3 SWU-ROS-2009 Last revised 12/30/2009 Representative Outfall Status Request Mail the entire package to: NCDEQ DEMLR at the appropriate Regional Office (See map and addresses below) Notes The submission of this document does not guarantee Representative Outfall Status (ROS)will be granted as requested. Analytical monitoring as per your current permit must be continued, at all outfalls, until written approval of this request is granted by DEQ. Non-compliance with analytical monitoring prior to this request may prevent ROS approval. Specific circumstances will be considered by the Regional Office responsible for review. For questions, please contact the DEQ Regional Office for your area. Winion jWi) ngton Asheville Regional Office 2090 U.S. Highway 70 Swannanoa, NC 28778 Washington Regional Office 943 Washington Square Mall Phone (828) 296-4500 Washington, NC 27889 FAX (828) 299-7043 Phone (252) 946-6481 Fayetteville Regional Office FAX (252) 975-3716 Systel Building, 225 Green St., Suite 714 Wilmington Regional Office Fayetteville, NC 28301-5094 127 Cardinal Drive Extension Wilmington, NC 28405 Phone (910) 433-3300 FAX 910/486-0707 Phone (910) 796-7215 FAX (910) 350-2004 Mooresville Regional Office 610 East Center Ave. Winston-Salem Regional Office Mooresville, NC 28115 585 Waughtown Street Winston-Salem, NC 27107 Phone (704) 663-1699 Phone (336) 771-5000 FAX (704) 663-6040 Water Quality Main FAX (336) 771-4630 Raleigh Regional Office Central Office 1628 Mail Service Center 1612 Mail Service Center Raleigh, NC 27699-1628 Raleigh, NC 27699-1612 Phone (919) 791-4200 Phone (919) 807-6300 FAX (919) 571-4718 FAX (919) 807-6494 Page 3 of 3 SWU-ROS-2009 Last revised 12/30/2009 Representative Outfall Status Request Draft NPDES Stormwater Permit NCS000606 Serial: RA-23-0212 Enclosures Representative Outfall Status Request(ROS) Draft NPDES Stormwater Permit NCS000606 Attachment 1 (4 pages including cover) ATTACHMENT 1 SUMMARY OF ROS REQUEST Duke Energy requests that the ROS be reviewed and acted upon prior to issuance of the new permit. NC DEQ has historically allowed ROS at SW-003 and SW-006 at the HNP for the wastewater NPDES permit (NC0039586). Table 1.Summary of ROS Request Outfall Represents 77-003 SW-002,SW-003,SW-004,SW-005 I SW-006 SW-001,SW-006,SW-008,SW-009,SW-B Figure 1. Existing Outfalls at the Harris Nuclear Plant g - 3r. , 11• 7 5 6 �� Y, Figure 2.Proposed ROS at the Harris Nuclear Plant a. A 1. 9 2 rB 8 3 3 -} 5 6 4 11. Iof3 ATTACHMENT 1 SUMMARY OF ROS REQUEST SW-003 Representative Status for SW-002, SW-003, SW-004, and SW-005 Duke Energy is requesting that representative outfall status where SW-003 will represent outfalls SW- 003, SW-002, SW-004, and SW-005. SW-003 was chosen for monitoring because it has the most potential to capture pollutants from a potential release as it has the most industrial activities of all the represented outfalls. Each industrial activity in the other drainage areas is also performed in SW-003 (see Table 2). Table 2. Industrial Activities Performed in Each Drainage Area Vehicle and equipment parking Occasional non-SW discharges d Above/below ground storage and associated v � � loading/unloading Transformer operation Cooling tower operation N d Sewage lift stationsl VO Indoor chemical and equipment storage d Laydown storage area' Note 1: Duke Energy is requesting removal of parameters associated with sewage lift stations as part of the permit issuance as they are covered under wastewater NPDES Permit NCO039586 and HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health,and the environment. Note 2:The lay down storage area in Drainage Area 5(SW-005)is temporary due to construction and will no longer be utilized for outdoor storage when construction is completed.Construction is scheduled to be completed by December 1,2023. 2of3 ATTACHMENT 1 SUMMARY OF ROS REQUEST SW-006 Representative Status for SW-001, SW-006, SW-008, SW-009,SW-B Duke Energy is requesting that representative outfall status where SW-006 will represent outfalls SW- 006, SW-001, SW-008,SW-009, and SW-B.SW-006 was chosen for monitoring because it has the most potential to capture pollutants from a potential release as it has the most industrial activities of all the represented outfalls. Each industrial activity in the other drainage areas is also performed in SW-006 (see Table 3). Table 3. Industrial Activities Performed in Each Drainage Area Laydown storage areal Occasional non-SW discharges Indoor chemical and equipment storage Transformer operation Above/below ground storage/emergency power generation and associated loading/unloading Vehicle and equipment parking Sewage lift stations' Recycling, compacting,general refuse handling Fueling Drinking water treatment NO Bulk storage of sand,gravel, and crushed stone Note 1: Duke Energy is requesting removal of parameters associated with sewage lift stations as part of the permit issuance as they are covered under wastewater NPDES Permit NCO039586 and HNP employs robust spill response procedures aimed at ensuring environmental compliance and protection of employees, public health, and the environment. Note 2: Duke Energy is willing to submit a lay down area consolidation plan by March 31, 2024,to facilitate ROS.The lay down area consolidation plan would include a proposal for consolidating outdoor storage areas that can be moved and cover of those that cannot. Minimizing exposure of bulk storage areas will be discussed in the lay down area consolidation plan as well. 3of3 Young, Brianna A From: Safrit, Don <Don.Safrit@duke-energy.com> Sent: Monday,July 10, 2023 12:55 PM To: Young, Brianna A Cc: Garcia, Lauren V;Wilson, Bob;Annette Lucas Subject: [External] HNP NCS000606 ISW Draft Permit - Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna, Thank you for sharing the draft Harris Nuclear Plant permit and providing us with the opportunity to comment. The two biggest concerns we have with the draft permit are the benchmarks assigned to each of the outfalls and whether we could have the opportunity to begin the permit cycle with ROS status for some of our outfalls like you allowed us to do at the McGuire Nuclear Plant. To provide complete comments on the draft permit and create an opportunity for us to collaborate on benchmarks and ROS, we have two requests for you: 1. We would like to have a site visit with the DEMLR Central and Raleigh Regional Offices to discuss the benchmarks and ROS, considering the industrial activities and materials at the plant. Our data/site conditions demonstrate that it is not necessary to retract the ROS and believe a site visit would be instrumental in providing the agency with the information needed to evaluate our proposal ; and 2. We would like to have an extension to respond with specific comments on the benchmarks and ROS until two weeks after the date of the site visit. We would then like to set the new deadline. Please let me know your thoughts and I am happy to answer any questions you may have. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 * DUDE V" EEi- Young, Brianna A From: Guyer, Shawn Sent: Monday,July 3, 2023 12:45 PM To: Young, Brianna A Subject: RE: Draft NPDES stormwater permits NCS000606 and NCS000580 Brianna, NCS000606: The PWS Section concurs with the issuance of this permit provided the facility is operated and maintained properly,the stated effluent limits are met prior to discharge, and the discharge does not contravene the designated water quality standards. NCS000580: The PWS Section concurs with the issuance of this permit provided the facility is operated and maintained properly,the stated effluent limits are met prior to discharge, and the discharge does not contravene the designated water quality standards. Shawn From:Young, Brianna A<Brianna.Young@deq.nc.gov> Sent: Wednesday,June 14, 2023 8:35 AM To: Guyer, Shawn <shawn.guyer@deq.nc.gov> Subject: Draft NPDES stormwater permits NCS000606 and NCS000580 Good morning, The draft permits for the Harris Nuclear Power Plant(NCS000606) and Mayo Steam Electric Plant(NCS00080) have been submitted for public notice.These facilities discharges to class WS-V waters. Please provide any comments on this draft permit by July 17, 2023. Thank you, Brianna Young, MS(she/her/hers) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@deq.nc.gov(e-mail preferred)PLEASE NOTE NEW EMAIL ADDRESS **DEQ is updating its email addresses to @deq.nc.gov in phases from May 1st to June 9th. Employee email addresses may look different, but email performance will not be impacted. 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina 1 Public Records Law and may be disclosed to third parties. The Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. Email correspondence to and from this address may be subject to the North Carolina Public Records Law and may be disclosed to third parties by an authorized state official. 2 Compliance Inspection Report Permit:NCS000606 Effective: Expiration: Owner: Duke Energy Progress LLC SOC: Effective: Expiration: Facility: Shearon Harris Nuclear Power Plant County: Wake 5413 Shearon Harris Rd Region: Raleigh New Hill NC 27562 Contact Person:Kim Maza Title: Phone: 984-229-2502 Directions to Facility: System Classifications: Primary ORC: Certification: Phone: Secondary ORC(s): On-Site Representative(s): Related Permits: Inspection Date: 06/30/2022 Entry Time 09:OOAM Exit Time: 12:30PM Primary Inspector:Thaddeus W Valentine Phone: Secondary Inspector(s): Lauren Garcia Reason for Inspection: Routine Inspection Type: Technical Assistance Permit Inspection Type: Stormwater Discharge, Individual Facility Status: ❑ Compliant ❑ Not Compliant Question Areas: Storm Water (See attachment summary) Page 1 of 3 Permit: NCS000606 Owner-Facility:Duke Energy Progress LLC Inspection Date: 06/30/2022 Inspection Type:Technical Assistance Reason for Visit: Routine Inspection Summary: Inspection was inresponse to the seperation of stormwater from the NPDES wastewater permit. Avery detailed summary of each drainage area was provided in the facility SWPPP. All industrial activities observed onsite correlated with the descriptions in the SWPPP. Materials, waste, chemical storage, etc. descriptions were provided in the application. The areas observed during the inspection appeared to correlate with these summaries as well. Currently the facility does not perform analytical monitoring of the stormwater outfalls. The facility has had representative outfall status under the combined permit. Only two outfalls, Outfalls 3 and 6, have been sampled in the past. Composite sampling equipment is set up at both of the outfalls. The majority of the exterior of the site was observed during the inspection. All accesible stormwater outfalls were viewed as well. In drainage areas 8 and 9 there is a laydown and storage area. Metal piping, sand and gravel, pallets, crushed stone and a few empty tanks were observed in this area. The tanks were reported to be cleaned out by Shamrock Environmental. An old generator is stored in this area and was reported to be removed from the site soon. A second laydown area was observed in drainage areas 1 ad 2. Other materials in the laydown included metal replacement parts and other pieces. There was a small wash bay located in this area. An old container labeled as "Klaraid CPPI 301" has been re-purposed and is used to hold water for the wash bay. Dumpsters with household waste and one paint can were observed in this area. Other dumpsters contained metal materials as well. This area is also used to store equipment. A chemical storage building was observed as well. The firing range was inspected for potential contamination to stormwater. The firing range is birmed on three sides and runnoff is expected to drain internally. The firing range facility has an underground domestic treatment area that handles bathroom and kitchen wastes. The area also houses a single mineral oil transformer. The area is not expected to cause significant stormwater contamination. Stormwater sheetflows from the parking area towards a canal that is an inlet to the site. Water flowing from the canal is treated in the facilities onsite wastewater treatment plant A few good housekeeping practices in the laydown, chemical and equipment storage areas were discussed onsite. Overall, no serious issues were identified during the inspection. Page 2 of 3 Permit: NCS000606 Owner-Facility:Duke Energy Progress LLC Inspection Date: 06/30/2022 Inspection Type:Technical Assistance Reason for Visit: Routine Page 3 of 3 NCS000606 monitoring 001:TSS, motor oil, non-polar O&G, metals, raw sewage, rail lines Significant potential pollutants include: chemicals, used oils, mineral oil, scrap metal, dumpster solid waste, miscellaneous wood, structural steel, cable, and other metal, raw sewage (from lift station overflow), oils, gasoline, and diesel fuel. 002:TSS, motor oil, non-polar O&G, phosphoric acid,water treatment chemicals, raw sewage, cooling water spray and drift, rail lines Significant potential pollutants include: lube oil, cooling water spray and drift, chemical storage tanks, diesel fuel, mineral oil, raw sewage (from lift station overflow), oil, gasoline, and diesel fuel 003:TSS, motor oil, non-polar O&G, cooling water spray and drift, chlorine, sodium hypochlorite,water treatment chemicals, chemical storage Significant potential pollutants include: chlorine, acid, sodium hypochlorite,trilite, ammonium bisulfate, detergents, chemicals for sampling and analysis inside chemical storage building, cooling water spray and drift, lube oil, mineral oil, oil, gasoline, and diesel fuel. 004:TSS, motor oil, non-polar O&G Significant potential pollutants include: mineral oil, acid electrolyte solution, oils, gasoline, and diesel fuel. OOS: TSS, motor oil, non-polar O&G, caustic, sulfuric acid, ammonia, liquid nitrogen, raw sewage, Service Building, Bulk Warehouse Significant potential pollutants include: Liquid nitrogen, ammonia, sodium hydroxide, sulfuric acid, diesel fuel, leaks from the HVAC unit, mineral oil, cooking grease,various chemicals and other potential storm water pollutants, raw sewage overflow, miscellaneous wood, structural steel, cable, and other metal, oils, gasoline and diesel fuel. 006: TSS, motor oil, non-polar O&G,water treatment building, Paint Shop, Chemical Warehouse, Service Building, Bulk Warehouse, Neutralization Basin, Settling Basin, raw sewage, sulfuric acid, solid waste compactor, external storage areas Significant potential pollutants include: Various water treatment chemicals,various chemicals and other potential storm water pollutants, used oil, hydrazine, acids, caustics, chemistry lab materials, emptied paint and aerosol cans, used oil, sulfuric acid, untreated wastewater from the Neutralization and Settling Basins, oils, gasoline, and diesel fuel. Mineral oil from service transformers? NCS000606 monitoring 007:TSS, motor oil, non-polar O&G, raw sewage, sodium carbonate, sodium hypochlorite, sodium hydroxide, lead, recycling containers Significant potential pollutants include: Diesel fuel, raw sewage, sodium carbonate, sodium hypochlorite, sodium hydroxide, water treatment polymers, lead from expended ammunition, mineral oil, equipment oils and fuels, oils, and gasoline 008:TSS, motor oil, non-polar O&G Significant potential pollutants include: Various chemicals and other potential stormwater pollutants, oils, gasoline, and diesel fuel 009: TSS, motor oil, non-polar O&G Significant potential pollutants include: fuel oil, mineral oil, oils, gasoline, and diesel fuel DA-10:TSS, motor oil, non-polar O&G, raw sewage, lead, Significant potential pollutants include: lead from expended ammunition, mineral oil, raw sewage overflow, miscellaneous trash (from dumpster), oils, gasoline, and diesel fuel. SW-A: N/A N/A SW-B:TSS, motor oil, non-polar O&G Significant potential pollutants include: sand, gravel, oils,gasoline, and diesel fuel. Mentioned in SW app but not in WW permit: • Warehouse • Garage areas • Warehouse • Landfill Laydown—no longer used • Shop laydown • Sandblast/Paint—no longer used • Transformer Yard NCS000606 monitoring Per the NC0039586 permit renewal application, miscellaneous sources of water intermittently discharged to storm drains are: • Heat exchanger on the demineralizer feedwater: It is necessary to heat the source water to the demineralized water treatment system to achieve optimum degassification. To accomplish this, steam is used to heat the feedwater. The condensed steam is discharged to the storm drains that flow to Harris Lake at approximately 5-10 gallons per minute. This steam could contain trace amounts of hydrazine and ammonia used for chemistry control in the auxiliary boiler steam system. Due to the low flow rate and the long retention time, the temperature of the condensed steam should be at ambient temperature upon reaching the lake. • Condenser water box drains: Prior to condenser maintenance or repairs it is sometimes (approximately twice/year) necessary to drain circulating water to the storm drains approximately 60,000 gallons per condenser per event)that discharge to Harris Lake. This water is monitored for selected cooling tower blowdown parameters. • Filtered water storage and Derain water storage tanks: Water is treated using a micro- filtration unit for turbidity control and then stored in a tank prior to subsequent filtration (nano-filtration unit) and disinfection. Occasionally, some water from these tanks may be drained to the storm drains that discharge to Harris Lake. This water may contain trace amounts of chlorine. • Fire protection system: Approximately 5,000 gallons of lake water used for annual testing of the fire protection system is routed to most of the storm drains that discharge to Harris Lake. In the event of a fire, additional water could be discharged to storm drains. • Condenser hotwell: During outages (approximately once per 18 months) it is necessary to drain the condenser hotwell for condenser maintenance and inspection. Approximately 70,000 gallons of this water resulting from condensed steam is drained to storm drains that discharge to Harris Lake. It may contain trace amounts of ethanolamine, 100 ppb or less of boron, and 100 ppb or less ammonia. • Condensate storage tank: Infrequently it is necessary to drain the condensate storage tank for maintenance. Approximately 400,000 gallons per event is drained to storm drains that discharge to Harris Lake. It may contain 200 ppb or less boron, 1000 ppb or less ammonia, and trace hydrazine. eenditioning systems flowrt6 :rt9rm drains te 14affis Lake. The yellme is generally lew a-ad is gr-ea4est in the hi*mid summer-men • Service water system strainers: Infrequently, when service water strainers located at the makeup pumps from the cooling tower basin are backwashed to remove biofouling organisms or debris, a small volume of service water overflows the basin and runs to the adjacent storm drain that discharge to Harris Lake. • Maintenance activities: During maintenance activities at the facility it may become necessary to drain all or some portion thereof of the following plant systems; normal service water, emergency service water, circulating water,potable water, and demineralized water. Maintenance activities at the facility may also require the hydrostatic flushing of system piping with discharge to the storm drain system. In addition, the facility may find it necessary to wash equipment with demineralized water and discharge to the storm drains. 2: Fecal coliform, total nitrogen, total phosphorus, water treatment chemical storage tanks 6: BOD, COD, fecal coliform, total nitrogen,total phosphorus,Various water treatment chemicals Outfalls to group together: 1, 5 2, 6 3 4, SW-B 8, 9 Young, Brianna A From: Safrit, Don <Don.Safrit@duke-energy.com> Sent: Monday, August 14, 2023 11:23 AM To: Young, Brianna A Cc: Wilson, Bob; Annette Lucas; Valentine, Thad Subject: RE: [External] HNP NCS000606 ISW Draft Permit - CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Sounds good—Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 DUKE EE # From:Young, Brianna A<Brianna.Young@deq.nc.gov> Sent: Monday,August 14, 2023 11:17 AM To: Safrit, Don <Don.Safrit@duke-energy.com>; Valentine,Thad <thad.valentine@deq.nc.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Annette Lucas<lucas@mcadamsco.com> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Good morning Don, Thank you for sending this information. We will reach out once we've had a chance to review all the comments. Thank you, Brianna Young, MS(she/her) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@deg.nc.gov(e-mail preferred)PLEASE NOTE NEW EMAIL ADDRESS **DEQ is updating its email addresses to @deq.nc.gov in phases from May 1st to June 9th. Employee email addresses may look different, but email performance will not be impacted. 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. 1 The Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Thursday,August 10, 2023 1:06 PM To:Young, Brianna A<Brianna.Young@deg.nc.gov>;Valentine,Thad <thad.valentine@deg.nc.gov> Cc: Wilson, Bob<Bob.Wilson@duke-energy.com>;Annette Lucas<lucas@mcadamsco.com> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna/Thad, Per our Teams call meeting on July 271", enclosed you will find a copy of our comment letter on draft NPDES Permit No. NCS000606 and our letter requesting Representative Outfall Status (ROS) being sent to the Raleigh Regional Office. Originals of these documents are in route but we wanted to provide electronic copies directly to you to avoid any delays in our path forward. As previously discussed, we would like the opportunity to meet on site at the Harris Nuclear Plant to review and discuss these aspects before action is taken on the draft NPDES permit. Please let us know some dates which may work for your calendars so we can plan a site meeting accordingly. Thanks again for your continued assistance on this important matter. Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)54ii6II-6146 1 Cell:(984)209-0940 KE ERGY. From:Young, Brianna A<Brianna.Young@deg.nc.gov> Sent:Thursday,July 27, 2023 11:02 AM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deg.nc.gov>; Annette Lucas <lucas@mcadamsco.com> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Good morning Don, Please let us know if you have any other questions in the interim. Thank you, Brianna Young, MS(she/her) 2 Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@deq.nc.gov(e-mail preferred)PLEASE NOTE NEW EMAIL ADDRESS **DEQ is updating its email addresses to @deq.nc.gov in phases from May 1st to June 9th. Employee email addresses may look different but email performance will not be impacted. 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address:S12 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. The Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Thursday,July 27, 2023 10:50 AM To:Young, Brianna A<Brianna.Young@deg.nc.gov> Cc: Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deg.nc.gov>; Annette Lucas <lucas@mcadamsco.com> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna, Thanks again for the opportunity to discuss the draft permit and suggestions to move this matter forward to issue a permit that is appropriate for the Harris Nuclear facility. As discussed, we will provide our interim comments on the draft permit based upon our Teams Call this morning and submit the comments to your office no later than Friday, August 11tn We look forward to the continued collaboration on this important permit. Thanks, Don Donald(Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh, North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 fDUDE EEe 3 From: Young, Brianna A<Brianna.Young@deg.nc.gov> Sent:Wednesday,July 12, 2023 4:04 PM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deg.nc.gov> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Yes,the comment period on the draft permit can be extended to July 31'.This date can be modified in the future based on when discussions on the draft are able to happen. Thank you, Brianna Young, MS(she/her) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@deg.nc.gov(e-mail preferred)PLEASE NOTE NEW EMAIL ADDRESS **DEQ is updating its email addresses to @deq.nc.gov in phases from May 1st to June 9th. Employee email addresses may look different, but email performance will not be impacted. 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. The Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Wednesday,July 12, 2023 3:58 PM To:Young, Brianna A<Brianna.Young@deg.nc.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deg.nc.gov> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Thanks Brianna—Bob and I will compare calendars and provide a few dates for Thad and your consideration. Also, can we push back the HNP comment response date from July 17" until an interim date of July 31St at a minimum? Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 4 fDUKE ENERGY, From:Young, Brianna A<Brianna.Young@deq.nc.gov> Sent:Wednesday,July 12, 2023 3:27 PM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@deq.nc.gov> Subject: RE: [External] HNP NCS000606 ISW Draft Permit- CAUTION! STOP. • expecting and spelling correct? Does the content make sense? Can you verify the sender? If suspicious report it, then do not click links, open attachments or enter your ID or password. Good afternoon Don, I apologize for my delay in response.As I mentioned on the phone, Lauren is leaving the Raleigh Regional Office so Thad Valentine is the regional office contact for now. I have copied him on this email chain.You mentioned the Harris Nuclear Plant folks would like to have an onsite meeting to go over the draft permit and walk around the site to observe outfalls for ROS discussion. Given staff availability restraints, I am not sure an onsite meeting will be possible, but we can pursue that avenue to start. When are Duke Energy representatives available for a discussion on the permit? If we are unable to meet in person, having photos taken to present during a Teams meeting will be helpful. Thank you, Brianna Young, MS(she/her) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@deg.nc.gov(e-mail preferred)PLEASE NOTE NEW EMAIL ADDRESS **DEQ is updating its email addresses to @deq.nc.gov in phases from May 1st to June 9th. Employee email addresses may look different, but email performance will not be impacted. 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. The Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent: Monday,July 10, 2023 12:55 PM To:Young, Brianna A<Brianna.Young@deq.nc.gov> Cc:Garcia, Lauren V<lauren.garcia@deg.nc.gov>; Wilson, Bob<Bob.Wilson@duke-energy.com>;Annette Lucas <lucas@mcadamsco.com> Subject: [External] HNP NCS000606 ISW Draft Permit- Importance: High 5 CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna, Thank you for sharing the draft Harris Nuclear Plant permit and providing us with the opportunity to comment. The two biggest concerns we have with the draft permit are the benchmarks assigned to each of the outfalls and whether we could have the opportunity to begin the permit cycle with ROS status for some of our outfalls like you allowed us to do at the McGuire Nuclear Plant. To provide complete comments on the draft permit and create an opportunity for us to collaborate on benchmarks and ROS, we have two requests for you: 1. We would like to have a site visit with the DEMLR Central and Raleigh Regional Offices to discuss the benchmarks and ROS, considering the industrial activities and materials at the plant. Our data/site conditions demonstrate that it is not necessary to retract the ROS and believe a site visit would be instrumental in providing the agency with the information needed to evaluate our proposal ; and 2. We would like to have an extension to respond with specific comments on the benchmarks and ROS until two weeks after the date of the site visit. We would then like to set the new deadline. Please let me know your thoughts and I am happy to answer any questions you may have. Thanks, Don Donald(Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 .� DUDE ` ENERGY# Email correspondence to and from this address may be subject to the North Carolina Public Records Law and may be disclosed to third parties by an authorized state official. 6 Young, Brianna A From: Safrit, Don <Don.Safrit@duke-energy.com> Sent: Wednesday,June 7, 2023 1:39 PM To: Young, Brianna A Cc: Wilson, Bob Subject: RE: [EXTERNAL] Shearon Harris Nuclear Plant NCS000606 stormwater question Attachments: Stormwater intermitted discharge in NPDES Permit NC0039586.pdf Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna, Per your request, attached is a map and embedded therein (hover over the blue call-out blocks) are these location points (ex "Comment 006-18" for bullet 1): Example "Comment 006-18" for bullet 1: 5 %_4 ' A. Tregtm,�ant Service Idg. Ile 71- dd dd 5 1 5tormwamr Out#ali 006-fa Auxiliary Soi[pr Heai exd,anger-The Auxiliary Wle'f is lQwted on t-he east ' �• ,- the Water Treatmeit Building_ AuxI lI RON he 6i ica I El IL El �, i Per the NCO039586 permit renewal application submitted to the Division of Water Resources (DWR) in 2021, stormwater runoff is composed of laydown yards,training areas, parking lots, roofs, and lawn drainage. Outside storage areas. Flow from these areas is estimated at 8.8 million gallons per month, based on average rainfall of 43 inches per 1 year and a runoff assumption factor of 0.7. Per the NC0039S86 permit renewal application, miscellaneous sources of water intermittently discharged to storm drains are: • Heat exchanger on the demineralizer feedwater: It is necessary to heat the source water to the demineralized water treatment system to achieve optimum degassification. To accomplish this, steam is used to heat the feedwater. The condensed steam is discharged to the storm drains that flow to Harris Lake at approximately 5-10 gallons per minute. This steam could contain trace amounts of hydrazine and ammonia used for chemistry control in the auxiliary boiler steam system. Due to the low flow rate and the long retention time,the temperature of the condensed steam should be at ambient temperature upon reaching the lake. See comment 006-18 on map. • Condenser water box drains: Prior to condenser maintenance or repairs it is sometimes (approximately twice/year) necessary to drain circulating water to the storm drains approximately 60,000 gallons per condenser per event) that discharge to Harris Lake. This water is monitored for selected cooling tower blowdown parameters. See comment 002-50, 03-50 on map • Filtered water storage and Demin water storage tanks: Water is treated using a micro-filtration unit for turbidity control and then stored in a tank prior to subsequent filtration(nano-filtration unit) and disinfection. Occasionally, some water from these tanks may be drained to the storm drains that discharge to Harris Lake. This water may contain trace amounts of chlorine. See comment Stormwater 006--Water Treatment Building • Fire protection system: Approximately 5,000 gallons of lake water used for annual testing of the fire protection system is routed to most of the storm drains that discharge to Harris Lake. In the event of a fire, additional water could be discharged to storm drains. Stormwater Outfalls 00100-9 and Drainage Area 010 have fire protection equipment that is tested. • Condenser hotwell: During outages (approximately once per 18 months) it is necessary to drain the condenser hotwell for condenser maintenance and inspection. Approximately 70,000 gallons of this water resulting from condensed steam is drained to storm drains that discharge to Harris Lake. It may contain trace amounts of ethanolamine, 100 ppb or less of boron, and 100 ppb or less ammonia. See comment 002-50, 003-50 on map • Condensate storage tank: Infrequently it is necessary to drain the condensate storage tank for maintenance. Approximately 400,000 gallons per event is drained to storm drains that discharge to Harris Lake. It may contain 200 ppb or less boron, 1000 ppb or less ammonia, and trace hydrazine. See comment 003-43 on map • Air conditioning system condensate: The condensate from various building air conditioning systems flows to various storm drains to Harris Lake. The volume is generally low and is greatest in the humid summer months. Stormwater Outfalls 001-009 and Drainage Area 010 have air conditioning equipment that condensate that sheet flows or is directed to these drains. • Service water system strainers: Infrequently, when service water strainers located at the makeup pumps from the cooling tower basin are backwashed to remove biofouling organisms or debris, a small volume of service water overflows the basin and runs to the adjacent storm drain that discharge to Harris Lake. See comment Stormwater 002- 73 2 1. rQi f r x '. S r • y. r ;•�.: ,�: .r .z •� - E . � - �-_ � Drainage Area A W E :- r Drainage Area 1 5 Acres G t, - x tip• . , _ A 66 Acres � 100% Pervious �,: -. : ,' •' •; a r 301 ZIMA PARK ROAD r. o SPARTANBURG SC 29301 - 40/o Impervious y.: . `\ Aw • .d _ „.'S4i.�,i��`� ;...s Y -,jy..._'l'' ti r�.'h{:r.[�S^' ♦•` � :�• � af. � .. .- �, rx :y'�9 H �_ � �i: r ` ''�. '�' '�. ..^'�¢ri 'r± '�Y,<?xwn' _ �' � ' .?}x '} 1 fFl.. _;SAS..�,rs _.x �`' .! ' ' ,i Y'�dY'..' f P•",.e.t •-• - /- i. Site Entrance and Security Gate ram$ �` � ""SS /- /• 1 � '� �'�:� •` Al N '- s /' j Warehouse 6 �.•��� � West •-� � , w n Laydo Yard Warehou Warehouse 9 - .: :, �► �. �� -North 6 94 4 - y Y ,4 - ::. aydown k G� 1 g T and _ Thomas Creek R r• - - :�i / I •1 - - !r .j - - - -` Drainage Area 9 - 3a - - h a ' - - - - - -- - Pr 'e t9 es Wareh use 9 ' a k arkin Lot w 2- - _ ;P s o0 70% Im ervious - .� g ,i•. . x N w y 1.. ..,. or Projects c ca aj ESW Discharge Canal g • - f-- plex .. om o LN ❑° X Significant Materials and Activities Exposed to Stormwater fRailroad f Map ID Description •..;, .., r ,t.. Dumpster a ., -. SW-09 :.. 4- R - ., .. - o- 1dt a 2 Transformer .. _ Car. Drama a Area 2 _ --42 RCP x �r 3 3 Lift Station 14 Acres 4 Lift Station wastewater Treatment Plant o Impermeable ^ ...� 6 Transformer 0°/ 7 Wastewater Treatment Units •` _ _ o j.' 8 Diesel Fuel AS ai n. T SW-003 k°* gui ' EDG 9 Solid Waste and recycling Containers Y Bldg. ,Y Cooling 48" RCP 10 Water Treatment Facility e Garage xx� x g' ❑© Tower 11 Diesel Fuel AST h e 12 Compactor Buildings �. \ f` l® ®' 13 Transformer Gasoline I AST rr X � 14 Diesel Fuel AST - A 3 g aso ine and Diesel Fuel 15 �_ •' ' Dra• a e °'- 16 Fueling Area Legacy F H g Turbin a 15 Acres h,.. 17 Loading Area u ^ / ` — --- 18 ater Treatment Facility • Pond g BI X. {' W - x _ 75% Impervious 19 Used Oil AST Drainage Area 8 __ ',. f p .: �_ � x.. . .. 20 Used Oil AST ---- - - eac i '�,� ` � R t r Park'ng 21 Used Oil AST 10 Acres c ® _ ® 22 Used Fuel AST ,R ot 50% Impervious Crane Laydown P ' p , : , - ® .'_. .: .` � . 24 Used OiI AST Yard � • ® . of - �/ © , .` 25 Oil Water Separator ste ® ® p. 26 Fueling Island Rewind Building - ® i X /�` � 27 Lift Station ® © 0 28 Loading Area z Drainage Area 6 - � Pro ssin , '� . ,' g Drain g Area 4 - �-_ •. . . �, Bldg •.� Laydown Area 28 Acres _ a e • '< ® es 33 Acres 3o Acid AST 4% Impervious .' o Impervious® 31 Lift Station � w / 50% I m pe 32 Transformers ® ® ® O SWii C• hyard 33 Used Cooking Grease Storage f 3 _ dmin\. ® ❑0 0' 34 Lift Station Y U Flex Building ~` o: Semite Idg, a `'/' • +s r 35 Diesel Fuel UST o N © X Bldg. / 36 Diesel Fuel AST in ❑ ® 0- d Old Reactor Head g' ❑ f ❑ t i o n _ J , . � 37 Transformer � �, � ® ® 38 Portable Generator-Diesel Fuel Q Shearon Harris Storage Building o : ® - w © �� � - .Retention �• -� Drainage Area 7 g g ❑ Basin �' 39 Crane Laydown Area Reservoir x ® /' -- e' a 40 Diesel Fuel AST ; 45 Acres ulk Whs . . o ; '� o �t . CD LU ------------------- --- ---- • ' � 41 Transformer I � 21 % Im ervious / ® /' o 0 p Old Steam Generator ® ,` ® �: J �► sw-oo4 Liqu dfNStrogenAST o % 42 f ® / Ditch 44 Liquid Ammonia AST � Storage Building n _ _ 6 6 /' • 45 Sodium Hydroxide AST Thomas Creek N m •® ® - - /.• 46 Sulfuric Acid AST z \ / ® 47 Transformer 48 Aggregate Storage Drainage Area 10 49 Emergency Generator-Diesel ® -' 50 Transforme-Yard 7 Acres 51 Diesel Fuel USTs 00 ® X ,°''• ° . . ., Oily Rag Storage in 55 Gallon Drum 20/o Impervious f. ' 52 p s • :. ® ,�` :. .-_ 53 Fuel Off Loading Area (Sheet Flow to Intake , r l - / 54 Sewage Lift Station Firing ' X X ❑ r' 55 Sewage Lift Station Canal '. �, ��- /' ® r?'��f�; 56 Solid Waste Dumpsters Range f } r f .. 57 Sewage Lift Station 58 External Material Storage 59 Main lnta ., ¢.. "' 60 Oil Bearing Electri altEquipment - , _ Structure �' 61 AST Area w.., FORK, �' 62 Acid AST � -� �. ESW Intake _ -3- g x'4 � . , Wastewater Treatme t _ - AT - 63 Trilite AST Canal • }yryj{9y+.} SW-005 r - N J.ry CP CP Tr'lite AST ,. ,,,,_ .: --..:: '. '�'•. :..:g •"•,; Biodetergent A ST rV Plant � � 42 R /60 R '� 6 ' .` 0 '. CPM' � 4' ,� •-'�' •� r, •,�`� 66 AST Loading Area 0 0 r r '°- "�•: `/ � 67 Lift Station Primary Intake Canal 68 Sewage Lift Station z Q z 5`w' �• �` r 69 Ammonium Bisulfite AST J — ° : > SW-006 Drainage Area 5 `� J � z; �: - - 70 Lift Station �^/ O ' r 42 'RCP W < 12 Acres 71 3D Trasar AST w = Q •� ti .. V _ ;• ;.;�; „� '`� °�,, � _ 72 3D Trasar AST � 5 /o Impervious 9 p 73 3D Trasar AST , irw s= U Z ; ' e ¢ - 74 3D Trasar AST Z oC 75 AST Loading Area N < O Y: LLUz r 76 Transformer � � ' 1 r 1• F Drainage Area 6 ��-�� ._ x` ==� - � N J x¢ ..5Y III 77 External Material Storage _ r\J _ 26 Acres Un{ 65% ImperviousLU K z Inverted Siphon Legend f Stormwater Outfall "'• t a Ditch ❑® Catch Basin Stormwater Piping m Flow Arrow J N Spill Kit ` Security Fence .v Laydown Yard / Switchyard Non-Industrial Drainage PROJECT NUMBER '3 Railroad 4226-17-071 U REFERENCE: Protected Area DRAWING NUMBER F AERIAL PHOTOGRAPHS OBTAINED FROM GOOGLE EARTH. THIS MAP IS FOR INFORMATIONAL PURPOSES ONLY. ALL FEATURE LOCATIONS DISPLAYED ARE APPROXIMATED. THEY ARE NOT BASED ON CIVIL SURVEY INFORMATION, UNLESS Bulldl g r n STATED OTHERWISE. - �X�k��x Impervious Surface • Maintenance activities: During maintenance activities at the facility it may become necessary to drain all or some portion thereof of the following plant systems: normal service water, emergency service water, circulating water,potable water, and demineralized water. Maintenance activities at the facility may also require the hydrostatic flushing of system piping with discharge to the storm drain system. In addition, the facility may find it necessary to wash equipment with demineralized water and discharge to the storm drains. . Stormwater Outfalls 001-003 and 005-009 have equipment that could be drained. Following your review, if any further questions or if we need to discuss, please do not hesitate to contact Bob or me. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 x& DUKE V" ENERGY, From:Young, Brianna A<Brianna.Young@deq.nc.gov> Sent:Wednesday,June 7, 2023 9:01 AM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com> Subject: RE: [EXTERNAL] Shearon Harris Nuclear Plant NCS000606 stormwater question Thank you for the update. Please let me know if there are any further delays. Thank you, Brianna Young, MS(she/her/hers) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brlanna.Young@deq.nc.gov(e-mail preferred)PLEASE NOTE NEW EMAIL DEQ is updating its email addresses to @deq.nc.gov in phases from May 1st to June 9th. Employee email addresses may look different, but email performance will not be impacted. 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email.We appreciate your patience as we continue to serve the public during this challenging time. 3 From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Wednesday,June 7, 2023 8:40 AM To:Young, Brianna A<Brianna.Young@deg.nc.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com> Subject: RE: [EXTERNAL] Shearon Harris Nuclear Plant NCS000606 stormwater question CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna, We apologize for the delay but we have had some issues/challenges pulling this together. We are on it and hope to have the information for you in the next few days. Thanks, Don Donald(Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 fDUKE ENERGY.- From:Young, Brianna A<Brianna.Young@ncdenr.gov> Sent:Tuesday, May 2, 2023 8:06 AM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com> Subject: RE: [EXTERNAL] Shearon Harris Nuclear Plant NCS000606 stormwater question Good morning Don, I apologize for the delay in responding as I was out of the office for a few days.An extension will be granted until May 31". Please let me know if you have any questions when you start working through the request. Thank you, Brianna Young, MS(she/her/hers) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred) 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. 4 Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email.We appreciate your patience as we continue to serve the public during this challenging time. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Thursday,April 27, 2023 2:41 PM To:Young, Brianna A<Brianna.Young@ncdenr.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com> Subject: RE: [EXTERNAL] Shearon Harris Nuclear Plant NCS000606 stormwater question Importance: High CAUTION: External email. Do not click links or open attachments unless verified. Report suspicious emails with the Report Message button located on your Outlook menu bar on the Home tab. Brianna, We need some more time to respond to your request below due to some federal inspections (NRC and/or others) and activities at the Harris Plant. Can we have until May 31"to get this information/maps to you? Please let us know if any discussions are needed. Thanks, Don Donald(Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 ., DUKE V"' ENERGY. From:Young, Brianna A<Brianna.Young@ncdenr.gov> Sent:Tuesday,April 18, 2023 11:51 AM To:Safrit, Don <Don.Safrit@duke-energV.com>; Wilson, Bob<Bob.Wilson@duke-energy.com>; Hawkins, Randy <Randy.Hawkins@duke-energy.com> Subject: [EXTERNAL] Shearon Harris Nuclear Plant NCS000606 stormwater question STOP. ASSESS.VERIFYH Were • expecting and spelling correct? Does the content make sense? Can you verify the sender? If suspicious report it, then do not click links, open attachments or enter your ID or password. Good morning Don, While reviewing the draft permit, a question came up on information provided with permit applications. Per the NCO039586 permit renewal application submitted to the Division of Water Resources (DWR) in 2021, stormwater runoff is composed of laydown yards,training areas, parking lots, roofs, and lawn drainage. Outside storage areas. Flow from these areas is estimated at 8.8 million gallons per month, based on average rainfall of 43 inches per 5 year and a runoff assumption factor of 0.7. Per the NCO039586 permit renewal application, miscellaneous sources of water intermittently discharged to storm drains are: • Heat exchanger on the demineralizer feedwater: It is necessary to heat the source water to the demineralized water treatment system to achieve optimum degassification. To accomplish this, steam is used to heat the feedwater. The condensed steam is discharged to the storm drains that flow to Harris Lake at approximately 5-10 gallons per minute. This steam could contain trace amounts of hydrazine and ammonia used for chemistry control in the auxiliary boiler steam system. Due to the low flow rate and the long retention time,the temperature of the condensed steam should be at ambient temperature upon reaching the lake. • Condenser water box drains: Prior to condenser maintenance or repairs it is sometimes (approximately twice/year) necessary to drain circulating water to the storm drains approximately 60,000 gallons per condenser per event) that discharge to Harris Lake. This water is monitored for selected cooling tower blowdown parameters. • Filtered water storage and Demin water storage tanks: Water is treated using a micro-filtration unit for turbidity control and then stored in a tank prior to subsequent filtration(nano-filtration unit) and disinfection. Occasionally, some water from these tanks may be drained to the storm drains that discharge to Harris Lake. This water may contain trace amounts of chlorine. • Fire protection system: Approximately 5,000 gallons of lake water used for annual testing of the fire protection system is routed to most of the storm drains that discharge to Harris Lake. In the event of a fire, additional water could be discharged to storm drains. • Condenser hotwell: During outages (approximately once per 18 months) it is necessary to drain the condenser hotwell for condenser maintenance and inspection. Approximately 70,000 gallons of this water resulting from condensed steam is drained to storm drains that discharge to Harris Lake. It may contain trace amounts of ethanolamine, 100 ppb or less of boron, and 100 ppb or less ammonia. • Condensate storage tank: Infrequently it is necessary to drain the condensate storage tank for maintenance. Approximately 400,000 gallons per event is drained to storm drains that discharge to Harris Lake. It may contain 200 ppb or less boron, 1000 ppb or less ammonia, and trace hydrazine. • Air conditioning system condensate: The condensate from various building air conditioning systems flows to various storm drains to Harris Lake. The volume is generally low and is greatest in the humid summer months. • Service water system strainers: Infrequently, when service water strainers located at the makeup pumps from the cooling tower basin are backwashed to remove biofouling organisms or debris, a small volume of service water overflows the basin and runs to the adjacent storm drain that discharge to Harris Lake. • Maintenance activities: During maintenance activities at the facility it may become necessary to drain all or some portion thereof of the following plant systems: normal service water, emergency service water, circulating water,potable water, and demineralized water. Maintenance activities at the facility may also require the hydrostatic flushing of system piping with discharge to the storm drain system. In addition, the facility may find it necessary to wash equipment with demineralized water and discharge to the storm drains. Do any of these sources flow to stormwater outfalls, and if so, which one(s)? Thank you, Brianna Young, MS (she/her/hers) Industrial Individual Permits Coordinator Stormwater Permitting Program NC DEQ/ Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred) 6 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 ,�: D E '�7'` NORTH CAROLINA ki ; Department of Environmental Quality Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email.We appreciate your patience as we continue to serve the public during this challenging time. Email correspondence to and from this address may be subject to the North Carolina Public Records Law and may be disclosed to third parties by an authorized state official. 7 1. rQi f r x '. S r • y. r ;•�.: ,�: .r .z •� - E . � - �-_ � Drainage Area A W E :- r Drainage Area 1 5 Acres G t, - x tip• . , _ A 66 Acres � 100% Pervious �,: -. : ,' •' •; a r 301 ZIMA PARK ROAD r. o SPARTANBURG SC 29301 - 40/o Impervious y.: . `\ Aw • .d _ „.'S4i.�,i��`� ;...s Y -,jy..._'l'' ti r�.'h{:r.[�S^' ♦•` � :�• � af. � .. .- �, rx :y'�9 H �_ � �i: r ` ''�. 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T SW-003 k°* gui ' EDG 9 Solid Waste and recycling Containers Y Bldg. ,Y Cooling 48" RCP 10 Water Treatment Facility e Garage xx� x g' ❑© Tower 11 Diesel Fuel AST h e 12 Compactor Buildings �. \ f` l® ®' 13 Transformer Gasoline I AST rr X � 14 Diesel Fuel AST - A 3 g aso ine and Diesel Fuel 15 �_ •' ' Dra• a e °'- 16 Fueling Area Legacy F H g Turbin a 15 Acres h,.. 17 Loading Area u ^ / ` — --- 18 ater Treatment Facility • Pond g BI X. {' W - x _ 75% Impervious 19 Used Oil AST Drainage Area 8 __ ',. f p .: �_ � x.. . .. 20 Used Oil AST ---- - - eac i '�,� ` � R t r Park'ng 21 Used Oil AST 10 Acres c ® _ ® 22 Used Fuel AST ,R ot 50% Impervious Crane Laydown P ' p , : , - ® .'_. .: .` � . 24 Used OiI AST Yard � • ® . of - �/ © , .` 25 Oil Water Separator ste ® ® p. 26 Fueling Island Rewind Building - ® i X /�` � 27 Lift Station ® © 0 28 Loading Area z Drainage Area 6 - � Pro ssin , '� . ,' g Drain g Area 4 - �-_ •. . . �, Bldg •.� Laydown Area 28 Acres _ a e • '< ® es 33 Acres 3o Acid AST 4% Impervious .' o Impervious® 31 Lift Station � w / 50% I m pe 32 Transformers ® ® ® O SWii C• hyard 33 Used Cooking Grease Storage f 3 _ dmin\. ® ❑0 0' 34 Lift Station Y U Flex Building ~` o: Semite Idg, a `'/' • +s r 35 Diesel Fuel UST o N © X Bldg. / 36 Diesel Fuel AST in ❑ ® 0- d Old Reactor Head g' ❑ f ❑ t i o n _ J , . � 37 Transformer � �, � ® ® 38 Portable Generator-Diesel Fuel Q Shearon Harris Storage Building o : ® - w © �� � - .Retention �• -� Drainage Area 7 g g ❑ Basin �' 39 Crane Laydown Area Reservoir x ® /' -- e' a 40 Diesel Fuel AST ; 45 Acres ulk Whs . . o ; '� o �t . 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V _ ;• ;.;�; „� '`� °�,, � _ 72 3D Trasar AST � 5 /o Impervious 9 p 73 3D Trasar AST , irw s= U Z ; ' e ¢ - 74 3D Trasar AST Z oC 75 AST Loading Area N < O Y: LLUz r 76 Transformer � � ' 1 r 1• F Drainage Area 6 ��-�� ._ x` ==� - � N J x¢ ..5Y III 77 External Material Storage _ r\J _ 26 Acres Un{ 65% ImperviousLU K z Inverted Siphon Legend f Stormwater Outfall "'• t a Ditch ❑® Catch Basin Stormwater Piping m Flow Arrow J N Spill Kit ` Security Fence .v Laydown Yard / Switchyard Non-Industrial Drainage PROJECT NUMBER '3 Railroad 4226-17-071 U REFERENCE: Protected Area DRAWING NUMBER F AERIAL PHOTOGRAPHS OBTAINED FROM GOOGLE EARTH. THIS MAP IS FOR INFORMATIONAL PURPOSES ONLY. ALL FEATURE LOCATIONS DISPLAYED ARE APPROXIMATED. THEY ARE NOT BASED ON CIVIL SURVEY INFORMATION, UNLESS Buildi g r n STATED OTHERWISE. - �X�k��x Impervious Surface Young, Brianna A From: Safrit, Don <Don.Safrit@duke-energy.com> Sent: Tuesday, June 28, 2022 1:22 PM To: Young, Brianna A Cc: Wilson, Bob; Peters, Brice;Valentine, Thad; Garcia, Lauren V Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Attachments: RA-22-0198 NC DEQ DEMLR NCS Permit Application Package -Form 2F.pdf Importance: High CAUTION: External email. Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Report Spam. Brianna, Per the note below, enclosed you will find the response regarding the Form 2F data collection efforts and revised Form 2F. We look forward to seeing you guys on Thursday at the Harris Nuclear site. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 DUKE ENERGY# From: Safrit, Don Sent: Friday,June 24, 2022 3:35 PM To:Young, Brianna A<Brianna.Young@ncdenr.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>; Peters, Brice<Brice.Peters@duke-energy.com>; Valentine,Thad <thad.valentine@ncdenr.gov>; Garcia, Lauren V<lauren.garcia@ncdenr.gov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Brianna, Per our conversation this afternoon, we have completed the analyses and will be providing hard &electronic copies in the very near future. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 DUKE ENERGY, From:Young, Brianna A<Brianna.Young@ncdenr.gov> Sent: Friday,June 24, 2022 3:17 PM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>; Peters, Brice<Brice.Peters@duke-energy.com>;Valentine, Thad <thad.valentine@ncdenr.gov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Hello Don, Before the site visit next week I wanted to check the status of the stormwater sampling data you mentioned previously. Have you received the results and been able to work on an updated application? Thank you, Brianna Young, MS(she/her/hers) Industrial Individual Permits Coordinator Stormwater Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred) 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or are on staggered shifts. Please check with the appropriate staff before visiting our offices,as we may be able to handle your requests by phone or email.We appreciate your patience as we continue to serve the public during this challenging time. From:Young, Brianna A Sent:Tuesday, May 24, 2022 10:13 AM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>; Peters, Brice<Brice.Peters@duke-energy.com>;Valentine, Thad <thad.valentine@ncdenr.gov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Don, Thank you for providing this update. Please let me know if you have any questions as you work on the amended application. Thank you, Brianna Young, MS(she/her/hers) 2 Industrial Individual Permits Coordinator Stormwater Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred) 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or are on staggered shifts. Please check with the appropriate staff before visiting our offices,as we may be able to handle your requests by phone or email.We appreciate your patience as we continue to serve the public during this challenging time. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Tuesday, May 24, 2022 9:54 AM To:Young, Brianna A<Brianna.Young@ncdenr.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>; Peters, Brice<Brice.Peters@duke-energy.com>;Valentine, Thad <thad.valentine@ncdenr.gov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 CAUTION: External email. Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Report Spam. Brianna, We have completed the ISW sampling event and are in the process of receiving the analytical results. We will provide an updated Form 2F once all the results have been received/compiled. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 DUDE ` ENERGY# From:Young, Brianna A<Brianna.Young@ncdenr.gov> Sent:Thursday,April 21, 2022 2:14 PM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>; Peters, Brice<Brice.Peters@duke-energy.com>;Valentine, Thad <thad.valentine@ncdenr.gov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Thank you for the update, Don. 3 Brianna Young, MS(she/her/hers) Industrial Individual Permits Coordinator Stormwater Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred) 919-707-3647(office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or are on staggered shifts. Please check with the appropriate staff before visiting our offices,as we may be able to handle your requests by phone or email.We appreciate your patience as we continue to serve the public during this challenging time. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Thursday,April 21, 2022 9:24 AM To:Young, Brianna A<Brianna.Young@ncdenr.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>; Peters, Brice<Brice.Peters@duke-energy.com>;Valentine, Thad <thad.valentine@ncdenr.gov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Importance: High CAUTION: External email. Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Report Spam. Brianna, Thanks for checking in on this matter but we have not been able to accomplish the sampling due to some storm event coordination challenges we've encountered at the Harris site.We believe we have resolved these challenges and are closely monitoring the weather so we can accomplish the task very soon. We will drop you a note when the samples have been collected and shipped for analyses. Please let us know if any questions or if we need to discuss. Thanks, Don Donald(Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 DUKE ter' ENERGY. 4 From: Young, Brianna A<Brianna.Young@ncdenr.Rov> Sent:Wednesday,April 20, 2022 9:51 AM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energV.com>;Valentine, Thad <thad.valentine@ncdenr.Rov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Good morning Don, I am following up on the below request. Have samples been able to be captured yet? I have not seen anything be submitted yet. Thank you, Brianna Young, MS(she/her/hers) Industrial Individual Permits Coordinator Stormwater Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred) 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or are on staggered shifts. Please check with the appropriate staff before visiting our offices,as we may be able to handle your requests by phone or email.We appreciate your patience as we continue to serve the public during this challenging time. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Thursday, March 24, 2022 1:23 PM To:Young, Brianna A<Brianna.YounR@ncdenr.Rov> Cc:Wilson, Bob<Bob.Wilson@duke-enerRy.com>;Valentine, Thad <thad.valentine@ncdenr.Rov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 CAUTION: External email. Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Report Spam. Brianna, Sounds good,we will proceed to coordinate with the next available qualifying storm event and provide the results via an amended Form 2F once received. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 5 DUKE ENERGY, From:Young, Brianna A<Brianna.Young@ncdenr.gov> Sent:Thursday, March 24, 2022 1:09 PM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@ncdenr.gov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Don, As this covers existing discharges and sampling is able to be done, please provide the information. I will hold the permit review until this information is received. Thank you, Brianna Young, MS(she/her/hers) Industrial Individual Permits Coordinator Stormwater Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred during State of Emergency) 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or are on staggered shifts. To accommodate these staffing changes,all DEQ office locations are limiting public access to appointments only. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. We appreciate your patience as we continue to serve the public during this challenging time. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Tuesday, March 22, 2022 5:21 PM To:Young, Brianna A<Brianna.Young@ncdenr.gov> Cc: Wilson, Bob<Bob.Wilson@duke-energy.com>;Valentine, Thad <thad.valentine@ncdenr.gov> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Importance: High CAUTION: External email. Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Report Spam. Brianna, Our recollection was that we had prepared the application package with the intent to conduct the Form 2F stormwater sampling/analyses but experienced difficulties completing the actual sample collection and analyses as described in the package cover letter(excerpt below). As the submittal timeframe approached,we included this 6 language in the cover letter explaining the situation but failed to go back into Form 2F to"uncheck"the boxes. We have been waiting for the application to come under DEMLR review so we could conduct the appropriate storm sampling and analyses. Please note that IMP has not been able to coml EPA Perm 2F. Equipment has recently been pui the sampling and analyses have e not been condL will be completed in the near future, An amende DEMLR once the analytical results from the ston We will proceed to collect the stormwater samples at the representative outfalls(Outfalls 003 &006) during the next available qualifying stormwater event and provide an amended Form 2F if you agree this information is currently needed. Or if you like,the sampling/analyses can be incorporated into the permit as a condition to conduct within the first year following issuance. Also, if you have any interest in visiting the site, please let us know and we can coordinate such a visit. Please do not hesitate to contact us of we need to discuss any of these aspects further. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance, Carolinas 410 S.Wilmington Street I Raleigh, North Carolina 27601 Office:(919)546-6146 1 Cell: (984)209-0940 DUKE EER is From: Young, Brianna A<Brianna.Young@ncdenr.gov> Sent: Monday, March 21, 2022 4:16 PM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc: Wilson, Bob<Bob.Wilson@duke-energy.com> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 Hello Don, I have been reviewing the application for the Shearon Harris plant and saw that in Section 7 of EPA Form 2F, many boxes were checked indicating that quantitative monitoring data was submitted for Tables B, C, and D of the form. However, the tables in the application are blank. Can you please provide the monitoring data for the discharge pollutants identified for each outfall location? 7 Thank you, Brianna Young, MS(she/her/hers) Industrial Individual Permits Coordinator Stormwater Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred during State of Emergency) 919-707-3647(office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or are on staggered shifts. To accommodate these staffing changes,all DEQ office locations are limiting public access to appointments only. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email.We appreciate your patience as we continue to serve the public during this challenging time. From: Safrit, Don <Don.Safrit@duke-energy.com> Sent:Wednesday, March 9, 2022 9:58 AM To:Young, Brianna A<Brianna.Young@ncdenr.gov> Cc:Garcia, Lauren V<lauren.garcia@ncdenr.gov>;Valentine,Thad <thad.valentine@ncdenr.gov>; Denton, Bill <bill.denton@ncdenr.gov>;Wilson, Bob<Bob.Wilson@duke-energy.com> Subject: RE: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 CAUTION: External email. Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Report Spam. Brianna, Sounds good—please let Bob and/or me know if any questions or if we can be of assistance. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 : / DUKE r 01 ENERGY. From:Young, Brianna A<Brianna.Young@ncdenr.gov> Sent:Wednesday, March 9, 2022 9:56 AM To: Safrit, Don <Don.Safrit@duke-energy.com>; Wilson, Bob<Bob.Wilson@duke-energy.com> Cc: Garcia, Lauren V<lauren.garcia@ncdenr.gov>; Valentine,Thad <thad.valentine@ncdenr.gov>; Denton, Bill 8 <biII.denton@ncdenr.Rov> Subject: [EXTERNAL] Shearon Harris Plant Stormwater permit NCS000606 •N! EXTERNAL SENDER *** STOP. ASSESS.VERIFYH Were you •- and spelling correct? Does the content make sense? Can you verify the sender? If suspicious report it, then do not click links, open attachments or enter your ID or password. Good morning, I have begun reviewing the Shearon Harris Nuclear Power Plant new stormwater permit application NCS000606. I will reach out if any questions come up during my review. Thank you, Brianna Young, MS(she/her/hers) Industrial Individual Permits Coordinator Stormwater Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred during State of Emergency) 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or are on staggered shifts. To accommodate these staffing changes,all DEQ office locations are limiting public access to appointments only. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. We appreciate your patience as we continue to serve the public during this challenging time. 9 Young, Brianna A From: Chernikov, Sergei Sent: Wednesday, December 8, 2021 12:25 PM To: Young, Brianna A Subject: RE: Shearon Harris Nuclear Plant permits Brianna, It was a routine renewal, nothing special about it. Thank you! Sergei Sergei Chernikov, Ph.D. Environmental Engineer III Industrial 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:Young, Brianna A Sent: Wednesday, December 8, 2021 12:05 PM To: Chernikov, Sergei <sergei.chernikov@ncdenr.gov> Subject: Shearon Harris Nuclear Plant permits Hey Sergei, Hope you have been doing well!The Stormwater Program received a permit application for the Shearon Harris Nuclear Plant in what looks to be a request to transfer stormwater outfalls from the wastewater permit (NC0039586) into a separate stormwater permit. It looks like you just renewed the wastewater permit, so I wanted to check in and see if there was anything we should be aware of as we work through the stormwater permit application? Thanks! Brianna Brianna Young, MS(she/her) Industrial Individual Permits Coordinator Stormwater Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred during State of Emergency) 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. 1 Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or are on staggered shifts. To accommodate these staffing changes,all DEQ office locations are limiting public access to appointments only. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. We appreciate your patience as we continue to serve the public during this challenging time. 2 Young, Brianna A From: Safrit, Don <Don.Safrit@duke-energy.com> Sent: Friday, September 24, 2021 3:27 PM To: Young, Brianna A Cc: Chernikov, Sergei;Wilson, Bob; Lucas, Annette; Georgoulias, Bethany Subject: RE: [External] HNP NPDES NCO039586 - Industrial Stormwater Conditions Boilerplate Part V Importance: High CAUTION: External email. Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Report Spam. Brianna, Sounds good—thanks and we will let you know of any related questions regarding this matter. We look forward to the draft Industrial Stormwater Permit (NCS000606) once prepared. Please plan to share with Bob Wilson (Harris Nuclear Plant Site (HNP) Environmental Field Professional (EFS) and me once ready. Thanks, Don Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 DUKE EEnM # From:Young, Brianna A<Brianna.Young@ncdenr.gov> Sent: Friday, September 24, 2021 2:53 PM To: Georgoulias, Bethany<bethany.georgoulias@ncdenr.gov>; Safrit, Don <Don.Safrit@duke-energy.com> Cc: Chernikov, Sergei <sergei.chernikov@ncdenr.gov>; Wilson, Bob<Bob.Wilson@duke-energy.com>; Lucas, Annette <annette.lucas@ncdenr.gov> Subject: RE: [External] HNP NPDES NCO039586- Industrial Stormwater Conditions Boilerplate Part V Don, Please follow the standard language (Part V) of the previous NPDES wastewater permit concerning stormwater until the stormwater permit application can be reviewed. However, one caveat to that is we suggest you use eDMR for the stormwater outfalls to meet current EPA requirements. We will add the stormwater outfall locations to our database under the wastewater permit NCO039586 for now so that you can submit electronically if you choose. We will hopefully have this done sometime next week. Please let me know if you have any other questions. Thank you, Brianna Young, MS(she/her) 1 Environmental Program Consultant Industrial Individual Permits Coordinator Stormwater Program NC DEQ/Division of Energy, Mineral, and Land Resources (DEMLR) Brianna.Young@ncdenr.gov(e-mail preferred during State of Emergency) 919-707-3647 (office) Mailing address: 1612 Mail Service Center, Raleigh, NC 27699-1612 Physical address: 512 North Salisbury Street, Raleigh, NC 27604 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or are on staggered shifts. To accommodate these staffing changes,all DEQ office locations are limiting public access to appointments only. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email.We appreciate your patience as we continue to serve the public during this challenging time. From: Georgoulias, Bethany<bethany.Reorgoulias@ncdenr.Rov> Sent:Thursday,September 23, 2021 12:00 PM To: Safrit, Don <Don.Safrit@duke-energy.com> Cc: Chernikov, Sergei <serRei.chernikov@ncdenr.gov>; Wilson, Bob<Bob.Wilson@duke-energy.com>; Young, Brianna A <Brianna.YounR@ncdenr.Rov>; Lucas,Annette<annette.lucas@ncdenr.gov> Subject: RE: [External] HNP NPDES NCO039586- Industrial Stormwater Conditions Boilerplate Part V Don, We discussed this this morning, and Brianna Young will be following up with you soon. Best regards, Bethany Georgoulias (she/her) Environmental Engineer Stormwater Program,Division of Energy,Mineral,and Land Resources N.C.Department of Environmental Quality 919 707 3641 office bethany.georgoulias@ncdenr.gov 512 N. Salisbury Street, Raleigh,NC 27604 (location) 1612 Mail Service Center,Raleigh,NC 27699-1612 (mailing) Website: htt12://deq.nc.gov lab out/divisions/energy-mineral-land-resources/stormwater Q.E Q 15 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties Based on the current guidance to minimize the spread of COVID-19,the Department of Environmental Quality has adjusted operations to protect the health and safety of the staff and public. Many employees are working remotely or 2 are on staggered shifts.To accommodate these staffing changes, all DEQ office locations are limiting public access to appointments only. Please check with the appropriate staff before visiting our offices, as we may be able to handle your requests by phone or email. We appreciate your patience as we continue to serve the public during this challenging time. From: Safrit, Don [mailto:Don.Safrit@duke-energy.com] Sent:Tuesday, September 21, 2021 8:17 AM To: Georgoulias, Bethany<bethany.georgoulias@ncdenr.gov> Cc: Chernikov, Sergei <sergei.chernikov@ncdenr.gov>; Wilson, Bob<Bob.Wilson@duke-energy.com> Subject: RE: [External] HNP NPDES NC0039586- Industrial Stormwater Conditions Boilerplate Part V Importance: High CAUTION: External email. Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Report Spam. Bethany, Here's the Part V which was in the previous HNP permit (NC0039586). We primarily want to be sensitive to any changes in boilerplate language from the previous version to now so I can review with all the HNP folks involved with this matter. While we are on the Industrial Stormwater topic, any status report on the HNP individual Industrial Stormwater Permit (NCS000606)? Language is in the current permit just issued by DWR which "expire" once DEMLR issues HNP ISP NCS000606. Let me know if we need to discuss any of these aspects. Thanks, Don 3 H P NCO039586 — * Part V — Industrial Stormwater Boilerplate L ngL o changes; however, there will be an Individual Industrial S (NCS000606) issued in the future and the current NCO0395E obligations will become "null & gold" once this new Individual effect. Part I (A)(21 ) T RM TE MONITORING F EQUII EMEI seq., 15A NCAC 0 h .0126 et seq.] tormweter conditions under this section will expire on the el individual stor water permit is issued to the facility by the Di and Land Resources. Donald (Don)Safrit, P.E. Lead Environmental Specialist Duke Energy I Permitting and Compliance,Carolinas 410 S.Wilmington Street I Raleigh,North Carolina 27601 Office:(919)546-6146 1 Cell:(984)209-0940 DUDE '` ENERGY. From: Chernikov, Sergei <sergei.chernikov@ncdenr.gov> Sent: Monday, September 20, 2021 9:39 AM To: Georgoulias, Bethany<bethany.georgoulias@ncdenr.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com>; Safrit, Don <Don.Safrit@duke-energy.com> Subject: RE: [External] HNP NPDES NC0039586- Industrial Stormwater Conditions Boilerplate Part V 4 CAUTION! EXTERNAL SENDER *** STOP. ASSESS.VERIFYH Were • expecting this email?Are grammar and spelling correct? Does the content make sense? Can you verify the sender? If suspicious report it, then do not click links, open attachments or enter your ID or password. Bethany, Could you please e-mail me the latest version of the Stormwater Boilerplate Language. Thank you! Sergei Sergei Chernikov, Ph.D. Environmental Engineer III Industrial 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: Safrit, Don [mailto:Don.Safrit@duke-energy.com] Sent: Monday, September 20, 2021 9:35 AM To: Chernikov, Sergei <sergei.chernikov@ncdenr.gov> Cc:Wilson, Bob<Bob.Wilson@duke-energy.com> Subject: [External] HNP NPDES NCO039586- Industrial Stormwater Conditions Boilerplate Part V Importance: High CAUTION: External email. Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Report Spam. Sergei, We were reviewing the received permit and noticed the Industrial Stormwater Boilerplate (Part V)was not attached to the original permit received at the facility. Can you issue a clarification letter and transmit a copy of the Part V Boilerplate to note it should have been included (include an electronic copy to Bob & myself)? I will send a copy of the Boilerplate from the previous permit separately to guard against any email system rejections due to file sizes. Please let me know if any questions or if we need to discuss. Thanks, Don Donald(Don)Safrit, P.E. 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SW-007 Creek SW-006 Drainage Area 5 12 Acres !`' 95% Impermeable ¢ X• Drainage Aroma 6 SCALE: 26 Acres 1 " = 600 ' f, 65% Impermeable DATE: } n MARCH 2O20 PROJECT NUMBER s 4226-17-071 ram' ;�, FIGURE NO. Legend Stormwater Outfall n (FEET) Non-Industrial Drainage L - - i 1. rQi f r x '. S r • y. r ;•�.: ,�: .r .z •� - E . � - �-_ � Drainage Area A W E :- r Drainage Area 1 5 Acres G t, - x tip• . , _ A 66 Acres � 100% Pervious �,: -. : ,' •' •; a r 301 ZIMA PARK ROAD r. o SPARTANBURG SC 29301 - 40/o Impervious y.: . `\ Aw • .d _ „.'S4i.�,i��`� ;...s Y -,jy..._'l'' ti r�.'h{:r.[�S^' ♦•` � :�• � af. � .. .- �, rx :y'�9 H �_ � �i: r ` ''�. '�' '�. ..^'�¢ri 'r± '�Y,<?xwn' _ �' � ' .?}x '} 1 fFl.. _;SAS..�,rs _.x �`' .! ' ' ,i Y'�dY'..' f P•",.e.t •-• - /- i. Site Entrance and Security Gate ram$ �` � ""SS /- /• 1 � '� �'�:� •` Al N '- s /' j Warehouse 6 �.•��� � West •-� � , w n Laydo Yard Warehou Warehouse 9 - .: :, �► �. �� -North 6 94 4 - y Y ,4 - ::. aydown k G� 1 g T and _ Thomas Creek R r• - - :�i / I •1 - - !r .j - - - -` Drainage Area 9 - 3a - - h a ' - - - - - -- - Pr 'e t9 es Wareh use 9 ' a k arkin Lot w 2- - _ ;P s o0 70% Im ervious - .� g ,i•. . x N w y 1.. ..,. or Projects c ca aj ESW Discharge Canal g • - f-- plex .. om o LN ❑° X Significant Materials and Activities Exposed to Stormwater fRailroad f Map ID Description •..;, .., r ,t.. Dumpster a ., -. SW-09 :.. 4- R - ., .. - o- 1dt a 2 Transformer .. _ Car. Drama a Area 2 _ --42 RCP x �r 3 3 Lift Station 14 Acres 4 Lift Station wastewater Treatment Plant o Impermeable ^ ...� 6 Transformer 0°/ 7 Wastewater Treatment Units •` _ _ o j.' 8 Diesel Fuel AS ai n. T SW-003 k°* gui ' EDG 9 Solid Waste and recycling Containers Y Bldg. ,Y Cooling 48" RCP 10 Water Treatment Facility e Garage xx� x g' ❑© Tower 11 Diesel Fuel AST h e 12 Compactor Buildings �. \ f` l® ®' 13 Transformer Gasoline I AST rr X � 14 Diesel Fuel AST - A 3 g aso ine and Diesel Fuel 15 �_ •' ' Dra• a e °'- 16 Fueling Area Legacy F H g Turbin a 15 Acres h,.. 17 Loading Area u ^ / ` — --- 18 ater Treatment Facility • Pond g BI X. {' W - x _ 75% Impervious 19 Used Oil AST Drainage Area 8 __ ',. f p .: �_ � x.. . .. 20 Used Oil AST ---- - - eac i '�,� ` � R t r Park'ng 21 Used Oil AST 10 Acres c ® _ ® 22 Used Fuel AST ,R ot 50% Impervious Crane Laydown P ' p , : , - ® .'_. .: .` � . 24 Used OiI AST Yard � • ® . of - �/ © , .` 25 Oil Water Separator ste ® ® p. 26 Fueling Island Rewind Building - ® i X /�` � 27 Lift Station ® © 0 28 Loading Area z Drainage Area 6 - � Pro ssin , '� . ,' g Drain g Area 4 - �-_ •. . . �, Bldg •.� Laydown Area 28 Acres _ a e • '< ® es 33 Acres 3o Acid AST 4% Impervious .' o Impervious® 31 Lift Station � w / 50% I m pe 32 Transformers ® ® ® O SWii C• hyard 33 Used Cooking Grease Storage f 3 _ dmin\. ® ❑0 0' 34 Lift Station Y U Flex Building ~` o: Semite Idg, a `'/' • +s r 35 Diesel Fuel UST o N © X Bldg. / 36 Diesel Fuel AST in ❑ ® 0- d Old Reactor Head g' ❑ f ❑ t i o n _ J , . � 37 Transformer � �, � ® ® 38 Portable Generator-Diesel Fuel Q Shearon Harris Storage Building o : ® - w © �� � - .Retention �• -� Drainage Area 7 g g ❑ Basin �' 39 Crane Laydown Area Reservoir x ® /' -- e' a 40 Diesel Fuel AST ; 45 Acres ulk Whs . . o ; '� o �t . CD LU ------------------- --- ---- • ' � 41 Transformer I � 21 % Im ervious / ® /' o 0 p Old Steam Generator ® ,` ® �: J �► sw-oo4 Liqu dfNStrogenAST o % 42 f ® / Ditch 44 Liquid Ammonia AST � Storage Building n _ _ 6 6 /' • 45 Sodium Hydroxide AST Thomas Creek N m •® ® - - /.• 46 Sulfuric Acid AST z \ / ® 47 Transformer 48 Aggregate Storage Drainage Area 10 49 Emergency Generator-Diesel ® -' 50 Transforme-Yard 7 Acres 51 Diesel Fuel USTs 00 ® X ,°''• ° . . ., Oily Rag Storage in 55 Gallon Drum 20/o Impervious f. ' 52 p s • :. ® ,�` :. .-_ 53 Fuel Off Loading Area (Sheet Flow to Intake , r l - / 54 Sewage Lift Station Firing ' X X ❑ r' 55 Sewage Lift Station Canal '. �, ��- /' ® r?'��f�; 56 Solid Waste Dumpsters Range f } r f .. 57 Sewage Lift Station 58 External Material Storage 59 Metal Main lnta ., ¢.. "' 60 Oil Bearrriing EElectri altEquipment - , _ Structure �' 61 AST Area w.., FORK, �' 62 Acid AST � -� �. ESW intake _ -3- g x'4 � . , Wastewater Treatme t _ - AT - 63 Trilite AST Canal • }yryj{9y+.} SW-005 r - N J.ry CP CP Tr'lite AST ,. ,,,,_ .: --..:: '. '�'•. :..:g •"•,; Biodetergent A ST rV Plant � � 42 R /60 R '� 6 ' .` 0 '. CPM' � 4' ,� •-'�' •� r, •,�`� 66 AST Loading Area 0 0 r r '°- "�•: `/ � 67 Lift Station Primary Intake Canal 68 Sewage Lift Station z Q z 5`w' �• �` r 69 Ammonium Bisulfite AST J — ° : > SW-006 Drainage Area 5 `� J � z; �: - - 70 Lift Station �^/ O ' r 42 'RCP W < 12 Acres 71 3D Trasar AST w = Q •� ti .. V _ ;• ;.;�; „� '`� °�,, � _ 72 3D Trasar AST � 5 /o Impervious 9 p 73 3D Trasar AST , irw s= U Z ; ' e ¢ - 74 3D Trasar AST Z oC 75 AST Loading Area N < O Y: LLUz r 76 Transformer � � ' 1 r 1• F Drainage Area 6 ��-�� ._ x` ==� - � N J x¢ ..5Y III 77 External Material Storage _ r\J _ 26 Acres Un{ 65% ImperviousLU K z Inverted Siphon Legend f Stormwater Outfall "'• t a Ditch ❑® Catch Basin Stormwater Piping m Flow Arrow J N Spill Kit ` Security Fence .v Laydown Yard / Switchyard Non-Industrial Drainage PROJECT NUMBER '3 Railroad 4226-17-071 U REFERENCE: Protected Area DRAWING NUMBER F AERIAL PHOTOGRAPHS OBTAINED FROM GOOGLE EARTH. THIS MAP IS FOR INFORMATIONAL PURPOSES ONLY. ALL FEATURE LOCATIONS DISPLAYED ARE APPROXIMATED. THEY ARE NOT BASED ON CIVIL SURVEY INFORMATION, UNLESS Buildi g r n STATED OTHERWISE. - �X�k��x Impervious Surface III Legend Significant Materials and Activities Exposed to Stormwater Significant Materials and Activities Exposed to Stormwater Map ID Description Map ID Description 1 Dumpster 40 Diesel Fuel AST Stormwater Outfall 2 Transformer 41 Transformer 3 Lift Station 42 Lift Station 4 Lift Station 43 Liquid Nitrogen AST Ditch 5 Wastewater Treatment Plant 44 Liquid Ammonia AST 6 Transformer 45 Sodium Hydroxide AST ❑® Catch Basin 7 Wastewater Treatment Units 46 Sulfuric Acid AST 8 Diesel Fuel AST 47 Transformer 9 Solid Waste and Recycling Containers 48 Aggregate Storage Stormwater Piping 10 Water Treatment Facility 49 Emergency Generator-Diesel N 11 Diesel Fuel AST 50 Transformer Yard Q0 � Ln Flow Arrow 12 Compactor 51 Diesel Fuel USTs Q N 13 Transformer 52 Oily Rag Storage in 55-Gallon Drum Z Q 14 Diesel Fuel AST 53 Fuel Off-Loading Area �W V) Z `{ Spill Kit 15 Gasoline and Diesel Fuel AST 54 Sewage Lift Station � � 0 16 Fueling Area 55 Sewage Lift Station CA w = v 17 Loading Area 56 Solid Waste Dumpsters Q v Z = SecurityFence 57 Sewage Z z O 18 Water Treatment Facility g fJ7 Z cr- of 19 Used Oil AST 58 External Material Storage ,Q Z Laydown Yard 20 Used Oil AST 59 Scrap Metal Containers Q Ln 21 Used Oil AST 60 Oil-Bearing Electrical Equipment = _ 22 Used Fuel AST 61 AST Loading AreaLn Switchyard 23 USTs 62 Acid AST z 24 Used Oil AST 63 Trilite AST Non-Industrial Drainage 25 Oil Water Separator 64 TriIiteAST 26 Fueling Island 65 Biodetergent AST 27 Lift Station 66 AST Loading Area Railroad 28 Loading Area 67 Lift Station 29 Laydown Area 68 Sewage Lift Station Protected Area 30 Acid AST 69 Ammonium Bisulfite AST 31 Lift Station 70 Lift Station 32 Transformers 71 3D Trasar AST Building 33 Used Cooking Grease Storage 72 3D Trasar AST 34 Lift Station 73 3D Trasar AST 35 Diesel Fuel UST 74 3D Trasar AST Impervious Surface 36 Diesel Fuel AST 75 AST Loading Area 37 Transformer 76 Transformer SCALE: 38 Portable Generator-Diesel Fuel 77 External Material Storage NOT APPLICABLE 39 Crane Laydown Area DATE: s MARCH 2O20 v Y PROJECT NUMBER 4226-17-071 r FIGURE NO. a 0 4 1 ® ® ,fix' 0 III = tip• Firing '. a Range - Main Intake N X Ln Structure Q N ESW Intake g ° z J r Wastewater Treatme t l Canal w � � o < < < ,.: LU Plant sw-oo. 60 °RCP z Of �1 r NQo � = z r- of SW Ln O 442"' CP z FR Inverted # 4 '✓ Siphon _ '. `� --, a ... .. •�.- �'(:: - _ J'-.. I: SCALE: AS SHOWN Note: This edition of map represents addition of security fence in March 2020. _• _ t SATE: MARCH 2O20 PROJECT NUMBER 6 - - , 4226 17 071 i rA N ;: :• t ti FIGURE NO. t 7 0 100 200 # .. (FEET) ''.•r .�,. 'r J . \ µ - Warehouse 9 es ESW Discharge Canal . Sw-008 SW-009 4'2 RCP Ra'•I r ^ ti 42" RCP Car .. . Ln jxn,Kx>.;<xx.xr.xxx r ® ® z 0 Q ® B Q z n U _ J � O F y Geri '` Q Q Q e Buie: ain. EDG x U z = Bldg = 0 XX" ® ® Bldg. z Q o Garage o L w z zof V1 _ Buildings 7 _ - Ln .. w : Legac 4;: ``;: . F Han ling Turbin Pond a=� Bldg. Bldg. o React r Crane Laydown Yard = ®®B ® 4( . . X aste Rewind Building Processin Bldg. SCALE: 8 g Y = �: -� Flex Building � .� x � � AS SHOWN 6 L DATE: s s ' Old Steam Generator MARCH 2O20 Y Water Storage Building f PROJECT NUMBER Old Reactor H d Service 4226-17-071 ° FIGURE NO. '°° 200 Storage Buildi Bldg. (FEET) Note: This edition of map represents k, addition of security fence in March 2020. \ III ParkLot X , X E ® H x} Switchyard dmin. •� � N Ln y_ Q N Q o Q ■ .�- Rete = z o �; QQ � asi w B . '. J S U ® z Q o ` Ln LU z ° a - > Thomas Creek w •f i'1'.. r �� � « a Main Intake sw-oos \� Structure s SCALE: 42'f R " _ CPY60 RCP s AS SHOWN — . 7 DATE: 5 MARCH 2O20 PROJECT NUMBER . .:: 4226-17-071 V .F - Y ' 0 100 200 FIGURE NO. Primary Intake Can (FEET) Note: This edition of map represents "r addition of security fence in March 2020. f ri• Nti . r . e •4� k. III j Warehouse 6 1 West Laydown 1 Yard . 1 -� sw-oo� - x•1 � 36" RCP Wareh ` se 9 Note: This edition of map represents North : ^ x a Y �. ''` may. addition of security fence in March 2020. oLn Laydo 1 .'h= � Warehou .• = Z ° z:; : E.y J V1 J Yard � o 6 0, ' w Q X1 .. X X i � v = ' XOf C , Q o Thomas Creek z w � J N Q J ® .,r n LU -- r - Warehouse 9 Major P Parkin ® Lo sw-oo2 8 les ajor Pr is ®.° 36" RCP 6 ' omple • 7 �. 5 r a o. < ; 100 200 ► �f r SCALE: � ®❑ t AS SHOWN s . xxx (FEET) L DATE 4 X MARCH 2O20 ? PROJECT NUMBER ® ain. X X EDG sw-oo3 4226-17-071 FIGURE NO. ® Bldg. :. m Cooling ; ® Tower {..,r.. h ,. W" i, Ul ; Ly.,All" a All • ; e e e ; D v_".nW 301 ZIMA PARK ROAD SPARTANBURG,SC 29301 �, /• ee S — /' I �� ` (864)574-2360 . 21 I , - e e .r h -I1 �. r I F \ fix• � - - � - ' e x` �► \\�' '\ /� IW Warehouse ' X Ait, -10 \ a - \ a Thomas Creek 1-9 Drainage Area 9 9 Acres \ \� y \ Warehouse 9 Major ro)ec 70% Impervious \ \ ^ .f r � f ��\ � �. gin. , Lot X Scales es , i . . Truck X 2-7 I : SW-002 \ SW Discharge Canals. - - , r r ' . a SW-009 1-a Railroads 9-9 9-6 9 4 2-4 `- X X X 9-5 2 3 ,l sw-s 8- El — .— — - t x e `i`erato` s-2 :f 2 13 • .. .,�.._ _ � ,., EDP M . , r 9-1 r. ildingN. 1-2 21 EDG ❑ -12• , C 2-14 _ .. v ° Bldg. 2-11 \ o Cooling Sw-003 Garage XX Tower r , w ��' - � Buildin s \ _._ . . .�' ,.r - 1-1 - Ham, u \ g 8-6 3-2 -10 / ® '�� 3-10 Legacy 8-2 ® Turbine ❑® 8-3 Pond 8-4 Bld Bldg.A. 3-21 ctor r g• r. „ .. .� :. .. N" r ' l 3-8 ® ® ��f — ' .,�. � :'yid ',..:-•. . '' ® h .. '� � Lot > k Crane Laydown 5.1 w 3-6 i Yard 5-11 6-1 . r.Y - - - •'r. - N n uil B g ® 6-2 ® -0 Processing 4.1 ` , ., ., Rewind •n /ter. Pro eWasts s i n 5-6 , 3-16. ® +' ® 5-9 r : g _ . Bldg. 5-8 r: 4-16 ell 00 5-14 . W w R`J�� ,.y. .r "}.. ! :� - I'•- +�•. - - ,"•F,�. 6.3 g_4 �-13 � 4-5 - 4-15 v o Slam witch and \ / C) \ Amin. 1 ® 44. ❑,. e /' ! N b 3-14 Flex Building o / z 6-6 Idg. - _ , - • �'r Service t . / 6-7 g. d Reactor Head,, 7 Old d \ e • ' n 'on : Storage Building6-14 41 � ., X X X .� •\ � � X � - J` - : � Basin •�' � 6-15 ® Bulk W h s e. n,, fret = ! .� ® 6-19 • 5-21 ® If Y' 16 Old Steam Ge ator ® 4-$ %► =,k .���' Storage Buildi 5-25 �,f - is 6-20 � 6-17 6 21 Thomas Creek El z. r / - - - rt ,> . to � N � 5 27 @''•i w / ® , .. ♦ J In �s r 6-23 Ct U Cn O X X ` 7 1. X un J U 5" ` 5-28 _ r Fi ri ng a. $ z r r1r Q 0 .. ; X X J Range 1 - X 7-2 �' \� / Y = � ! V'00.1 El i�4 1 6-25 2 x X X � { ® f e Main Intak Ln 10-1 r- 10-2 ' \ ; Structure SW-00F El ESW Intake Wastewater Treatment \ - Canal ' ` Legend Plant ' �. �... .,.,- Stormwater Outfall cc L '� • 4mary Security Fence Intake Canal cc Y Ditch N e �.: '' ,,' ., ram. 1 -► ri _ _ .... - -F- - __• ❑® Catch Basin 06 J Stormwater Piping r� .nI. - �4 - �' .'' r�� '.r."�.;;�.. *7nti`�, - �.ati:�.r -• f. ..iX: J.r •',iy;F'r ...: ;.. .',.F!-"„i c.'--''.s Flow Arrow . f s t - . .Sy f: fc, -_ - �:" .c' - {�;��' - .•'its: .'';• -- - _ '�. � . ,:�:.; }•fig - •:r• - 1--�:;:' '�':�J:., ' - r - PROJECT NUMBER Non Industrial Drainage s. • / .. � .. -d, `'�~ - - ...,v:.-•.�:- '•,:,: - r-r:w. r "r _ - �. Railroad 150 REFERENCE: "` Inverted Si hori y Y / i ,. Protected Area DRAWING NUMBER AERIAL PHOTOGRAPHS OBTAINED FROM GOOGLE EARTH. THIS MAP IS FOR INFORMATIONAL PURPOSES ONLY. ALL / ,., = FEATURE LOCATIONS DISPLAYED ARE APPROXIMATED. THEY ARE NOT BASED ON CIVIL SURVEY INFORMATION, UNLESS Building" ° •t - - - _ _ STATED OTHERWISE. ' Impervious Surface STORM WATER POLLUTION PREVENTION PLAN HARRIS NUCLEAR PLANT 5413 Shearon Harris Road New Hill, North Carolina 27562 Duke Energy Progress, LLC Revision 5 September 2020 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Contents 1.0 General Requirements ....................................................................................... 1 1.1 Purpose........................................................................................................... 1 1.2 SWPPP Development ..................................................................................... 1 1.3 Management Certification................................................................................2 2.0 Storm Water Pollution Prevention Plan ..............................................................3 2.1 Site Overview ..................................................................................................3 2.2 Storm Water Management Strategy................................................................5 2.3 Spill Prevention and Response Procedure.................................................... 16 2.4 Preventative Maintenance and Good Housekeeping Program...................... 17 2.5 Facility Inspections ........................................................................................ 17 2.6 Employee Training......................................................................................... 18 2.7 Responsible Party ......................................................................................... 18 2.8 Storm Water Pollution Prevention Plan Amendment and Annual Update...... 18 2.9 Storm Water Pollution Prevention Plan Implementation ................................ 19 3.0 Storm Water Monitoring ...................................................................................20 3.1 Analytical Monitoring Requirements ..............................................................20 3.2 Qualitative Monitoring Requirements.............................................................20 Appendices Appendix A............. Site Maps Appendix B............. Storm Water Outfall Summaries Appendix C............. NPDES Permitted Wastewater Outfalls Summary Appendix D............. Spills and Leaks History Appendix E............. Non-Storm Water Discharge Certification Appendix F............. Material Inventory, Storage and Secondary Containment Appendix G ............ Spill Prevention and Response Procedures Appendix H............. Best Management Practices - Preventative Maintenance and Good Housekeeping Program Appendix I .............. SWPPP Inspection Records Appendix J ............. Employee Training Records Appendix K............. Record of SWPPP Amendments and Annual Updates Appendix L .............Analytical Monitoring Procedures and Results Documentation Appendix M ............ Qualitative Monitoring Procedures and Results Documentation Appendix N............. Storm Water Permit Appendix O ............Table 2 - Industrial Storm Water Fact Sheet - Sector O: Steam Electric Power Generating Facilities Page 2 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 1 .0 General Requirements 1.1 Purpose The North Carolina Department of Environmental Quality (NCDEQ) has issued Duke Energy Progress, LLC a National Pollutant Discharge Elimination System (NPDES) permit for the Harris Nuclear Plant. The permit authorizes the permittee to discharge storm water from the station in accordance with the discharge limitations, monitoring requirements and other conditions set forth in the permit. The permit number is NCS0039586 and expires on August 31, 2021. 1.2 SWPPP Development The permit requires the permittee to develop and implement a Storm Water Pollution Prevention Plan (SWPPP)for the station. The SWPPP is a comprehensive site-specific plan which details measures and practices at the station to reduce and/or eliminate storm water pollution and is based on an evaluation of the pollution potential of the site. The body of this document focuses on development of the SWPPP and the framework of permit compliance which will likely remain unchanged throughout the permit cycle. Where significant changes do occur to the content of the body of the SWPPP, the plan will be amended as required by the permit conditions. The body of the SWPPP is developed to sequentially and specifically address the requirements of Part I of the permit and provides references to the subsections of the permit. Due to the fluid nature of implementing a SWPPP for a complex site such as the Harris Nuclear Plant, the detailed content and documentation of the frequent plan responsibilities are compiled in the appendices. The series of appendices includes SWPPP content in more concise formats such as fact sheets, tables, forms, data, and procedures which can be easily amended for site changes or completed for demonstration of compliance. The appendices may grow in content through the permit cycle as the SWPPP evolves to adapt to changing site conditions and operations. In addition, the Harris Nuclear Plant may utilize company software and databases to ensure the scheduling, completion, and documentation of SWPPP requirements. E-Track is an event management database system used to schedule deadlines for reoccurring events such as inspections, monitoring, and annual updates or record significant events, such as reportable spills. The system provides for ownership of tasks, assignment of staff, electronic notification, and simple documentation of event completion. It may be used to the extent it aids in the implementation of the SWPPP and therefore be a repository of permit compliance. To the extent possible, output from the system will be compiled for archival in the SWPPP. Another database system, Consolidated Access Suite (CAS), may be utilized in conjunction with E-Track to document station operations that demonstrate compliance with the permit requirements. Typically, this system is used to direct maintenance and operational tasks for the purposes of sustaining power generation thereby limiting failures in service and equipment that may Page 3 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 otherwise contribute to storm water contamination or unauthorized discharges. These systems will be periodically referenced for their use in scheduling implementation and documenting compliance. 1.3 Management Certification "I certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to ensure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, true, accurate, and complete. I am aware that there are significant penalties for submitting false information, including the possibility of fine and imprisonment for knowing violations." Name: John R. Dills Signature: Date: Page 4 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 2.0 Storm Water Pollution Prevention Plan 2.1 Site Overview 2.1.1 General Location Map NPDES Permit Reference: Part 1, Section A 21.2a(1) A general location map of the facility is provided in Appendix A. The facility address is 5413 Shearon Harris Road, New Hill, NC 27562. 2.1.2 Narrative Description NPDES Permit Reference: Part 1, Section A 21.2a(2) The Harris Nuclear Plant is an electric generating station located on Shearon Harris Reservoir in the southwestern region of Wake County, North Carolina. The plant is located near the community of New Hill, and approximately 22 miles southwest of Raleigh, North Carolina. The plant property is comprised of approximately 8,351 acres. The plant is owned and operated by Duke Energy Progress, LLC. The Harris Nuclear Plant began commercial operation on May 2, 1987, and consists of one 1039 MW (gross) pressurized water nuclear reactor unit and associated support facilities. Primary structures contiguous with the reactor unit containment include a reactor auxiliary building, a turbine building, a fuel handling building, an operations building, and a waste processing building. Separate structures include a security building, an administration building, a cooling tower, a service building, various warehouses, a chemical storage building, a diesel generator building, a water treatment building, diesel fuel storage tanks, numerous transformers, an electrical switchyard, a security firing range and other support facilities. Service water and make-up water needed to replace cooling water lost through evaporation is withdrawn into the plant through the Make-Up Intake Structure. The intake structure is located at the end of a canal connected to the main body of Shearon Harris Reservoir southeast of the plant. Emergency service water for the plant is withdrawn from the Emergency Service Water Intake Channel. This channel is connected to the upper Auxiliary Reservoir located west of the plant. Emergency service water is discharged through a canal back into the upper Auxiliary Reservoir. Both intake canals and the discharge canal are designated as waters of the United States. Page 5 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 The industrial use area of the plant is comprised of twelve storm water drainage areas. Ground cover at the facility is comprised of a combination of building roofs, paved access roads and parking areas, gravel-surfaced areas, and grassed and wooded areas. Approximately 16% of the total industrial use area of the facility is impervious. Drainage area delineations and outfall locations are indicated on the site map in Appendix A. Summary sheets for each storm water outfall, including description of the outfall, description of the contributing drainage area, significant materials and activities, and best management practices (BMPs) are provided in Appendix B. The plant has five internal wastewater outfalls and one combined, external wastewater outfall. A summary table of the NPDES permitted wastewater outfalls is provided in Appendix C. All storm water runoff from the plant enters the adjoining Shearon Harris Reservoir. The reservoir has a full pond elevation of 220 feet above mean sea level. The reservoir spillway discharges into Buckhorn Creek and subsequently into the Cape Fear River approximately 2 miles to the south. In addition to the significant materials particular to each drainage basin, herbicides are applied to selected areas throughout the plant to eliminate undesirable vegetation. All herbicides used at the facility are approved by the company and considered safe to the environment when used according to directions. Records are retained by the vendor and at the plant documenting areas treated, specific herbicides used, and application quantities. 2.1.3 Site Map NPDES Permit Reference: Part 1, Section A 21.2a(3) A site map of the facility is provided In Appendix A. 2.1.4 Significant Spills and Leaks NPDES Permit Reference: Part 1, Section A 21.2a(4) All spills or leaks including but not limited to, releases of oil or hazardous substances in excess of reportable quantities under section 311 of the Clean Water Act (40 CFR 110.3 and 40 CFR 117.3) or section 102 of CERCLA (40 CFR 302.4) are documented by the Site Environmental Coordinator(s). The Site Environmental Coordinator(s) records the details of the spill and any corrective actions taken to mitigate spill impacts. All environmental incidences at the plant are stored for review in the station's Corrective Action System (CAS) or similar record retention system. The Site Environmental Coordinator(s) shall update the list of significant spills and leaks for the previous three years by May 31 of every permit year and place a copy in Appendix D of this plan. Page 6 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 2.1.5 Non-Storm Water Discharge Certification NPDES Permit Reference: Part 1, Section A 21.2a(5) An evaluation for non-storm water discharges shall be performed annually by the Site Environmental Coordinator(s). The evaluation shall determine if a non-storm water discharge is present or otherwise how that discharge is permitted or otherwise authorized. Supporting evaluation information and a copy of the certification shall be included in Appendix E. Allowable non-storm water discharges include: • Foundation drains and natural springs; • Flows from riparian habitats and wetlands; • Air conditioner condensate that includes no added chemicals; • Waterline and fire hydrant flushing; • Discharging from fire-fighting, fire-fighting training, and fire system testing; • All other discharges authorized by an NPDES permit. 2.2 Storm Water Management Strategy 2.2.1 Feasibility Study NPDES Permit Reference: Part 1, Section A 21.2b(1) This section provides a review of the technical feasibility of changing the methods of operations and/or storage practices to eliminate or reduce exposure of materials and processes to rainfall and storm water runoff. Below are descriptions of the existing operations at the plant that present the potential for negative impacts to storm water runoff. These descriptions demonstrate the current practices in use to prevent exposure of storage areas, material handling operations and fueling operations. Page 7 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 DIESEL FUEL AND GASOLINE STORAGE Diesel fuel and gasoline is stored at the plant in several different tanks and containers at the plant. The diesel fuel is primarily used as fuel for emergency diesel generators at the plant. The diesel fuel and gasoline is used to fuel plant vehicles and miscellaneous equipment. The largest containers at the plant are two 175,000 gallon underground diesel fuel storage tanks located north of the plant, and two 110,000 gallon field-erected aboveground diesel fuel storage tanks located in the southwestern area of the plant yard. The aboveground tanks are located within a single common concrete secondary containment structure equipped with a closed drain valve. Drainage from the containment discharges into the plant 10,000 gallon capacity Oil/Water Separator. The plant contains eight additional aboveground diesel fuel tanks, one aboveground gasoline tank, and numerous 55 gallon petroleum storage drums. The remaining tanks are small, shop-fabricated steel tanks maintained at various locations around the plant. The plant contains one 1,000 gallon underground diesel fuel storage tank at the Security Building, and one 10,000 gallon underground diesel fuel storage tank and one 10,000 gallon underground gasoline storage tank in the Mobile Equipment Area. The plant also maintains one small diesel fuel tank and one small gasoline tank on a mobile fuel truck. A complete listing of these containers, including inspection and testing requirements, secondary containment descriptions and inspection requirements, and tanker unloading operation requirements are described in detail in the Harris Nuclear Plant SPCC Plan. All diesel fuel and gasoline storage tanks are provided with some means of passive secondary containment or are integral double-walled containers as described in detail in the Harris Nuclear Plant SPCC Plan. All external containments are inspected prior to being manually drained in accordance with the SPCC Plan. Secondary containments either drain into the plant 10,000 gallon capacity Oil/Water Separator, or onto the plant yard. Mobile tanks are stored in areas that drain to the Oil/Water Separator while in standby mode. Refueling operations for all diesel fuel and gasoline containers are conducted in constant attendance in accordance with plant procedures and the Harris Nuclear Plant SPCC Plan. Tanker trucks are brought on-site to refill the two 175,000 gallon underground diesel fuel storage tanks and the two aboveground 110,000 gallon diesel fuel storage tanks. Tanker unloading into the two 175,000 gallon underground storage tanks, and into the two 110,000 gallon aboveground storage tanks, is conducted on a concrete containment pad adjacent to the tanks. The containment is equipped with open drains to the Oil/Water Separator. Tanker trucks are also brought on-site to refill the other aboveground and underground diesel fuel and gasoline tanks. These tankers unloading operations are conducted adjacent to the containers and in constant attendance in accordance with plant procedures. Prior to filling any container, tank levels are verified by electronic high-level and low-level annunciators, visual sight glasses, or are otherwise verified as described in the plant SPCC Plan. Page 8 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 The plant contains diesel fuel piping primarily associated with the delivery of diesel fuel from the two 110,000 gallon aboveground diesel fuel storage tanks to the emergency diesel generator system, and to other locations and systems. The piping is located aboveground or within concrete trenches. None of this piping is in contact with the soil. Portions of this piping are located within the secondary containment structure surrounding the tanks or at the fuel forwarding skid within the containment pad for the tanker unloading station. All aboveground piping outside of these concrete containments, and all piping within the concrete trenches, is provided secondary containment by open drains to the Oil/Water Separator. Diesel fuel transfer operations from the tanks to the emergency diesel generator system is an automated process. Facility operations personnel conduct daily routine facility walk-downs to observe all aboveground piping, valves, expansion joints, flange joints, and structural supports. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with diesel fuel and gasoline storage practices or tanker unloading operations at the facility. All diesel fuel and gasoline containers are in compliance with the plant SPCC Plan. USED OIL STORAGE AND HANDLING Used oil is collected and stored in eleven small tanks and containers at the plant. The largest used oil tanks are one 4,000 gallon steel tank and one 2,000 steel gallon tank in the Mobile Equipment Area. These two tanks are within a common concrete containment structure. There is a 1,000 gallon steel used oil tank adjacent to the Oil/Water Separator that collects used oil removed by the separator. This tank is within the same concrete containment pad as the separator. There is a 1,000 gallon steel used oil tank adjacent to the Emergency Diesel Generator Building and within a concrete containment structure. There are three 220 gallon poly used oil containers at the plant. Two of these containers are within a common metal containment bin on a covered concrete pad at the Paint Shop. The remaining container is within a concrete containment structure in the Mobile Equipment Area. The plant has a 1,000 gallon steel used oil tank mounted on a mobile trailer. While in standby mode the trailer is maintained in an area of the plant with yard drains that discharge into the Oil/Water Separator. There is a 100 gallon hydrogen seal oil drain tank within a concrete containment structure adjacent to the Turbine Building, and a 200 gallon oil filter drain tank inside the Mobile Equipment Building. The plant also maintains two 55 gallon used cooking oil drums maintained within a poly containment shelter at the east end of the Service Building. A complete listing of all used oil tanks, including inspection and testing requirements, secondary containment descriptions and inspection requirements, and tanker loading operation requirements are described in detail in the Harris Nuclear Plant SPCC Plan. All external containments are inspected and manually drained in accordance with the SPCC Plan. Secondary containments either drain into the plant 10,000 gallon capacity Oil/Water Separator, or onto the plant yard. Mobile tanks are stored in areas that drain to the Oil/Water Separator while in standby mode. Tanker trucks are brought on-site to load used oil as needed from the Page 9 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 various used oil tanks. The tanker loading operations are conducted adjacent to the containers and in constant attendance in accordance with plant procedures. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with used oil storage practices or tanker loading operations at the facility. All used oil containers are in compliance with the plant SPCC Plan. LUBE OIL STORAGE The plant has three lube oil storage tanks consisting of one 14,000 gallon Turbine Generator Batch Oil Tank and two 1,500 gallon Turbine Lube Oil Sump Tanks. All three tanks are located within concrete containment basins inside the Turbine Building. The inspection and testing requirements for these lube oil tanks is described in detail in the Harris Nuclear Plant SPCC Plan. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with these lube oil tanks. OIL-FILLED EQUIPMENT AND SYSTEMS Oil-filled equipment and systems at the plant includes lubrication oils, mineral oils and hydraulic oils maintained within closed conduit systems. These oils are used in hydraulic systems, lubricating systems, gear boxes, machining coolant systems, heat transfer systems, transformers and circuit breakers. Oil-filled equipment and systems, including container inspection requirements and secondary containment descriptions and inspection requirements, are described in detail in the Harris Nuclear Plant SPCC Plan. The plant contains four lube oil and hydraulic oil reservoir systems located inside the Turbine Building. These reservoir systems are not exposed to storm water. Any oil release occurring from these systems will enter open floor drains that discharge into the plant Oil/Water Separator. The largest oil-filled equipment containers exposed to storm water are large transformers containing mineral oil and located in the Transformer Yard on the east side of the Turbine Building. This equipment consists of three 9,180 gallon Start-Up Transformers, four 7,780 gallon Main Step-Up Transformers, and two 5,500 gallon Auxiliary Transformers. All of these transformers are within a concrete containment sump equipped with a manually operated dewatering pump. Containment contents are inspected in accordance with the plant SPCC Plan prior to dewatering, and sump contents are pumped to the plant Oil/Water Separator. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with the large transformers. Smaller oil-filled equipment containers exposed to storm water include numerous pad-mounted service transformers containing mineral oil located at various locations around the plant. These Page 10 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 transformers are used to provide power to the various buildings and facilities at the plant, and are generally not provided with any means of passive secondary containment. Any mineral oil release occurring from these service transformers would result in failure of the unit and subsequent loss of power. The plant relies on system monitoring, frequent inspections, preventative maintenance, and active containment measures as described in the plant SPCC Plan to contain any potential release occurring from these transformers. A mineral oil release from these units will typically discharge vertically into the underlying conduit penetrations which will provide some degree of containment. The potential for storm water impacts associated with mineral oil releases from any of these uncontained pad-mounted transformers is minimal, and could be reduced by the installation of dedicated secondary containments with manually operated drain valves or open drains to the Oil/Water Separator. CHEMICAL STORAGE AND HANDLING Various chemicals are used at the plant for water treatment and other purposes. Bulk chemicals are delivered by tanker trucks and unloaded into respective storage tanks at designated locations. Smaller chemical containers and drums are delivered to the receiving area of Warehouse 9 for storage or subsequent transport via company vehicles to the Water Treatment Building, Paint Shop, Bulk Warehouse, Chemical Warehouse, the Sewage Treatment Plant, and other locations. Plant personnel are trained in safe forklift usage, safe handling of chemicals, and proper use of spill containment and cleanup materials. Spill kits are located at receiving areas. Two 5,500 gallon sodium hypochlorite tanks, one 5,600 gallon phosphoric acid tank, three 4,500 gallon water treatment chemical storage tanks and other smaller chemical containers are used for water treatment and analysis purposes at the Cooling Tower. The sodium hypochlorite tank and other small tanks and containers are within a concrete containment. The containment can be drained to the yard drainage system or can be pumped into the Cooling Tower basin. Small containers of chemicals used for analysis are stored inside the chemical storage building. Four bulk chemical storage tanks, consisting of a 10,800 gallon caustic tank, a 7,500 gallon sulfuric acid tank, a 1,500 gallon empty ammonia tank, and a liquid nitrogen to gaseous nitrogen tank are located at the south end of the Turbine Building. These tanks are within containments that can be drained to the yard drainage system or to a sump that discharges to the Oil/Water Separator. An 8,315 gallon sulfuric acid storage tank is located at the east end of the Water Treatment Building. This tank is within a concrete containment with an open drain to a sump that pumps to the Neutralization Basin. Sodium carbonate, sodium hypochlorite, sodium hydroxide, and water treatment polymers are stored in tanks and containers at the Sewage Treatment Plant. Some of these tanks and containers are stored in totes inside metal buildings with built-in sumps. All chemical storage tanks and containers are provided with some means of containment consisting of secondary containment structures with manually operated drain valves, secondary Page 11 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 containment structures with open drains to other containment or treatment systems, or are stored inside buildings. All external containments with drain valves are inspected prior to being manually draining. All chemical deliveries are conducted adjacent to the containers or at receiving areas in constant attendance and in accordance with plant procedures. Chemical container levels are verified prior to initiating any tanker unloading operation. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with the storage and handling of chemicals. WASTE HANDLING AND STORAGE Waste chemicals and oils produced inside the protected area of the plant is typically transported to and processed in the chemical processing area of the Paint Shop. These materials are stored within a covered concrete containment area with open drains to the Oil/Water Separator. Waste chemicals produced outside the protected area of the plant are typically transported to, processed and stored in Warehouse 6. Waste oils produced outside the protected area of the plant are typically transported to the used oil tanks in the Mobile Equipment Area. Hazardous materials are accumulated in designated satellite waste storage areas at the plant. All satellite accumulation areas are either under shelters or are inside buildings. All hazardous waste generated at the plant is eventually transported to and stored in the Central Hazardous Waste Storage Area located under a shelter attached to the Chemical Warehouse. Dumpsters and roll-off containers are used at certain locations to collect inert materials and solid waste for disposal. No liquids or other materials that could potentially impact storm water are disposed of in external dumpsters. Two closed trash compactors are located west of the Chemical Warehouse. Recyclable waste materials are collected in covered storage containers at several locations inside buildings. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with waste handling and storage. EXTERNAL STORAGE, LAYDOWN AND PARKING AREAS Inert materials such as miscellaneous wood, structural steel, cable, empty drums and other metal components are stored at various external laydown yard areas at the plant. These laydown areas are typically paved or gravel-surfaced. No liquids or materials that could potentially impact storm water are stored on external laydown areas. Cranes and other mobile equipment are parked on the crane laydown yard and in other external parking and storage areas. This equipment can contain oils, fuels, hydraulic fluids and other materials that represent potential storm water impacts. Plant employees are trained to promptly report and respond to spills. Page 12 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Other materials such as soil, sand, gravel, compost, concrete and asphalt may be stockpiled at certain locations on a temporary basis until the material can be recycled, reused or properly disposed of off-site. Stockpiled materials such as soil that could potentially result in the mobilization of sediments when exposed to rainfall are covered, stabilized by temporary or permanent seeding or are otherwise provided with necessary sediment control measures. Drainage areas containing external storage, laydown and parking areas are described in Appendix B. The potential for storm water impacts associated with these external areas could be reduced by covering materials such as soil, gravel, treated lumber, flaking painted surfaces and other materials that represent the greatest potential for such impacts, by regular inspections and maintenance of mobile equipment, and by maintaining mobile equipment inside temporary containments while parked. Constructing permanent shelters over these external areas to prevent contact with storm water is cost prohibitive. SECURITY TRAINING AND FIRING RANGE The plant maintains a designated facility for security training purposes that includes an external firing range. The range is located west of the plant on the north side of the Emergency Service Water Intake Canal. Lead-based ammunition is routinely fired into bullet traps at the range. Storm water runoff from this area flows south and southwest overland into the adjoining Emergency Service Water Intake Canal. The embankment soil pH is routinely monitored and maintained within a range to prevent the lead from becoming soluble. Security personnel maintain an inventory of expended rounds fired and routinely harvesting lead from bullet traps or the soil. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with the security training and firing range. Constructing permanent shelters over the firing range to eliminate exposure to rainfall is cost prohibitive. Duke Energy continuously pursues strategies to holistically manage the exposure of storm water to power generation, waste disposal, and facility management operations. These efforts consider the technical and economic feasibility of changing the methods of operations and/or storage practices. The details from the planning, design, and construction of such improvements shall be incorporated into the SWPPP upon completion. Page 13 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 2.2.2 Secondary Containment Requirements and Records NPDES Permit Reference: Part 1, Section A 21.2b(2) The plant manages numerous oil-based liquids and non-oil based liquids and chemicals which are critical to power generation and transmission, water treatment, waste handling and treatment, and operation of vehicles and equipment. The Harris Nuclear Plant is subject to the requirements of U.S. Environmental Protection Agency (EPA) Oil Pollution Prevention Regulation 40 CFR Part 112 because the oil storage capacity at the facility exceeds 1,320 gallons and the proximity to waters of the United States. As a result, the facility maintains a Spill Prevention, Control, and Countermeasures (SPCC) Plan pursuant to, 40 CFR Part 112. This plan addresses secondary containment, inspections and record keeping requirements for all oil containers of 55 gallon capacity and greater. A copy of the SPCC is not included in the SWPPP as the document is actively managed at all times for evolving site conditions; however, a current version is maintained in the Nuclear Fusion document data base and a version with mark-ups is maintained in the office of the Site Environmental Coordinator(s) and referenced herein. Pursuant to this section of the permit, secondary containment is required for the bulk storage of liquid materials, storage in any amount of Section 313 of Title III of the Superfund Amendments and Reauthorization Act (SARA) water priority chemicals, and storage in any amount of hazardous substances, in order to prevent spills and leaks from contaminating storm water runoff. Secondary containments shall be sized to contain the full capacity of the single largest container within the containment structure. Secondary containments exposed to precipitation shall also have additional capacity to contain the 25-year, 24-hour storm event. This additional capacity requirement shall take into consideration any storm water runoff entering the containment structure from upland areas if applicable. Secondary containments draining into storm water conveyance systems or onto the ground surface shall be equipped with manually- operated, lockable or otherwise secured drain valves or dewatering pumps. Flapper-type valves shall not be used. Accumulated storm water within secondary containments shall be visually inspected for color, foam, outfall staining, presence of sheen, oils or chemicals prior to release in accordance with the frequencies specified in the plant SPCC Plan. Inspections will include observation for leaks, condition of containment, valve drain closure and locking, and presence of excessive debris and sediment. Inspection records shall be maintained at the facility. Exterior containments exposed to precipitation shall be inspected promptly after any significant rainfall event, and collected water within containments shall be drained to maintain adequate spill storage capacity within the containment. A list of all liquids and chemicals and their associated secondary containment provisions are provided in Appendix F. Documentation for periodic inspections for leaks and recordation of accumulated storm water releases shall be placed in Appendix I. Page 14 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 2.2.3 Best Management Practices (BMPs) Summary NPDES Permit Reference: Part 1, Section A 21.2b(3) A number of best management practices are currently in place at the station. These BMPs were instituted over a number of years as a result of various regulatory drivers and good housekeeping objectives. While a chosen practice provides some level of pollution prevention as it relates to the management of storm water discharges under this permit, the historic rationale behind implementing such a practice is comprehensive of a number of contributing factors. To document the ongoing implementation of these practices as part of the SWPPP, Table 2 from the Industrial Storm Water Fact Sheet for Steam Electric Power Generating Facilities (EPA-833-F-06-030) was reviewed and evaluated, and is provided in Appendix O. A high-level review of the BMPs is provided below along with a rationale for implementation. The detailed listing of these BMPs for each drainage area is provided in the outfall descriptions in Appendix B where information regarding the industrial activities and significant sources of pollutants are also compiled. The compiled information in the appendix captures an ongoing assessment process for BMP selection and implementation. The Site Environmental Coordinator(s) shall rely on Table 2 from EPA-833-F-06-030 for the improvement, installation and implementation of BMPs to address data collected through monitoring of storm water discharges. The Site Environmental Coordinator(s) may also rely on other sources of information to develop and implement appropriate BMPs not specifically listed in Table 2. This list of BMPs shall be reviewed and updated annually as new practices are incorporated in the plan or warranted as a result of exceedances of analytical monitoring benchmarks detailed in the permit. FUGITIVE DUST EMISSIONS The potential for fugitive dust to impact storm water runoff drives the need for emission management practices. The station maintains an air permit with NCDEQ that includes the control of fugitive dust emissions as a programmatic requirement. Fugitive dust emissions are managed as necessary through a variety of BMPs that include restricting frequent traffic to paved roadways, periodic wetting of haul roads, and permanent stabilization of dust generating surfaces. Fugitive dust control is typically a contractual requirement of any contractors brought on-site to perform services that may involve the creation of fugitive dust. Fugitive dust generation is typically insignificant at the facility. LOADING AND UNLOADING OF FUELS, OILS AND NON-OIL LIQUIDS AND CHEMICALS The plant maintains numerous locations for the loading and unloading of fuels, oils and non-oil liquids and chemicals. The potential for spills and leaks to release to storm drains or overland drainage pathways to receiving waters presents a source of unauthorized discharges and potential storm water contamination. Loading and unloading operations follow plant procedures, the requirements specified in the plant SPCC Plan, and the requirements specified in the DOT unloading/loading procedures 49 CFR Part 177, Subpart B. Page 15 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 BMPs utilized during loading and unloading operations include constant attendance by qualified plant personnel, appropriate training, verification of container levels prior to filling, and the close proximity of appropriate spill response materials and resources. BMPs also include dedicated containment platforms for tanker unloading of diesel fuel into the two 175,000 gallon underground diesel fuel storage tanks and into the two 110,000 gallon field-erected aboveground diesel fuel storage tanks. Lined concrete containments are utilized for unloading of high usage chemicals. Temporary containments are used for the unloading and delivery of other fuels and chemicals. ABOVEGROUND LIQUID STORAGE TANKS AND PIPING The plant maintains numerous aboveground storage tanks for fuels, oils and non-oil liquids and chemicals. Aboveground piping is present at certain locations, and is primarily associated with the transfer of diesel fuel for operation of emergency diesel generators and other equipment. The potential for spills and leaks to release to storm drains or overland drainage pathways to receiving waters exists, and presents a source for an unauthorized discharge and contamination of storm water. The plant relies on a variety of BMPs to reduce the potential for leaks or spills to impact storm water. BMPs utilized for the larger bulk storage tanks include either dedicated secondary containments with secured, manually-operated drain valves or pumps, dedicated secondary containments equipped with open drains to the Oil/Water Separator. BMPs utilized for smaller containers and drums include maintaining the containers inside various buildings, on spill pallets or within containment shelters. BMPs utilized for aboveground piping includes concrete containments and open drains that discharge into the Oil/Water Separator. Additional BMPs utilized include bollards and barriers to prevent vehicular impacts, tank level indicators to prevent overfilling and detect leaks, routine inspections and maintenance of tanks, piping, valves and connections. Routine inspection and integrity testing requirements for bulk oil tanks are specified in the plant SPCC Plan. OIL-FILLED EQUIPMENT AND SYSTEMS The plant maintains oil-filled electrical equipment at numerous locations. The potential for spills and leaks to release to storm drains or overland drainage pathways to receiving waters exists, and presents a source for an unauthorized discharge and contamination of storm water. The plant relies on a variety of BMPs to reduce the potential for leaks or spills from this equipment to impact storm water. The plant utilizes a concrete containment sump equipped with a manually operated dewatering pump for the large transformers in the Transformer Yard on the east side of the Turbine Building. Containment contents are inspected in accordance with the plant SPCC Plan prior to dewatering, and sump contents are pumped to the plant Oil/Water Separator. BMPs utilized for the numerous uncontained pad-mounted service transformers at the plant includes system monitoring to detect any adverse conditions associated with the equipment, daily rounds, and routine inspections performed in accordance with the requirements specified in the plant SPCC Plan. Page 16 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 WASTE HANDLING AND STORAGE Waste chemicals, used oils and waste products are produced, handled, processed and characterized at various locations at the plant. Wastes produced inside the protected area of the plant is typically transported to and processed in the chemical processing area of the Paint Shop. Waste chemicals produced outside the protected area of the plant are typically transported to, processed and stored in and near Warehouse 6. Waste oils produced outside the protected area of the plant are typically transported to the used oil tanks in the Mobile Equipment Area. Hazardous materials are accumulated in designated satellite waste storage areas at the plant, and all hazardous waste generated at the plant is eventually transported to and stored in the Central Hazardous Waste Storage Area at the Chemical Warehouse and at Warehouse 6. Dumpsters and roll-off containers are used at certain locations to collect inert materials and solid waste for disposal. Recyclable waste materials are collected in covered storage containers at several locations inside buildings. The potential for spills and leaks from waste materials to release to storm drains or overland drainage pathways to receiving waters exists, and presents a source for an unauthorized discharge and contamination of storm water. The plant relies on a variety of BMPs to reduce the potential for impacts to storm water associated with waste handling and storage. BMPs utilized include maintaining all satellite accumulation areas under shelters or inside buildings, storing waste materials at the Paint Shop within a covered concrete containment area with open drains to the Oil/Water Separator, and storing hazardous wastes under shelter at the Central Hazardous Waste Storage Area. BMPs utilized for trash collection include disallowing the disposal of liquids or other materials that could potentially impact storm water in dumpsters and roll-off containers, and maintaining dumpsters closed. EXTERNAL STORAGE, LAYDOWN AND PARKING AREAS Inert materials such as miscellaneous wood, structural steel, cable, empty drums and other metal components are stored at various external laydown yard areas at the plant. Cranes and other mobile equipment are parked on the crane laydown yard and in other external parking and storage areas. Other materials such as soil, sand, gravel, compost, concrete and asphalt may be stockpiled at certain locations on a temporary basis until the material can be recycled, reused or properly disposed of off-site. The potential for impacts to storm drains or overland drainage pathways to receiving waters exists, and presents a source for an unauthorized discharge and contamination of storm water. The plant relies on a variety of BMPs to reduce the potential for impacts to storm water from these external areas. BMPs utilized include disallowing the storage or disposal of liquids or other materials in external areas, stabilizing and/or covering of stockpiled soils and other materials that could be mobilized by storm water, frequent inspections of these areas, and prompt reporting and response to spills. Page 17 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 VEHICLE AND EQUIPMENT MAINTENANCE The plant maintains a garage facility for maintenance of plant vehicles and equipment located southeast of the Chemical Warehouse outside of the protected area. Vehicles and equipment have the potential to leak or spill fuel, hydraulic fluids and oils if not properly maintained. Maintenance is performed on a routine basis to keep vehicles and equipment in good operational condition to reduce the potential for spills and leaks. Some maintenance may be performed offsite at licensed commercial facilities. BMPs utilized include performing all maintenance inside the Garage, utilizing temporary containments for the capture of fluids, and proper labeling, handling and disposal of used materials, parts and fluids. BMPs also include readily available spill response materials. Storm water runoff from the Garage and surrounding area enters a drainage channel that flows southeasterly, eventually into the Intake Canal. SECURITY TRAINING AND FIRING RANGE The plant maintains a designated facility for security training purposes that includes an external firing range. Lead-based ammunition is routinely fired into earthen embankments at the range. The potential for mobilization of sediments containing lead exists, and presents a source for an unauthorized discharge and contamination of storm water. Storm water runoff from this area flows overland into the Emergency Service Water Intake Canal. BMPs utilized include tracking the amount of ammunition fired into the embankments, routine monitoring and adjustment of soil pH levels to prevent the lead from becoming soluble, and routine harvesting of lead from the soil per EPA guidance for firing range BMPs. A list of all currently utilized BMPs within the contributing drainage area for each storm water outfall is provided on the fact sheets in Appendix B. 2.3 Spill Prevention and Response Procedure NPDES Permit Reference: Part 1, Section A 21.2c The station maintains a storm water compliance program to control and minimize contamination of storm water resulting from spills and exposure to materials associated with facility operations. This procedure incorporates an assessment of potential pollutant sources based on a materials inventory of the plant. The materials inventory is primarily compiled and maintained through two efforts; first for development and compliance with the plant SPCC Plan, and secondly for the management of hazardous materials. The Harris Nuclear Plant is required to develop and maintain an SPCC Plan in accordance with 40 CFR Part 112 because the oil storage capacity at the facility exceeds 1,320 gallons and the proximity to waters of the United States. The SPCC Plan provides an assessment of spill potential, measures for spill prevention, and a spill response protocol for oil-based liquids. A similar approach has been adopted for non-oil based liquids and chemicals representing the balance of materials at the plant. However, the plant will likely maintain the same general spill response protocol from the SPCC Plan regardless of the types of materials except where Page 18 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 hazardous materials regulations and notifications deviate from SPCC requirements. This is recognized in the response procedures. The Site Environmental Coordinator(s) use included maps for all oils, liquids, chemicals and materials that have the potential to impact storm water. The Site Environmental Coordinator(s) shall routinely review site procedures and practices for applicability with current plant operations and practices, shall amend/update requirements as necessary, and shall communicate changes to responsible plant personnel. A responsible person shall be on-site at all times during facility operations that have increased potential to contaminate storm water runoff through spills or exposure of materials associated with facility operations. The plant maintains an Emergency Response Organization (ERO) consisting of personnel from all areas of the plant. In the event of an incident, the on-duty Operations Shift Manager (OSM), or other qualified Operations response persons, will assume responsibility as the Emergency Coordinator. The Emergency Coordinator is responsible for contacting appropriate emergency response personnel, the SPCC Coordinator, and the Hazmat Team. The Emergency Coordinator will also assume responsibility as the Incident Commander until such time that the Hazmat Team mobilizes to the incident. The on-site Fire Brigade Team is also trained in spill response. Spill Prevention and Response Procedures at the Harris Nuclear Plant are listed in Appendix G. 2.4 Preventative Maintenance and Good Housekeeping Program NPDES Permit Reference: Part 1, Section A 21.2d Plant personnel perform a number of various inspections and tasks for operational and regulatory purposes that constitute a Preventative Maintenance and Good Housekeeping Program. These efforts cover plant areas such as the Reactor, Turbine, and Diesel Generator Buildings and surrounding support facilities, tanks and equipment within and outside the protected area; waste handling and storage areas, water and wastewater treatment areas, the Security Training Facility, and external laydown, storage and parking areas. In accordance with the permit, the preventative maintenance and good housekeeping program shall include all features of the storm water drainage system at the facility. The Site Environmental Coordinator(s) shall ensure the Preventative Maintenance and Good Housekeeping Program is being implemented either through self-performance or review of delegated tasks. The Site Environmental Coordinator(s) shall record compliance of the program either through reference to actively managed reporting, such as documentation required to demonstrate compliance with the SPCC Plan, documentation required to demonstrate compliance with an approved erosion and sediment control permit, or by documentation specific to the SWPPP. The Site Environmental Coordinator(s) shall routinely evaluate the applicability of tasks as it relates to analytical and qualitative monitoring to determine if the preventative maintenance and good housekeeping program is adequate and performed frequently enough to control and minimize exposure to rainfall and storm water runoff. These inspections and tasks Page 19 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 can be collectively managed through E-Track and CAS to ensure they are performed and documented. A summary of the facility Preventative Maintenance and Good Housekeeping Program is provided in Appendix H. Duplicate documentation from other actively managed reporting and specific SWPPP documentation shall be maintained in Appendix H. 2.5 Facility Inspections NPDES Permit Reference: Part 1, Section A 21.2h Comprehensive inspections of the facility, including all storm water conveyance systems, shall be performed at a minimum of twice a year, once during the first half of the year (January to June), and once during the second half(July to December), with at least 60 days separating inspection dates (unless performed more frequently than semi-annually). These inspections are different from, and in addition to, the storm water discharge characteristic monitoring at outfalls described in Section 3.2. The Site Environmental Coordinator(s) shall ensure that inspection activities performed as part of the Preventative Maintenance and Good Housekeeping Program (Appendix H) or that may occur more frequently than semi-annually, sufficiently represent a comprehensive facility inspection. These inspections can be scheduled through E-Track to ensure they are performed and documented. Documentation for performance of the routine facility inspections is included in Appendix I. 2.6 Employee Training NPDES Permit Reference: Part 1, Section A 21.2e Training is conducted annually (at a minimum)for station personnel with responsibilities for spill response and cleanup, preventative maintenance activities, and plant operations that have the potential to contaminate storm water runoff. The training is conducted via online session and consists of a general understanding of storm water and its impacts on receiving waters with site specific information, and of the SPCC plan. Credit for completing the training is tracked electronically in lieu of gathering individual signatures. The Site Environmental Coordinator(s) shall maintain an annual summary of facility staff completing the training. The compilation of this information can be scheduled through E-Track to ensure it is performed and documented. Page 20 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 2.7 Responsible Party NPDES Permit Reference: Part 1, Section A 21.2f The Site Environmental Coordinator(s) shall be the primary responsible party for the overall coordination, development, review, amendment and implementation of the SWPPP. The Site Environmental Coordinator(s) may direct designees, including facility staff and contractors, to perform certain requirements of the permit, however, the Site Environmental Coordinator(s) maintains ultimately responsible for ensuring the completion and documentation of compliance tasks. The Site Environmental Coordinator(s) shall be the owner of all permit compliance tasks scheduled through E-Track. The Site Environmental Coordinator(s) is accountable to the Plant Management, and is supported by the Manager- Nuclear Environmental Field Support. 2.8 Storm Water Pollution Prevention Plan Amendment and Annual Update NPDES Permit Reference: Part 1, Section A 21.2g The Site Environmental Coordinator(s) shall be responsible for recording changes in design, construction, operation, site drainage, maintenance, or configuration of the physical features of the facility which have the potential to impact storm water. These changes shall be documented in Appendix K. Should changes occur at the facility that represent significant risks for storm water impacts, the Site Environmental Coordinator(s) shall immediately update the SWPPP and associated procedures, BMPs, forms, inspection requirements, and other documentation to support ongoing compliance and limit the potential for discharge of pollutants. Changes at the facility that do not represent significant risks for storm water impacts may be red-marked where warranted within the body of the plan. Examples of red-mark changes include revisions to responsible persons, contacts, phone numbers, procedure references, or improvements to BMPs. The Site Environmental Coordinator(s) shall review and update all aspects of the SWPPP on an annual basis. This review shall be performed and documented by May 15 of each year, and shall include the following: • Updating the list of significant spills and leaks in Appendix D for the past year in order to maintain a list of the previous three years, or notating that no spills have occurred in the past year consistent with Section 2.1.4. • Performing the non-stormwater discharge evaluation in Appendix E and resubmitting a certification of such effort consistent with Section 2.1.5. • Re-evaluating the effectiveness of the on-site storm water BMPs consistent with Section 2.2.3 and the Outfall Narrative Descriptions in Appendix B. Page 21 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 • Performing a review and comparison of any applicable sample analytical data to benchmark values over the past year including a discussion about any tiered response status. The annual Discharge Monitoring Report is provided in Appendix L. The compilation of this information can be scheduled through E-Track to ensure it is performed and documented by May 31. 2.9 Storm Water Pollution Prevention Plan Implementation NPDES Permit Reference: Part 1, Section A 21.2i Implementation of the SWPPP is documented through the compilation of information for all monitoring, measurements, inspections, maintenance activities, management activities, and training. The supporting forms, checklists, sampling logs, BMP record actions, and data results generated for these compliance activities is compiled and documented in the appendices of this SWPPP. Such documentation shall be kept on-site for a period of five years and made available to the NCDEQ Director or Director's authorized representative upon request. 3.0 Storm Water Monitoring NPDES Permit Reference: Part 1, Section A 21.3 The Site Environmental Coordinator(s) is responsible for assuring that all analytical and qualitative monitoring of storm water discharges is performed in accordance with the permit requirements. The Site Environmental Coordinator(s) shall maintain an onsite rain gauge for recordation of rainfall events for this purpose. 3.1 Analytical Monitoring Requirements NPDES Permit Reference: Part 1, Section A 21.1 No analytical monitoring of storm water is required. 3.2 Qualitative Monitoring Requirements NPDES Permit Reference: Part 1, Sections A 2 1.1 and A 21.3b Qualitative monitoring is a visual inspection of discharging storm water which serves to evaluate the effectiveness of the SWPPP and to identify new potential sources of storm water pollution. Qualitative monitoring requirements are detailed in the Permit Section A 21.1. Representative outfall status is not applicable to qualitative monitoring. Qualitative monitoring shall be performed twice per year, once in the spring (April through June), and once in the fall (September through November). Qualitative monitoring does not need to be performed during a representative storm event. Page 22 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Key permit requirements for qualitative monitoring are: • Perform scheduled monitoring at all outfalls regardless of representative status. • Complete NCDEQ's storm discharge outfall qualitative monitoring report for each outfall. • Perform monitoring during measurable storm events. • If the monitoring results indicate that existing BMPs are ineffective or that significant contamination is present, the Site Environmental Coordinator(s) shall investigate potential causes, evaluate the feasibility of corrective actions, and implement those corrected actions within 30 days. NCDEQ's "Guidance for Rating Storm Water Discharge"and blank qualitative monitoring reports are provided in Appendix M. Completed qualitative monitoring reports shall be compiled and archived in an orderly fashion in Appendix M. Page 23 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix A Site Maps (NPDES Permit number NC0039586: Part 1, Section A 21.2.a(1) and (3)) Page 24 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 tIF Ix L' ' Y'�`t;ri:� ; �� � '.of ? 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Storm water runoff from this drainage area discharges to the east into Harris Reservoir north of causeway. Industrial Activities: Warehouses Nos. 6 and 9 receive, handle and ship various quantities of chemicals, used oils, and other potential storm water pollutants in totes, drums and bags. Miscellaneous wood, structural steel, cable, empty drums and other metal components are stored on the gravel- surfaced storage yards. Scrap metal and solid waste is collected in the dumpsters. Service transformers provide power to the two warehouses. The sewage lift stations pump raw sewage to the Wastewater Treatment Plant. Employee personal vehicles, company vehicles and freight trucks park on the paved and gravel-surfaced parking areas. Significant Materials and Potential Pollutants: Warehouses Nos. 6 and 9: Chemicals, used oils, and other potential storm water pollutants in totes, mineral oil in service transformers, scrap metal and solid waste in the dumpsters. Storage areas: Miscellaneous wood, structural steel, cable, and other metal. Sewage lift stations: Raw sewage overflow. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Warehouses Nos. 6 and 9: • Plant procedures are followed regarding storage and handling of all chemicals and materials. • Service transformers are inspected daily. • No liquids or potential storm water pollutants are disposed of in the scrap metal and solid waste dumpsters, and the dumpsters are kept covered. • Warehouse personnel are trained in safe forklift usage, spill containment, and cleanup of oil and chemicals. • Spill kits are located at receiving areas. Sewage lift stations: • Stations are inspected per Operations and Chemistry rounds. Storage areas: • No materials that could impact storm water are stored in exterior areas. Parking areas: • Employees are trained to promptly report and respond to spills. Page 37 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area 2 - Storm Water Outfall SW002 Conveyance 36 inch Reinforced Concrete Pipe Coordinates N 350 38' 09" W 780 57' 00" Drainage Area 14 acres % Impervious 15 % Drainage Area Description: Drainage Area 2 includes the Diesel Generator Building, the northern portion of the Cooling Tower, the Major Projects Building, one 6,500 gallon phosphoric acid tank and three 4,500 gallon water treatment chemical tanks, a service transformer, a sewage lift station, gravel- surfaced parking areas, rail lines, and grassed yard areas. Storm water runoff from this drainage area discharges to the east into Harris Reservoir north of causeway. Industrial Activities: The Cooling Tower cools plant process water for reuse. The normal service water pumps are located on the west side of the Cooling Tower and deliver makeup water to the Cooling Tower basin. The chemical storage tanks are filled by tanker trucks. Diesel fuel is delivered via aboveground piping to the Diesel Generator Building. The service transformer provides power to the Cooling Tower and other buildings. The sewage lift station pumps raw sewage to the Wastewater Treatment Plant. Employee personal vehicles and company vehicles park on the gravel-surfaced parking areas. Significant Materials and Potential Pollutants: Cooling Tower: Lube oil in the normal service water pumps, cooling water spray and drift, chemical storage tanks. Diesel Generator Building: Diesel fuel. Service transformer: Mineral oil. Sewage lift station: Raw sewage overflow. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Cooling Tower: • Cooling water spray and drift is a condition of the plant NPDES permit. • Normal service water pumps are routinely inspected for condition and proper operation. Diesel Generator Building: • Piping, valves and fittings are inspected daily. • Piping is located in trenches with drains to the plant oil/water separator. Phosphoric acid tank and water treatment chemical tanks: • Tanks are located within concrete containments • Plant procedures are followed regarding delivery and handling of all chemicals. Service transformer: • Transformer is inspected daily. Sewage lift station: • Station is inspected per Operation and Chemistry rounds. Parking areas: • Employees are trained to promptly report and respond to spills. Page 38 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area 3 - Storm Water Outfall SW003 Conveyance 48 inch Reinforced Concrete Pipe Coordinates N 350 38' 04" W 780 56' 57" Drainage Area 15 acres % Impervious 75 % Drainage Area Description: Drainage Area 3 includes the southern portion of the Cooling Tower, a 5,600 gallon sodium hypochlorite tank and other smaller water treatment chemical storage tanks, a chemical storage building, Cooling Tower circulating water pumps, the Transformer Yard adjacent to the Turbine Building, paved parking areas, and grassed yard areas. Storm water runoff from this drainage area discharges to the east into Harris Reservoir just north of causeway. Industrial Activities: The Cooling Tower cools plant process water for reuse. Cooling Tower inflowing water is treated with sodium hypochlorite and other approved water treatment chemicals from tanks at the Cooling Tower, and chemicals for sampling and analysis are stored inside the Chemical Storage Building. Chemicals are delivered by tanker truck. Circulating water pumps are located on the south side of the Cooling Tower and are used to maintain process water circulation. Nine large transformers are located in the Transformer Yard. Employee personal vehicles and company vehicles park on the paved parking areas. Significant Materials and Potential Pollutants: Cooling Tower: Chlorine, acid, sodium hypochlorite, trilite, ammonium bisulfate, and detergents in tanks, chemicals for sampling and analysis inside the chemical storage building. cooling water spray and drift, lube oil in the circulating water pumps. Transformer Yard: Mineral oil in transformers. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Cooling Tower: • The 5,600 gallon sodium hypochlorite tank and other small tanks are within a concrete containment. Sampling and analysis chemicals are stored inside the chemical storage building. • Plant procedures are followed regarding delivery and handling of all chemicals. • Cooling water spray and drift is a condition of the plant NPDES permit. • Circulating water pumps are routinely inspected for condition and proper operation. Transformer Yard: • Transformers are located within concrete containment sumps with manually operated dewatering pumps that discharge into the plant oil/water separator. • Transformers and containments are inspected daily. Parking areas: • Employees are trained to promptly report and respond to spills. Page 39 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area 4 - Storm Water Outfall SW004 Conveyance Riprap ditch Coordinates N 350 37' 52" W 780 56' 52" Drainage Area 33 acres % Impervious 5 % Drainage Area Description: Drainage Area 4 includes the plant gravel-surfaced Switchyard, paved roads and parking areas, and grassed yard areas. Storm water runoff from this drainage area discharges to the east into Harris Reservoir south of causeway. Industrial Activities: The Switchyard contains electrical equipment and batteries. Employee personal vehicles, company vehicles and freight trucks park on the paved parking areas. Significant Materials and Potential Pollutants: Switchyard: Mineral oil in electrical equipment, acid electrolyte solution in batteries. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Switchyard: • Switchyard equipment is inspected daily. Parking areas: • Employees are trained to promptly report and respond to spills. Page 40 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area 5 - Storm Water Outfall SW005 Conveyance 42 inch and 60 inch Reinforced Concrete Pipe Coordinates N 350 37' 47" W 780 57' 11" Drainage Area 12 acres % Impervious 95 % Drainage Area Description: Drainage Area 5 includes the Administration Building, the Security Building, a portion of the Service Building, a portion of the Bulk Warehouse, four chemical storage tanks adjacent to the Turbine Building (one 10,800 gallon caustic tank, one 4,500 gallon sulfuric acid tank, one 1,500 gallon ammonia tank, and one liquid nitrogen tank), a sewage lift station, one aboveground and one underground diesel fuel storage tanks at the Security Building, a cooking grease storage shelter at the Service Building, paved roads and parking areas. Most of this drainage area is impervious roofs and paved areas. Storm water runoff from this drainage area discharges to the south into the Make-Up Water Intake Canal. Industrial Activities: The Bulk Warehouse receives and handles various quantities of chemicals and other potential storm water pollutants. Various chemicals are delivered by tanker truck to the chemical storage tanks adjacent to the Turbine Building. Diesel fuel is unloaded from tanker trucks into the two tanks at the Security Building. Cooking grease is loaded into trucks for disposal. Service transformers provide power to the Administration Building and Security Building. The sewage lift station pumps raw sewage to the Wastewater Treatment Plant. HVAC units are located on the Security Building roof. Employee personal vehicles and company vehicles park on the paved parking areas. Significant Materials and Potential Pollutants: Chemical storage tanks: Liquid nitrogen, ammonia, sodium hydroxide, sulfuric acid. Security Building: Diesel fuel, leaks from the HVAC unit on the roof. Service transformers: Mineral oil. Service Building: Cooking grease. Bulk Warehouse: Various chemicals and other potential storm water pollutants. Sewage lift station: Raw sewage overflow. Storage areas: Miscellaneous wood, structural steel, cable, and other metal. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Chemical storage tanks: • Tanks are within a concrete containment. • Plant procedures are followed regarding delivery and handling of chemicals. Security Building: • The aboveground diesel fuel tank is located inside the building. • Plant procedures are followed regarding delivery of diesel fuel. • HVAC unit is routinely serviced. Service transformers: • Transformers are inspected daily. Page 41 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Service Building: • Cooking grease containers are maintained inside a plastic containment shelter. Bulk Warehouse: • Plant procedures are followed regarding storage and handling of all oils, chemicals and materials. • Warehouse personnel are trained in spill containment and cleanup. Spill kits are located at receiving areas. Sewage lift station: • Station is inspected per Operation and Chemistry rounds. Storage Areas: • No materials that could impact storm water are stored in exterior areas. Parking areas: • Employees are trained to promptly report and respond to spills. Page 42 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area 6 - Storm Water Outfall SW006 Conveyance 42 inch Reinforced Concrete Pipe Coordinates N 350 37' 38" W 780 57' 13" Drainage Area 26 acres % Impervious 65 % Drainage Area Description: Drainage Area 6 includes the Water Treatment Building, the Paint Shop, the Chemical Warehouse, the Mobile Equipment Area, a portion of the Service Building, a portion of the Bulk Warehouse, the Neutralization Basin, the Settling Basin, small gasoline, diesel fuel and used oil storage tanks at various locations, the Oil/Water Separator and adjacent 1,000 gallon used oil collection tank, service transformers, three sewage lift stations, an 8,315 gallon sulfuric acid storage tank, a solid waste compactor, paved roads, gravel-surfaced areas, external storage areas, parking areas, and grassed areas. Certain yard drains, concrete trenches and open containments within this drainage area are routed into the 10,000 gallon capacity Oil/Water Separator. The Oil/Water Separator discharges clean water to Neutralization Basin. Storm water runoff from this drainage area discharges into a retention pond equipped with an inverted siphon that discharges into an open ditch. The ditch eventually discharges into an arm of Harris Reservoir south of the plant. Industrial Activities: Various chemicals and potential storm water pollutants are delivered and handled at the Water Treatment Building, Bulk Warehouse and Chemical Warehouse. Hazardous materials, paints, used oils and chemicals are stored, handled and shipped at the Paint Shop. The Oil/Water Separator receives inflow from various areas of the plant and stores collected oil in an adjacent 1,000 gallon tank. Gasoline and diesel fuel is delivered by tanker truck and stored in various small tanks. Used oil is loaded into tanker trucks from various tanks for off-site disposal. The Neutralization and Settling Basins treat wastewater. Acid is delivered by tanker truck to the sulfuric acid tank. Service transformers provide power to various buildings. Solid waste is compacted in the trash compactor. The sewage lift stations pumps raw sewage to the Wastewater Treatment Plant. Miscellaneous inert materials are stored in external yard areas. Employee personal vehicles and company vehicles park on the paved and gravel parking areas. Significant Materials and Potential Pollutants: Water Treatment Building: Various water treatment chemicals. Bulk Warehouse: Various chemicals and other potential storm water pollutants. Chemical Warehouse: Various chemicals and other potential storm water pollutants. Paint Shop: Used oil, hydrazine, acids, caustics, chemistry lab materials, emptied paint and aerosol cans, and other chemicals. Gasoline, diesel fuel and used oil storage tanks: Gasoline, diesel fuel and used oil. Mobile Equipment Area: Used oil and diesel fuel. Sulfuric acid storage tank: Sulfuric acid. Oil/Water Separator and adjacent 1,000 gallon used oil collection tank: Used oil. Neutralization and Settling Basins: Untreated wastewater. Parking areas: Oils, gasoline and diesel fuel. Page 43 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 BMP Summary: Water Treatment Building, Bulk Warehouse and Chemical Warehouse: • Plant procedures are followed regarding storage and handling of all oils, chemicals and materials. • Personnel are trained in spill containment and cleanup. Spill kits are located at receiving areas. • No materials that could impact storm water are stored in exterior areas. • The 220 gallon diesel fuel and gasoline tanks near the Chemical Warehouse are within a common metal containment bin. Paint Shop: • Plant procedures are followed regarding storage and handling of all oils, chemicals and materials. • All oils and other materials that could impact storm water are stored on a covered concrete containment. • The two 220 gallon used oil storage tanks are located within metal containment bins. • Chemicals are stored inside storage cabinets. • Floor drains in the area discharge into the Oil/Water Separator. • Personnel are trained in spill containment and cleanup. Spill kits are located at the shop. Other tanks: • A 1,000 gallon temporary diesel fuel storage tank west of the Reactor Building is within a flexible containment liner. • The 8,315 gallon sulfuric acid storage tank is within a concrete containment with an open drain to a sump that pumps to the Neutralization Basin. • Plant procedures are followed regarding unloading of acid and diesel fuel. Mobile Equipment Area: • The 4,000 gallon and 2,000 gallon used oil tanks are within a common concrete containment. • The 220 gallon diesel fuel and 220 gallon used oil tanks are within a common concrete containment. • Plant procedures are followed regarding loading and unloading of all oils and fuels. • Personnel are trained in spill containment and cleanup. Spill kits are located at the shop. Oil/Water Separator: • The Oil/Water Separator and adjacent 1,000 gallon used oil collection tank are located within a concrete containment with manually operated drain valve. Containment contents are manually drained back to the Oil/Water Separator. • Plant procedures are followed regarding loading of used oil into tankers for off-site disposal. Neutralization and Settling Basins: • The basins are inspected daily. Storage Areas: • No materials that could impact storm water are stored in exterior areas. Parking areas: • Employees are trained to promptly report and respond to spills. Page 44 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area 7 - Storm Water Outfall SW007 Conveyance 60" Reinforced Concrete Pipe Coordinates N 350 37' 45" W 780 57' 28" Drainage Area 45 acres % Impervious 20 % Drainage Area Description: Drainage Area 7 includes the two 110,000 gallon Auxiliary Boiler Fuel Oil Storage Tanks, the Gas Storage Yard, the Sewage Treatment Plant, a portion of the Security Training Facility, the Flex Building, two service transformers, solid waste and recycling containers, paved roads and parking areas, and grassed and wooded areas. Most of this drainage area is vegetated, non- industrial use. Storm water runoff from this drainage area discharges to the south into the Emergency Service Water Intake Canal. Industrial Activities: The two Auxiliary Boiler Fuel Oil Storage Tanks are filled by tanker truck, and associated aboveground fuel oil piping delivers fuel oil to the Auxiliary Boiler and other plant processes. Nitrogen and hydrogen gasses are stored in tanks at the Gas Storage Yard. Raw sewage is pumped from various plant lift stations to the Sewage Treatment Plant for treatment using aerobic and anaerobic processes and various water treatment chemicals. Firearms training is conducted at the Security Training Facility. Emergency equipment is routinely tested for functionality on the gravel-surfaced yard outside of the Flex Building. Service transformers provides power to the Sewage Treatment Plant and other buildings. Employee personal vehicles and company vehicles park on the paved parking areas. Significant Materials and Potential Pollutants: Auxiliary Boiler Fuel Oil Storage Tanks: Diesel fuel. Sewage Treatment Plant: Raw sewage, sodium carbonate, sodium hypochlorite, sodium hydroxide, and water treatment polymers. Security Training Facility: Lead from expended ammunition. Service transformers: Mineral oil. Flex Building: Oils and fuels in equipment being tested outside the building. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Auxiliary Boiler Fuel Oil Storage Tanks: • The fuel oil storage tanks are located within concrete containments with manually operated drain valves. Containment contents are manually drained to the Oil/Water Separator. • Aboveground fuel oil piping is located in yard areas or within concrete trenches that drain into yard drains that discharge into the Oil/Water Separator. • Tanker unloading operations are conducted on a concrete containment pad equipped with open drains to the Oil/Water Separator. • Plant procedures are followed regarding unloading diesel fuel. Sewage Treatment Plant: • Chemicals tanks are within concrete containments or are stored in totes inside metal buildings with concrete floors • The plant is inspected daily. Page 45 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Flex Building: • Personnel are trained in spill containment and cleanup. Spill kits are located at the building. Security Training Facility • Ammunition usage is tracked and lead is routinely harvested from the soil. • The soil pH is maintained within a range to prevent the lead from becoming soluble. • The transformer is inspected daily. Service transformers: • Transformers are inspected daily. Parking areas: • Employees are trained to promptly report and respond to spills. Page 46 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area 8 - Storm Water Outfall SW008 Conveyance 42" Reinforced Concrete Pipe Coordinates N 350 38' 08" W 780 57' 34" Drainage Area 10 acres % Impervious 50 % Drainage Area Description: Drainage Area 8 includes the Generator Rewind Building, a legacy storm water detention pond, paved roads, gravel-surfaced areas, external storage areas, parking areas, and grassed areas. Storm water runoff from this drainage area discharges to the north into the Service Water Discharge Canal. Industrial Activities: Various chemicals and potential storm water pollutants are delivered and handled at the Generator Rewind Building. Inert materials are stored in external storage areas. Cranes and other company vehicles park on the parking areas. Significant Materials and Potential Pollutants: Generator Rewind Building: Various chemicals and other potential storm water pollutants. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Generator Rewind Building: • Plant procedures are followed regarding storage and handling of all oils, chemicals and materials. • Personnel are trained in spill containment and cleanup. Spill kits are located at receiving areas. • No materials that could impact storm water are stored in exterior areas. Storage Areas: • No materials that could impact storm water are stored in exterior areas. Parking areas: • Employees are trained to promptly report and respond to spills. Page 47 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area 9 - Storm Water Outfall SW009 Conveyance 42" Reinforced Concrete Pipe Coordinates N 350 38' 07" W 780 57' 31" Drainage Area 9 acres % Impervious 70 % Drainage Area Description: Drainage Area 9 includes the tanker unloading station and fuel forwarding pumps for the two Emergency Diesel Generator underground fuel oil storage tanks, a service transformer, paved roads, gravel-surfaced areas, external storage areas, and grassed areas. Storm water runoff from this drainage area discharges into the Service Water Discharge Canal. Industrial Activities: Tanker trucks unload into the two Emergency Diesel Generator underground fuel oil storage tanks. Fuel oil is pumped from the tanks to the Diesel Generator Building. A service transformer provides power for maintenance and testing activities. Company vehicles and freight trucks use the access roads. Significant Materials and Potential Pollutants: Tanker unloading station and fuel forwarding pumps: Fuel oil. Service transformers: Mineral oil. Access roads: Oils, gasoline and diesel fuel. BMP Summary: Tanker unloading station and fuel forwarding pumps: • Tanker unloading and pumps are within a curbed concrete containment apron with open drain to the Oil/Water Separator. • Plant procedures are followed regarding tanker unloading operations. • Personnel are trained in spill containment and cleanup. Spill kits are located at the tanker unloading station Shelter for chemical treatment totes: • Totes are within plastic containments under shelter. Service transformer: • Transformer is inspected daily. Storage Areas: • No materials that could impact storm water are stored in exterior areas. Access roads: • Employees are trained to promptly report and respond to spills. Page 48 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area 10 Conveyance Overland flow Coordinates N 350 38' 06" W 780 57' 50" Drainage Area 7 acres % Impervious 20 % Drainage Area Description: Drainage Area 10 is located west of Drainage Area 7 and includes a portion of the Security Training Facility, a service transformer, a sewage lift station, a trash dumpster, paved parking areas, and grassed and wooded areas. Most of this drainage area is vegetated, non-industrial use. Storm water runoff from this drainage area discharges via overland flow along the Emergency Service Water Intake Canal. Industrial Activities: Firearms training is conducted at the Security Training Facility. The sewage lift stations pump raw sewage to the Wastewater Treatment Plant. The service transformer provides power to the Security Training Facility. Trash is collected in the dumpster. Employee personal vehicles and company vehicles park on the paved parking areas. Significant Materials and Potential Pollutants: Security Training Facility: Lead from expended ammunition, mineral oil in service transformer. Sewage lift station: Raw sewage overflow. Trash dumpster: Miscellaneous trash. Parking areas: Oils, gasoline and diesel fuel in vehicles. BMP Summary: Security Training Facility • Ammunition usage is tracked and lead is routinely harvested from the installed backstops. • The soil pH is maintained within a range to prevent the lead from becoming soluble. • The service transformer is per Operation rounds. Sewage lift station: • Station is inspected per Operation and Chemistry rounds. Parking areas: • Employees are trained to promptly report and respond to spills. Page 49 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Drainage Area A Conveyance Overland flow into ditch Coordinates N 350 38' 26" W 780 57' 15" Drainage Area 5 acres % Impervious 0 % Drainage Area Description: Drainage Area A is located north of Drainage Area 1 and is comprised of non-industrial use grassed areas. Storm water runoff from this drainage area discharges through a ditch into Harris Reservoir north of the causeway. Industrial Activities: None. Significant Materials and Potential Pollutants: None. BMP Summary: Not applicable. Drainage Area B Conveyance Overland flow into ditch Coordinates N 350 38' 06" W 780 57' 50" Drainage Area 28 acres % Impervious 4 % Drainage Area Description: Drainage Area B is located north of Drainage Area 7 and includes two facility maintenance storage buildings, gravel-surfaced roads, paved and gravel-surfaced external storage areas, and grassed and wooded areas. Most of this drainage area is vegetated, non-industrial use. Storm water runoff from this drainage area discharges through a ditch into the Service Water Discharge Canal. Industrial Activities: Cranes, equipment, and inert materials are stored in external storage areas. Significant Materials and Potential Pollutants: Storage areas: Sand and gravel; oils, gasoline and diesel fuel in vehicles and equipment. BMP Summary: Parking and storage areas: • No materials that could impact storm water are stored in exterior areas. • Employees are trained to promptly report and respond to spills. Page 50 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix C NPDES Permitted Wastewater Outfalls Summary (NPDES Permit Number NC0039586) Page 51 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 NPDES Permit NCO039586 - Permitted Outfalls Summary Outfall Discharge Description Discharge Point 001 Cooling tower Blowdown Internal 002 Sanitary Waste Treatment Plant Internal 003 Metal Cleaning Wastes Internal 004 Low Volume Waste Internal 005 Radwaste System Internal 006 Combined Outfalls 001 through 005 Harris Reservoir Page 52 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix D Spills and Leaks History (NPDES Permit number NC0039586: Part 1, Section A 21.2.a(4)) Page 53 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Significant Spills and Leaks History Previous 3 Years Date Volume of Spill Location Discussion Note: EPA has defined significant spills to include releases within a 24-hour period of hazardous substances in excess of reportable quantities under Section 311 of the Clean Water Act and Section 102 of the Comprehensive Environmental Response, Compensation, and Liability Act(CERCLA). Reportable quantities are set amounts of substances in pounds, gallons, or other units and are listed in 40 CFR Part 117 and 40 CFR Part 302. Releases are defined to include any spilling, leaking, pumping, pouring, emitting, emptying, discharging, injecting, escaping, leaking, dumping, or disposing into the environment. NC requires the reporting of any petroleum release causing a sheen on waters of the US, any petroleum release of any quantity occurring within 100 feet of these waters, and any petroleum release to soil of 25 gallons and greater. Regarding reporting of petroleum releases; the plant SPCC Coordinator shall provide the required notifications to the National Response Center(NRC), appropriate state agencies, and the Environmental Corporate Support SME in accordance with guidelines outlined in the EHS Manual Chapter: ADMP-ENV-EVS-00012 Oil Spill Reporting. Any oil spill to the Shearon Harris Reservoir (including the Make-Up Water Intake Canal, Emergency Service Water Intake Canal, and Emergency Service Water Discharge Canal), to any wetlands or tributaries, or any oil spill occurring within 100 feet of these water bodies is reportable. Page 54 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix E Non-Storm Water Discharge Certification (NPDES Permit number NC0039586: Part 1, Section A 21.3(f)) Page 55 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Non-Storm Water Discharge Completed By: Assessment and Certification Title: (EXAMPLE) Date: Date of Outfall Observed Method Used Evaluate Describe Results from Assessment for Identify Potential Name of Person Assessment Discharge the Presence of Non-Storm Water Significant Sources Conducting the Discharge Assessment SW001 Visual, plant drawings SWO02 Visual, plant drawings SWO03 Visual, plant drawings SWO04 Visual, plant drawings SWO05 Visual, plant drawings SWO06 Visual, plant drawings SWO07 Visual, plant drawings SWO08 Visual, plant drawings SWO09 Visual, plant drawings SW010 Visual, plant drawings Comments: Signature: Date Signed: Page 56 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix F Material Inventory, Storage and Secondary Containment (NPDES Permit number NC0039586: Part 1, Section A 21.2(c)) Page 57 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Bulk Liquid Storage and Secondary Containment Container Container Capacities Location Secondary Containment Field-Erected Diesel Fuel Two 110,000 gallon tanks Southwest area of plant yard Common concrete containment Storage Tanks structure Used Oil Storage Tanks Two 220 gallon tanks Paint Shop covered concrete pad Common metal containment bin Misc. Petroleum Storage Drums Approx. fifty 55 gallon drums Paint Shop covered concrete pad Covered concrete pad with open floor drain to Oil/Water Separator Mobile Fuel Truck Tanks One mobile 280 gallon diesel fuel tank Southwest yard area in standby mode Drains to Oil/Water Separator in (one diesel fuel tank and one One mobile 280 gallon gasoline tank standby mode gasoline tank on one truck) OWS Used Oil Storage Tank One 1,000 gallon tank Adjacent to Oil/Water Separator Curbed concrete containment Diesel Fuel Storage Tank One 220 gallon tank Southwest area of plant yard near Metal containment bin Chemical Warehouse Gasoline Storage Tank One 220 gallon tank Southwest area of plant yard near Metal containment bin Chemical Warehouse Used Oil Storage Tanks One 2,000 gallon used oil tank Southern area of plant yard in Common concrete containment One 4,000 gallon used oil tank Mobile Equipment area structure Used Oil Storage Tank One 220 gallon tank Southern area of plant yard in Concrete containment structure Mobile Equipment area Diesel Fuel Storage Tank One 220 gallon tank Southern area of plant yard in Concrete containment structure Mobile Equipment area Fire Pump Diesel Fuel One 550 gallon tank Southern area of plant yard near Concrete containment structure Storage Tank Emergency Service Water Intake Trailer-Mounted Mobile Used One mobile 1,000 gallon tank Southwest yard area in standby mode Drains to Oil/Water Separator in Oil Storage Tank standby mode Oil Filter Drain Tank One 200 gallon tank Inside Mobile Equipment Building Drains to Oil/Water Separator Used Cooking Oil Storage Two 55 gallon drums Adjacent to Cafeteria Poly containment shelter Drums Page 58 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Bulk Liquid Storage and Secondary Containment Container Container Capacities Location Secondary Containment Hydrogen Seal Oil/Water One 100 gallon tank Adjacent to Turbine Building Concrete containment structure Drain Tank Turbine Generator Batch Oil One 14,000 gallon tank Inside Turbine Building Concrete containment structure Storage Tank Turbine Lube Oil Sump Tanks Two 1,500 gallon tanks Inside Turbine Building Concrete containment structure Diesel Fuel Day Tanks Two 3,000 gallon tanks Inside Emergency Diesel Concrete containment structure Generator Building Used Oil Storage Tank One 1,000 gallon tank Adjacent to Emergency Concrete containment structure Diesel Generator Diesel Generator Set One 1,400 gallon tank North of Reactor Building Integral double-walled container Diesel Fuel Day Tank One 275 gallon tank Inside Security Building Security Building concrete floor Temporary Diesel Fuel One 1,000 gallon tank West of Reactor Building Flexible curbed containment liner Storage Tank Diesel Fuel Storage USTs for Two 175,000 gallon USTs Northern area of plant yard Underground the Emergency Diesel Generators Diesel Fuel Storage UST for the One 1,000 gallon UST Adjacent to Security Building Underground Security Systems Emergency Diesel Generator Diesel Fuel Storage UST One 10,000 gallon UST Mobile Equipment Building Underground Gasoline Storage UST One 10,000 gallon UST Mobile Equipment Building Underground Sodium Hypochlorite Tank One 5,600 gallon tank Cooling Tower Concrete containment structure Water Treatment Chemical One 500 gallon tank Cooling Tower Concrete containment structure Tank Page 59 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Bulk Liquid Storage and Secondary Containment Container Container Capacities Location Secondary Containment Phosphoric Acid Tank One 6,500 gallon tank North of Cooling Tower Concrete containment structure Water Treatment Chemical Three 4,500 gallon tanks North of Cooling Tower Concrete containment structure Tanks Caustic Storage Tank One 10,800 gallon tank South end of the Turbine Building Concrete containment structure Sulfuric Acid Storage Tank One 4,500 gallon tank South end of the Turbine Building Concrete containment structure Ammonia Storage Tank One 1,500 gallon tank South end of the Turbine Building Concrete containment structure Liquid Nitrogen Storage Tank One 6,000 gallon tank South end of the Turbine Building Concrete containment structure Sulfuric Acid Storage Tank One 8,315 gallon tank East end of the Water Treatment Concrete containment structure Building. with open drain to sump that pumps to the Neutralization Basin. Sodium Carbonate Tank One 350 gallon tank Sewage Treatment Plant Concrete containment structure Sodium Hypochlorite Tank One 350 gallon tank Sewage Treatment Plant Concrete containment structure Sodium Hydroxide Tank One 350 gallon tank Sewage Treatment Plant Concrete containment structure Water Treatment Polymer Totes Two 300 gallon totes Sewage Treatment Plant Interior building floor and sump A listing of all materials is maintained in the HNP Chemical Inventory Report. Page 60 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix G Spill Prevention and Response Procedures (NPDES Permit number NC0039586: Part 1, Section A 21.2(c)) Page 61 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Spill Prevention and Response Procedures Procedure Description Procedure Reference Stormwater Compliance AD-EN-ALL-0410 Duke Energy, Environmental Compliance Manual — Stormwater Compliance ENV-30-20 Duke Energy, Environmental Compliance Manual — Oil Spill Reporting ADMP-ENV-EVS-00012 Oil Spill Prevention, Control and Countermeasure AD-EN-ALL-0210 (SPCC) Rule Compliance Spill Response Procedure AD-EN-ALL-0200 Nuclear Chemical Control Program Procedure AD-EN-ALL-0045 Duke Energy, Environmental Compliance Manual — ADMP-ENV-EVS-00020 Hazardous Substances Releases Duke Energy Construction Stormwater Planning GDLP-ENV-EVS-00006 Manual NPDES Stormwater EMP-003 These procedures are maintained per Enterprise and Nuclear FileNet procedures and policies. Page 62 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix H Best Management Practices Preventative Maintenance and Good Housekeeping Program (NPDES Permit number NC0039586: Part 1, Section A 21.2(d)) Page 63 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 HARRIS NUCLEAR PLANT BEST MANAGEMENT PRACTICES Best Management Practices (BMPs) are methods, procedures, processes, prohibitions of practices and other management controls which serve to eliminate, mitigate, or reduce pollutant loadings in storm water discharges. BMPs employed at the Harris Nuclear Plant include: • Source Reduction; • Good Housekeeping; • Preventive Maintenance; • Visual Inspections; • Spill Prevention and Response; • Erosion and Sediment Control; • Storm Water Runoff Management; • Employee Training; • Recordkeeping and Reporting; • Containment/Diversion; • Recycling; • Treatment. Source Reduction Source reduction measures minimize the potential for storm water pollution by reducing the quantity of materials which may contact storm water. Source reduction measures may require modifications in present work habits and practices, and may include components of: • Good Housekeeping; • Preventive Maintenance; • Visual Inspections; • Spill Prevention and Response; • Erosion and Sediment Control. Source reduction measures are addressed as main components of BMPs. Consequently, source reduction measures should be considered and included with the development and modification of any BMPs. Page 64 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Good Housekeeping Good housekeeping practices are designed to maintain a clean and orderly work environment. Good housekeeping practices should be incorporated in the day-to-day conduct of operations and maintenance. A clean and orderly work area reduces the possibility of accidental spills caused by the mishandling of chemicals and equipment. Well maintained material and chemical storage areas reduce the possibility of storm water mixing with pollutants. The following practices shall be performed on a regular basis: • Maintain clean and dry floors, ground surfaces, work, and process areas through the use of brooms, shovels, vacuum cleaners, mops and cleaning equipment; • Regular pickup and disposal of waste material; • Proper operation of equipment; • Routine visual inspections by qualified personnel for leaks or spills, and for conditions which may lead to a leak or spill (such as the hazardous waste inspections being performed at various areas throughout the Harris Nuclear Plant); • Training of employees in spill prevention and cleanup procedures; • Bags storing dry chemicals shall be raised off the floor, preferably by pallet, to prevent any unwanted interaction of the chemical and water; • Walkways shall be maintained free of obstructions to facilitate inspection for leaks or spills. At least once a year, the Pollution Prevention Team shall inspect work and storage areas to verify housekeeping is being maintained. Preventive Maintenance The Preventative Maintenance Program has been established and combined with the Facility Inspection Program. The Hazardous Materials, Gas, Oil, and Environmental Release programs are controlled by Plant Procedures. Any maintenance activities required will be incorporated into that program are noted. The Preventative Maintenance Program will follow the Facility Inspection Program. Facility walk downs and responsibilities for identification of deficiencies. AD-EN-ALL-0410 provides guidance for the oil and liquid waste management program. Operations personnel perform daily and weekly walk downs of the plant. Plant engineers perform periodic inspections of assigned areas documenting deficiencies. Inspections of the storm water control systems will occur when the storm water conveyances are visually inspected on a semiannual basis as EMP-003 procedure. This inspection will include clean out and maintenance of catch basins, ditches and material handling equipment. This program also combines inspections for lay down areas, outside storage areas, and secondary containment inspections. Page 65 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Preventive maintenance will be performed to ensure that storm water management facilities and controls operate correctly and effectively and to reduce their breakdowns and failure. Specific activities include: • Periodic inspection, cleanout and maintenance of catch basins, containment areas, ditches and material handling equipment; • Periodic scheduled inspection and testing of equipment and systems, including pumps, valves, pipes, storage tanks, and controls; • Proper scheduled maintenance of equipment and facilities. Additional preventive maintenance information will be provided as a separate section of the SWPPP Plan. Visual Inspections Visual inspections will be performed in accordance with the requirements of the facility SPCC Plan; and in conjunction with other BMPs such as housekeeping and preventive maintenance. Inspections may also be performed as a separate activity. When performed as an independent activity, the inspections will be performed by qualified personnel. The inspections will include reviews of past inspections and preventive maintenance, inspections of equipment, areas, and facilities, and any necessary follow-up. A record of each inspection will be maintained to verify that corrective measures are implemented on a timely basis. Inspections will include the following areas at a minimum: • Bulk oil and chemical storage tanks and containments; • Tanker loading and unloading areas; • Waste generation, storage, handling treatment, and disposal areas; • Sewage Treatment Plant and sewage lift stations; • Water Treatment Building, Neutralization Basin and Settling Basin; • Sandblast area; • Plant external lay down and storage areas; • Transformer Yard; • Switchyard and service transformers; • Cooling Tower area including pumps and water treatment chemicals and systems; • Security Training Facility and Firing Range; • Mobile Equipment Area; • Warehouse receiving and material handling areas; Page 66 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 • Paint Shop; • Construction and land disturbance areas; • Areas where past spills/leaks have occurred; • Pumps, valves, and control facilities. Specific items to be noted include: • Corroding or damaged drums, tanks, or other containers; • Damaged structural storage areas; • Inoperative or leaking pumps and valves; • Leaking or damaged piping or damaged piping supports; • Windblown/airborne dust/dry chemicals; • Inadequate erosion and sediment controls; • Evidence of seepages indicative of leaking underground piping; • Proper labeling of drums; • Evidence of leaks or spillage; • Warning labels present; • Rain water drained from secondary containments; • Rain water checked for oil or chemicals before release and documented. Spill Prevention and Response Spill prevention will be achieved by good housekeeping, visual inspection, and preventive maintenance, and through training of personnel in material handling and storage procedures, and the use of equipment. Training in proper spill identification and cleanup procedures, including the use of equipment and the notification and documentation procedures, will be the main components of spill response. Specific spill preventative measures will include: • Piping protection, such as routing, coatings and wrappings, and cathodic protection where appropriate; • Adherence to current unloading procedures and practices, including monitoring and verification of all connections, disconnections, and seals; • Proper valve and control settings, and adequate labels, markings, and communications, to ensure that accidental closures or openings do not occur; • Adequate security to prevent non-authorized access to facilities; • Appropriate documentation of actions taken. Page 67 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Spill response will be in accordance with existing Plant Procedures, including the Spill Prevention, Control and Countermeasure (SPCC) Plan. Training is essential to a well-executed Spill Response. Personnel will be trained to identify potential storm water pollution occurrences as may occur during a spill event, and respond in appropriate manner. Specific items in Spill Response include: • Establishment and training of the plant personnel in spill response, cleanup, documentation, and notification; • Safety measures; • Notification procedure for plant and the appropriate public authorities; • Safety and cleanup equipment; • Monitoring and verification of cleanup efforts. Erosion and Sediment Control Areas under construction involving land disturbing activities, or where accelerated erosion or sedimentation is occurring, will be monitored and corrective measures will be implemented as necessary. An Erosion and Sedimentation Control Plan and Permit is required for any land disturbing activities of one acre or greater. The Storm Water Pollution Prevention Team will decide if an Erosion and Sedimentation Control Plan and Permit is required. The NCDEQ Raleigh Regional Office of Energy, Mineral and Land Resources Division (DEMLR) shall be contacted as necessary to apply for and obtain any required permits. Typical temporary BMPs utilized to control erosion and prevent off-site sedimentation include silt fences, sediment traps and basins, rock check dams, wattles, and diversion channels. Permanent BMPs include riprap-lined channels, paved ditches, grassed channels, permanent storm water detention ponds, and permanent ground stabilization measures. Re-vegetation or equivalent stabilization of the disturbed areas will be performed to reduce/eliminate accelerated erosion and prevent off-site sedimentation. Storm Water Runoff Management Uncontaminated storm water will be diverted away from potential sources of contamination, and where possible, discharged to a stabilized conveyance structure. Contaminated waters will be directed to the appropriate treatment facilities prior to discharge. Diversion efforts should be made to reduce the quantity of contaminated storm water which must be collected and treated depending on conditions. Vehicle washing should be performed in areas that do not discharge through storm water outfalls. Page 68 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Employee Training Training programs are essential for providing employees with a complete understanding of the Storm Water Pollution Prevention Plan (SWPPP). Employee training at the Harris Nuclear Plant is conducted as necessary to inform and educate personnel who's work activities have the potential to impact storm water runoff of the components and goals of the SWPPP. General training of employees will emphasize good housekeeping, preventive methods, procedures, and practices. Responsibilities will be clearly communicated to personnel, including notification procedures for preventive and corrective measures. Maintenance and inspection personnel will have the authority to follow-up on areas requiring improvement. Plant personnel will be trained in safety and cleanup operations, and to recognize spill events which may contribute to storm water pollution. The Harris Nuclear Plant Spill Prevention Control and Countermeasure Plan (SPCC) requires training for all oil-handling personnel regarding ensure an adequate understanding of: • Proper operation and maintenance of equipment to prevent discharges of oil; • Procedures to follow upon discovery of any petroleum release; • SPCC Plan required inspection and documentation requirements; • Applicable pollution control laws and regulations; • Locations and use of release response and clean-up supplies, equipment and materials; • Description and causes of known petroleum releases at the facility; • Information on names and phone numbers for reporting releases to appropriate facility personnel; • General contents of the SPCC plan. All environmental training is conducted and assigned in MyTraining or Nuclearn. Training reports for annual SWPP and SPCC training can be printed as need. Training is assessed annually. Recordkeeping and Reports As part of the foregoing actions, plant personnel will have the responsibility to prepare the appropriate records to implement and maintain the SWPPP Plan. Page 69 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Containment/Diversion These measures require a physical structure or barrier to be installed to divert storm water away from potential pollutant sources or to contain potential pollutant sources. Diversion measures function best where runoff can be directed to a drainage channel where containment at the source is impractical. Containment functions best in areas where material will be permanently stored, handled, or used. Specific containment/diversion measures include: • Segregation of the work area; • Covering or enclosing the work area; • Diking the work area; • Diversion of storm water runoff, via pipes, and catch basins, or channels; • Dust controls. Recycling No recycling of contaminated storm water occurs at the plant. Recycling of some solid and hazardous wastes is performed and is coordinated by Environmental Services, Chemistry, and Material and Contract Services. Treatment Treatment measures will be the last step prior to the discharge of contaminated storm water. Treatment is employed at the plant for those areas where, due to site constraints, other BMPs have been found to be infeasible or too costly to implement. Storm drain flows, floor drains, runoff from material storage areas, and runoff from the Security Firing Range are the principle sources of contaminated storm water which must be treated. Page 70 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix I SWPPP Inspection Records (NPDES Permit number NC0039586: Part 1, Section A 21.2(d)) Page 71 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 All inspections are conducted per EMP-003. The semi-annual inspections are quantitative only as requited by NPDES Permit number NC0039586: Part 1, Section A 21 1. Page 72 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix J Employee Training Records (NPDES Permit number NC0039586: Part 1, Section A 21.2(e)) Page 73 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 EMPLOYEE TRAINING Training programs are essential for providing employees with a complete understanding of the Storm Water Pollution Prevention Plan (SWPPP). Employee training at the Harris Nuclear Plant is conducted as necessary to inform and educate personnel who's work activities have the potential to impact storm water runoff of the components and goals of the SWPPP. The Harris Nuclear Plant Spill Prevention Control and Countermeasure Plan (SPCC) requires training for all oil-handling personnel regarding ensure an adequate understanding of: • Proper operation and maintenance of equipment to prevent discharges of oil; • Procedures to follow upon discovery of any petroleum release; • SPCC Plan required inspection and documentation requirements; • Applicable pollution control laws and regulations; • Locations and use of release response and clean-up supplies, equipment and materials; • Description and causes of known petroleum releases at the facility; • Information on names and phone numbers for reporting releases to appropriate facility personnel; • General contents of the SPCC plan. SWPPP & SPCC Plan General Awareness Training is included as part of the annual re- qualification process. The facility Environmental Coordinator is responsible for providing direction and guidance to implement the training. Facility Supervisors are responsible for identifying training needs for their personnel and for ensuring that workers under their supervision successfully complete and maintain appropriate training. All environmental training is conducted and assigned in MyTraining or Nuclearn. Training reports for annual SWPP and SPCC training can be printed as need. Training is assessed annually. Page 74 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 ENW009 Storm Water Pollution Prevention Plan-Computer Based Training Overview: This training provides a general introduction and overview of the impacts storm water runoff has on the environment, sources of storm water pollution, and the employee's role in storm water pollution prevention. ENC005 - Spill Prevention, Control and Countermeasure Plans— Computer Based Training Overview: Spill Prevention, Control and Countermeasure Plans are required at several Duke Energy sites. SPCC Plans initiate the development of comprehensive programs to minimize the hazards to human health and the environment through prevention and control of oil spills. This SPCC training provides specific information on SPCC plan requirements as well as your responsibilities when encountering oil spills. This course also includes information on site specific SPCC Plans. Page 75 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix K Record of SWPPP Amendments and Annual Updates (NPDES Permit number NC0039586: Part 1, Section A 21.2(g)) Page 76 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Record of SWPPP Amendments and Annual Updates Date Revision No. Revised By Reason for Amendment/Update 9/1/1997 0 S. L. England Initial development of SWPPP R. T. Wilson 8/3/1998 1 J. P. Cooke Annual review and updates R. T. Wilson 11/25/2003 2 R. T. Wilson Company name change, tracking of annual reviews in Passport, SPCC plan revision 1/19/2011 3 R. T. Wilson SPCC plan revision, added tracking sheet for annual reviews 8/28/2018 4 M. E. McGary SWPPP review and format update R. T. Wilson 8/21/2019 4 R. T. Wilson SWPPP annual review (NTM 00699123-08)and Revision to Storm Water Maps is required after the completion of SOCO and ERAS ro'ects NTM 02288046-03 . 9/10/2020 5 M. E. McGary SWPPP annual review, SWPPP Maps update and format update (NTM R. T. Wilson 02288046-01 and 02288046-03). Minor editoral changes. 10/27/2021 5 No revision is required.Awaiting new Storm water permit (NTM R.T. Wilson 02288046-02), Page 77 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix L Analytical Monitoring Procedures and Results Documentation (NPDES Permit number NC0039586: Part 1, Section A 21.2(h)) Page 78 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Per NPDES Permit Part I, Section A 21.1, no analytical monitoring of storm water is required. Page 79 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix M Qualitative Monitoring Procedures and Results Documentation (NPDES Permit number NCO039586: Part 1, Section A 21.2(h)) Page 80 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Forms in plant procedure EMP-003 `NPDES Stormwater" are used to document the require inspections. Page 81 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix N Storm Water Permit (NPDES Permit number NC0039586: Part 1, Section A 21 Page 82 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 No individual industrial storm water permit has been issued for HNP. Per NPDES Permit Part I, Section A 21; storm water conditions under this section will expire on the effective date when an individual storm water permit is issued to the facility by the Division of Energy, Mineral and Land Resources (NCDEMLR). Page 83 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Appendix O Industrial Storm Water Fact Sheet Sector O: Steam Electric Power Generating Facilities Table 2 Page 84 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 TABLE 2 BMPS FOR POTENTIAL POLLUTANT SOURCES AT STEAM ELECTRIC GENERATING FACILITIES Pollutant Source BMPs Fugitive dust ❑ Establish proceduresto minimize offsite tracking of coal dust. emissions ❑ Use specially designed tires. ❑ Wash vehicles before they leave the site in a designated areawhere wash water can be controlled. Delivery vehicles ❑ Develop procedure for the inspection of all vehicles arriving on the plant site and ensure overall integrity of the body or container. ❑ Control leakage or spillage from vehicles or containers and ensure that proper protective measures. Fuel oil unloading ❑ Confine loading/unloading activities to designated areas outside drainage pathways and away areas from surface waters. ❑ Provide diversion berms,dikes or grassed swales around the perimeter of the area to limit run-on. ❑ Use containment curbs in unloading areas. ❑ Use spill and overflow protection(drip pans,drip diapers,etc.)beneath fuel oil connectors. ❑ For rail transfer,a drip pan shall be installed within the rails to collect spillage from the tank. ❑ Develop and implement spill prevention,containment,and countermeasure(SPCC)plans. ❑ Train employees in spill prevention,control and cleanup. ❑ Personnel familiarwith spill prevention and response procedures should be presentduring unloading to ensure that any leaks or spills are immediately contained and cleaned up. Chemical loading/ ❑ Cover chemical loading/unloading areas and store chemicals indoors,when possible. unloading areas ❑ Provide diversion berms,dikes or grassed swales around the perimeter of the area to limit run-on. ❑ Use containment curbs at chemical loading/unloadingareas. ❑ Develop and implement spill prevention,containment,and countermeasure(SPCC)plans. ❑ Train employees in spill prevention,control and cleanup. ❑ Personnel familiarwith spill prevention and response procedures should be presentduring unloading to ensure that any leaks or spills are immediately contained and cleaned up. Miscellaneous ❑ Confine loading/unloading activities to designated areas outside drainage pathways and away loading/unloading from surface waters. ❑ Inspect containers for leaks ordamage priorto loading/unloading. ❑ Avoid loading/unloading materials in the rain or provide cover or other protection for loading docks. Page 85 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 ❑ Provide diversion berms,dikes or grassed swales around the perimeter of the area to limit run-on. ❑ Cover loading and unloading areas and perform these activities on an impervious pad to enable easy collection of spilled materials. ❑ Slope the impervious concrete floor or pad to collect spills and leaks and convey them to proper containment and treatment. ❑ Regularly sweep area to minimize debris on the ground. Liquid storage tanks ❑ Cover and/or enclose chemical storage areas(including temporary cover such asatarpthat prevents contact with precipitation).Provide secondary containment around chemical storage areas. ❑ If containment structures have drains,ensure that the drains have valves,and that valves are maintained in the closed position.Institute protocols for checking/testing stormwater in containment areas priorto discharge. ❑ Use double-walled tanks with overflow protection. ❑ Locate storage areas away from high traffic areas and surface waters. ❑ Inspect storagetanks and piping systems(pipes,pumps,flanges,couplings,hoses,andvalves) forfailures or leaks and perform preventive maintenance. ❑ Maintain an inventory of fluids to identify leakage. ❑ Providefluid level indicators. ❑ Properlydispose of chemicals that are no longer in use. ❑ Store and handle reactive,ignitable,orflammable liquids in compliance with applicable local fire codes,local zoning codes,and the National Electric Code. ❑ Provide drip pads/pans where chemicals are transferred from one container to another to allow for recycling of spills and leaks. ❑ Use drycleanup methods. ❑ Develop and implement spill plans or spill prevention,containment,and countermeasure (SPCC)plans,if required for your facility. ❑ Train employees in spill prevention and control and proper materials management. Large bulkfuel ❑ If area is uncovered,connect sump outlet to sanitary sewer(if possible)or an oil/water storage separator,catch basin filter,etc.If connecting to a sanitary sewer checkwith the system operator to ensure that the discharge is acceptable.If implementing separator or fi Iter technologies ensure that regular inspections and maintenance procedures are in place. Above ground tanks ❑ Provide secondary containment,such as dikes,with a height sufficient to contain a spill (thegreaterof 10 percent of the total enclosed tank volume or1 10percentofthevolume contained in the largest tank). ❑ If containment structures have drains,ensure that the drains have valves,and that valves are maintained in the closed position.Institute protocols for checking/testing stormwater in containment areas prior todischarge. ❑ Use double-walled tanks with overflow protection. ❑ Keep liquid transfer nozzles/hoses in secondary containment area. ❑ Develop and implement spill plans or spill prevention,containment,and countermeasure (SPCC)plans,if required for your facility. ❑ Train employees in spill prevention and control. Page 86 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Oil bearing ❑ Construct level grades and gravel surfaces to retard flows and limit the spread of spills. equipment switchyards ❑ Collect stormwater runoff in perimeter ditches. Residue hauling ❑ Inspect all residue hauling vehicles for proper covering over the load,adequate gate sealing, vehicles and overall integrity of the body or container. ❑ Repairvehicles lacking in the above qualities. Vehicle and Good Housekeeping equipment maintenance ❑ Eliminate floor drains that are connected to the storm or sanitary sewer;if necessary,install a sump that is pumped regularly.Collected wastes should be properlytreated or disposed of by a licensed waste hauler. ❑ Do all cleaning at a centralized station so the solvents stay in one area. ❑ If parts are dipped in liquid,remove them slowlyto avoid spills. ❑ Use drip pans,drain boards,and drying racks to direct drips back into afluid holding tank for reuse. ❑ Drain all parts of fluids prior to disposal.Oil filters can be crushed and recycled. ❑ Promptly transfer used fluids to the proper container;do not leave full drip pans or other open containers around the shop.Empty and clean drip pans and containers. ❑ Clean up leaks,drips,and other spills without using large amounts of water.Use absorbents for dry cleanup whenever possible. ❑ Prohibit the practice of hosing down an area where the practice would result in the discharge of pollutants to a stormwater system. ❑ Do not pour liquid waste into floor drains,sinks,outdoor storm drain inlets,or other storm drains or sewer connections. ❑ Maintain an organized inventory of materials. ❑ Eliminate or reduce the number and amount of hazardous materials and waste by substituting nonhazardous or less hazardous materials. ❑ Label and track the recycling of waste material(e.g.,used oil,spent solvents,batteries). ❑ Store batteries and other significant materials inside. ❑ Dispose of greasy rags,oil filters,airfilters,batteries,spent coolant,and degreasers in compliance with RCRA regulations. Minimizing Exposure ❑ Perform all cleaning operations indoors or under covering when possible.Conduct the cleaning operations in an areawith a concrete floorwith no floordrai nage otherthan to sanitary sewers ortreatmentfacilities. ❑ If operations are uncovered,perform them on a concrete pad that is impervious and contained. ❑ Parkvehicles and equipment indoors or under roof whenever possible and maintain proper control of oil leaks/spills. ❑ Check vehicles closely for leaks and use pans to collect fluid when leaks occur. Page 87 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 September 2020 Pollutant Source BMPs Vehicle and Management of Runoff equipment maintenance ❑ Use berms,curbs,or grassed swales other diversion measures to ensure that stormwater (continued) runoff from other parts of the facility does not flow over the maintenance area. ❑ Collect the stormwater runoff from the cleaning area and provide treatment or recycling. ❑ Discharge vehicle wash or rinse water to the sanitary sewer(if allowed by sewer authority), wastewater treatment,a land application site,or recycle on-site. DO NOT discharge washwater to a storm drain orto surface water. Inspections and Training ❑ Inspect the maintenance area regularly to ensure BMPs are implemented. ❑ Train employees on waste control and disposal procedures. Material ❑ Store materials indoors. storage areas ❑ Cover material with a temporary covering made of polyethylene,polyurethane, polypropylene, or hypalon. ❑ Provide diversion berms,dikes or grassed swales around the perimeter of the area to limit run-on. ❑ Construct an enclosure or build a berm around the area. ❑ Regularly sweep area to minimize debris on the ground. ❑ Train employees in spill prevention,control,cleanup and proper materials management techniques. Fueling operations ❑ Conduct fueling operations(including the transfer of fuel from tanktrucks)on an impervious or contained pad or under a roof or canopy where possible.Covering should extend beyond spill containment pad to prevent rain from entering. ❑ When fueling in uncovered area,use a concrete pad(not asphalt,which is not chemically resistant to the fuels being handled). ❑ Use drip pans where leaks or spills of fuel can occur and where making and breaking hose connections. ❑ Use fueling hoses with check valves to prevent hose drainage after filling. ❑ Keep spill cleanup materials readilyavailable. ❑ Clean up spills and leaks immediately. ❑ Minimize/eliminate run-on onto fueling areas with diversion dikes,berms,curbing, surface grading or other equivalent measures. ❑ Collect stormwater runoff and provide treatment or recycling. ❑ Provide curbing or posts around fuel pumps to prevent collisions from vehicles. ❑ Use drycleanupmethodsforfuelarearatherthan hosing the fuel areadown. ❑ Perform preventive maintenance on storage tanks to detect potential leaks before they occur. ❑ Inspect the fueling area to detect problems before they occur. ❑ Discourage"topping off'of fuel tanks. ❑ Train personnel on vehicle fueling BMPs. Page 88 of 88 DI KE Kim E. Maza V f� Vice President ENERGY® Harris Nuclear Plant 5413 Shearon Harris Road PROGRESS New Hill, NC 27562-9300 JUN 17, 2022 Serial RA-22-0198 Certified Mail Number: 7014 2120 0003 3196 6340 Return Receipt Requested Mr. Brian Wrenn, Director NC DEQ Division of Energy, Minerals and Land Resources 217 West Jones Street Raleigh, NC 27603 Subject: NPDES Permit No. NCS000606 Duke Energy Progress, LLC Shearon Harris Nuclear Plant Industrial Stormwater Permit Application Package Modification Form 2F Stormwater Sampling Event and Analytical Results Wake County Dear Mr. Wrenn: Duke Energy Progress, LLC, Harris Nuclear Plant (HNP) submits the following NPDES permit application package modification for industrial stormwater activities previously covered by NPDES Permit Number NC0039586. The permit application package modification consists of the following updated documentation: Enclosure 6— US EPA Form 2F—Stormwater Discharges Associated with Industrial Activity The update to Form 2F incorporates stormwater sampling as required by EPA Form 2F Section 7 for representative outfalls SW-003 & SW 006. Storm event sampling was conducted May 13, 2022, and Tables A through D have been updated accordingly. Due to misunderstandings associated with the difference between field parameter sampling timeframes and the samples to be collected within the first thirty minutes, the thirty minute samples were not collected. The short duration of the subject storm event analytical results (3 hours)should provide sufficient correlation between the flow-weight composite sample results and the anticipated results from thirty-minute grab samples. The application modification information is also being transmitted electronically and via USPS to Ms. Brianna Young, Industrial Individual Permit Coordinator in the Central Office, and to Ms. Lauren Garcia, Environmental Specialist, in the Raleigh Regional Office. Should you have questions concerning this permit application please contact Mr. Bob Wilson, HNP Site Environmental Field Support, by phone at 919-362-2444, or via e-mail at Bob.Wilson(cD-duke-energy.com. l certify, under penalty of law, that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, true, accurate, and complete. l am aware that there are significant penalties for submitting false information, including the possibility of fines and imprisonment for knowing violations. Sincerely, F -7-L"t 7 Kim E. Maza Vice President Duke Energy Progress, LLC Harris Nuclear Plant Enclosures cc: US Nuclear Regulatory Commission (electronic submission) Certified Mail Number: 7014 2120 0003 3196 6364 Return Receipt Requested Ms. Brianna Young, Stormwater Permitting, 1612 MSC, Raleigh, NC 27699-1612 Certified Mail Number: 7014 2120 0003 3196 6357 Return Receipt Requested Ms. Lauren Garcia, Raleigh Regional Office, 3800 Barrett Drive, Raleigh, NC 27609 Industrial Stormwater Permit Application Package RA-22-0198 bc: Delia Allen Brice Peters Don Safrit Bob Wilson Chuck Yarley Darlene Wallace Nuclear Records Industrial Stormwater Permit Application Package RA-22-0198 Enclosure Duke Energy Progress, LLC Shearon Harris Nuclear Plant NPDES Permit No. NCS000606 Industrial Stormwater Permit Application Package Modification Form 2F Stormwater Sampling Event and Analytical Results Wake County (21 pages including cover) EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05119 NCD991278284 NCS000606 Harris Nuclear Plant OMB No.2040-0004 Form U.S Environmental Protection Agency 2F �+..#E Application for NPDES Permit to Discharge Wastewater NPDES STORMWATER DISCHARGES ASSOCIATED WITH INDUSTRIAL ACTIVITY SECTIONOUTFALL LOCATIONt 1.1 Provide information on each of the facilit 's outfalls in the table below Outfall Receiving Water Name Latitude Longitude Number See Attachment 1 c 0 (no changes from 0 J original submittal) ° 0 SECTION '• I 2.1 Are you presently required by any federal,state,or local authority to meet an implementation schedule for constructing, upgrading,or operating wastewater treatment equipment or practices or any other environmental programs that could affect the discharges described in this application? ❑ Yes ❑✓ No 4 SKIP to Section 3. 2.2 Briefly identify each applicable project in the table below. Brief Identification and Affected Outfalls Source(s)of Discharge Final Compliance Dates Description of Project (list outfall numbers) Required Projected NA c m E a� 0 L Q E 2.3 Have you attached sheets describing any additional water pollution control programs(or other environmental projects that may affect your discharges)that you now have underway or planned?(Optional Item) ❑ Yes ❑✓ No EPA Form 3510-21F(Revised 3-19) Pagel EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05/19 NCD991278284 NCS000606 Harris Nuclear Plant OMB No.2040-0004 SECTION1' 1 0 3.1 Have you attached a site drainage map containing all required information to this application?(See instructions for tm 2 M R specific guidance.) W 'RM a ® Yes ❑ No SECTIONPOLLUTANT SOURCESI 4.1 Provide information on the facility's pollutant sources in the table below. Cutfall Impervious Surface Area Total Surface Area Drained Number (within a mile radius of the facility) (within a mile radius of the facility) specify units specify units See Attachment 3 specify units specify units (no changes from specify units specify units original submittal) specify units specify units specify units specify units specify units specify units 4.2 Provide a narrative description of the facility's significant material in the space below.(See instructions for content requirements.) See Attachment 4 y N s' 7 O CO) C O 7 O a 4.3 Provide the location and a description of existing structural and non-structural control measures to reduce pollutants in stormwater runoff. See instructions for specificguidance.) Stormwater Treatment Codes C utfall from Number Control Measures and Treatment Exhibit 2F-1 list See Attachment 5(no changes from original submittal) EPA Form 3510-2F(Revised 3-19) Page 2 EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05/19 NCD991278284 NCS000606 Harris Nuclear Plant OMB No.2040-0004 • • •. 5.1 1 certify under penalty of law that the outfall(s) covered by this application have been tested or evaluated for the presence of non-stormwater discharges. Moreover, I certify that the outfalls identified as having non-stormwater discharges are described in either an accompanying NPDES Form 2C,2D,or 2E application. Name(print or type first and last name) Official title Kim Maza Site Vice President Signature Date signed aC.Q a 5.2 Provide the testing information requested in the table below. � Onsite Drainage Points . '0utfall ' Description of Testing Method Used Dates)of Testing, Directly Observetl„;. c� Number v �Durin Test ,g c,. 0 z 6.1 Describe any significant leaks or spills of toxic or hazardous pollutants in the last three years. Not Applicable 03 C, R ' • S - 1,11161willma U, 1 See the instructions to determine the pollutants and parameters you are required to monitor and,in turn,the tables you must o com lete.Not all applicants need tocomplete each table. 7.1 Is this a new source or discharge? 0 Yes 4 See instructions regarding submission of � No 4 See instructions regarding submission of estimated data. actual data. ,Tables A,B,C;andD 7.2 Have you completed Table A for each outfall? o ❑ Yes [Z] No EPA Form 3510-2F(Revised 3-19) Page 3 EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05119 NCD991278284 NCSOOO6O6 Harris Nuclear Plant OMB No.2040-0004 7.3 Is the facility subject to an effluent limitation guideline(ELG)or effluent limitations in an NPDES permit for its process wastewater? ❑✓ Yes ❑ No + SKIP to Item 7.5. 7.4 Have you completed Table B by providing quantitative data for those pollutants that are(1)limited either directly or indirectly in an ELG and/or(2)subject to effluent limitations in an NPDES permit for the facility's process wastewater? ❑✓ Yes ❑ No 7.5 Do you know or have reason to believe any pollutants in Exhibit 2F-2 are present in the discharge? ❑✓ Yes ❑ No 4 SKIP to Item 7.7. 7.6 Have you listed all pollutants in Exhibit 2F-2 that you know or have reason to believe are present in the discharge and provided quantitative data or an explanation for those pollutants in Table C? ❑✓ Yes ❑ No 7.7 Do you qualify for a small business exemption under the criteria specified in the Instructions? ❑ Yes 4SKIP to Item 7.18. ❑✓ No 7.8 Do you know or have reason to believe any pollutants in Exhibit 2F-3 are present in the discharge? ❑✓ Yes ❑ No 4 SKIP to Item 7.10. 7.9 Have you listed all pollutants in Exhibit 2F-3 that you know or have reason to believe are present in the discharge in Table C? ❑✓ Yes ❑ No 0 7.10 Do you expect any of the pollutants in Exhibit 2F-3 to be discharged in concentrations of 10 ppb or greater? E ❑ Yes ❑✓ No 4 SKIP to Item 7.12. L 7.11 Have you provided quantitative data in Table C for those pollutants in Exhibit 2F-3 that you expect to be discharged in concentrations of 10 ppb or greater? ❑ Yes ❑ No tp 7.12 Do you expect acrolein,acrylonitrile,2,4-dinitrophenol,or 2-methyl-4,6-dinitrophenol to be discharged in concentrations of 100 ppb or greater? ❑ Yes ❑✓ No 4 SKIP to Item 7.14. 7.13 Have you provided quantitative data in Table C for the pollutants identified in Item 7.12 that you expect to be discharged in concentrations of 100 ppb or greater? ❑✓ Yes ❑ No 7.14 Have you provided quantitative data or an explanation in Table C for pollutants you expect to be present in the discharge at concentrations less than 10 ppb(or less than 100 ppb for the pollutants identified in Item 7.12)? ✓❑ Yes ❑ No 7.15 Do you know or have reason to believe any pollutants in Exhibit 2F-4 are present in the discharge? ❑ Yes ❑✓ No + SKIP to Item 7.17. 7.16 Have you listed pollutants in Exhibit 2F-4 that you know or believe to be present in the discharge and provided an explanation in Table C? ❑✓ Yes ❑ No 7.17 Have you provided information for the storm event(s)sampled in Table D? ❑✓ Yes ❑ No EPA Form 3510-21F(Revised 3-19) Page 4 EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05119 NCD991278284 NCS000606 Harris Nuclear Plant OMB No.2040-0004 Used or Manufactured Toxics 7.18 Is any pollutant listed on Exhibits 2F-2 through 2F-4 a substance or a component of a substance used or manufactured as an intermediate or final product or byproduct? 0 ❑ Yes ❑✓ No SKIP to Section 8. 0 7.19 List the pollutants below, including TCDD if applicable. E 1. 4. 7. d 2. 5. 8. 0 3. 6. 9. SECTIONBIOLOGICAL T• i 8.1 Do you have any knowledge or reason to believe that any biological test for acute or chronic toxicity has been made on any of your discharges or on a receiving water in relation to your discharge within the last three years? 0 .N ❑ Yes ❑✓ No -* SKIP to Section 9. 8.2 Identify the tests and their purposes below. Test(s) Purpose of Test Submitted to NPDESs) Date Submitted x Permitting Authority? 0 ~ ❑ Yes ❑ No R V 0 El Yes El No m ❑ Yes ❑ No SECTION • •- • i 9.1 Were any of the analyses reported in Section 7(on Tables A through C)performed by a contract laboratory or consulting firm? ❑✓ Yes ❑ No 4 SKIP to Section 10. 9.2 Provide information for each contract laboratory or consulting firm below. Laboratory Number 1 Laboratory Number 2 Laboratory Number 3 Name of laboratory/firm Duke Energy Carolinas,LLC Pace Analytical Services,LLC o Duke Energy Central Laboratory E L O H Laboratory address y 13339 Hagers Ferry Road,Mail 9800 Kincey Avenue,Suite Code MG03A2 100 R 0 Huntersville,NC 28078 Huntersville,INC 28078 Q c� R L c Phone number v (980)875-3111 (704)875-9092 Pollutant(s)analyzed EPA Form 3510-21F(Revised 3-19) Page 5 EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05/19 NCD991278284 NCS000606 Harris Nuclear Plant OMB No.2040-0004 10.1 In Column 1 below,mark the sections of Form 2F that you have completed and are submitting with your application.For each section,specify in Column 2 any attachments that you are enclosing to alert the permitting authority.Note that not all applicants are required to complete all sections or provide attachments. Golumrt 1 .Column 2 ❑✓ Section 1 ❑✓ w/attachments(e.g.,responses for additional outfalls) ❑✓ Section 2 ❑ w/attachments ❑✓ Section 3 ✓❑ w/site drainage map ❑✓. Section 4 ❑✓ w/attachments ❑✓ Section 5 ❑ w/attachments ❑✓ Section 6 ❑ w/attachments d `� ❑✓ Section 7 ❑ Table A ❑ w/small business exemption request R o ❑ Table B ❑ w/analytical results as an attachment ❑ Table C ❑ Table D W' ❑✓ Section 8 ❑ w/attachments 0 c y ❑✓ Section 9 ❑ w/attachments(e.g.,responses for additional contact laboratories or firms) Y ❑✓ Section 10 10.2 Certification Statement I certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted.Based on my inquiry of the person or persons who manage the system or those persons directly responsible for gathering the information, the;information submitted is, to the best of my knowledge and belief, true, accurate, and complete.I am aware that there are significant penalties for submitting fa/se information,including the possibility of fine and imprisonment for knowing violations. Name(print or type first and last name) Official title Kim Maza Site Vice President Signature Date signed EPA Form 3510-21'(Revised 3-19) Page 6 - § § \� co \ % . ,e5 _ a \2 . k - 0a) // \ Co W � �Q \ � 2 ~ § _ E / [ 7 \ k e E & / \ 7 a a - - - - - - - 0 � § > \ 0 zw 7 f & g % $ ; 0 \ i0 CD0 U 2 § G \ \ / / 2 k o � f \ / cc co � 0 G &# a \ t2 22 ` / E \3 g U) > CD \ 2 � § p / / _ to % y \ cN e CL / o E E 2 2 - v Ln 0 n / / B / � � CD D7 � C3 ƒ ) % \ E ( a � m Z ( - 2 2 ■ ® k0 - k CL 7 / @ 2 .- E § E7§ / a a g - g o . 0 2 ` 0 © gin \ \ U) } \ a � \ k / \ _ acn § 02 _ u m 0 / t w _ / � o cn = / E § t / co CL § co � E } 7 _ D E = t _/ \ 5co 0 cm = g - \_ § / c $ 0 / ƒ b / h CD > 7 5 / / 0 E � / k � C f : G _ f I \ CL z w = \ ca « _ \ \ . % \ 7 / o § Ln d E o / / / / � � 2 E 2 \ b ' / w & w 4 a 6 w � \ / j rl Cd w 0 a� on u, F� \CD = aiƒ cm m % $ fag § Q # ° Ef \2 \ k " W \ // \ � K Cc W 0 ƒ Mn e 2 § ae / 2 E _ 8 0 0- g E 0 / \ \ > § \ . \\ 2w / & cl 5 I \ Fn ° cn ° _ £ §CU § CL E ~ m A RE g § . ) a)f 2 » \ £ g 77 - $ \ - £ M ' f 3 7 \ f ± sek \ r \ - g ( Ea o / 2 E�c � _ fcn t � � � / /ƒ « Eƒ\ % ) U) $ ' S7 + � � 3 co a \ d k a) a m % / -0 x x x x x x / _ . x - x x x x x = ƒ § _ ® % f a ( % k - % % % ( ( ( ( * 9 & 5 \ CD .\ x E E D E 7 E E x x x x E \ E R / / / % ( 3 \ § Ln k i ° x x x x @ x § - ) ' c@ t § G x v a - § - e § x x x x a x �i = m 7 = x v x x x x x 2 0 5 x x x x x x o \ % ® x x x x x x ¥ T g � / _ g u cc y e cu LU a) § CD- W _ @E � � a u o o \ \ � M mƒ\ 0 \ U) c kS / \ ka 7 v ` / D t 8 - 0 . \ >,A \ LA Ca q 0 z - E 0 CL \ \ 2 / � . ram m = CU \ � \ ¥ 0 .E- -E & % - E / § 0 2 - _ Co § » m \ - n ¥ z G % ¥ tco � j / \ 2 � { ( 0 \ \ E CD _ & % S c o 0 ¥ }_ }_ 4 > 2 0 \ \ 2 ± » u u % E - + j / g m © E \ u # - e - G f / 7 k . 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J = c � /_ _ 0 r2 ¥ x u § w & » m < \ \ ' \ \ k � o n ° % - e = 2 0 D % -- o ƒ \ \ - - \ 7 D = u E% m 77 Lij( \ E § % 7 2 � _0 1- 2 E c� 0 .� ... a� on u, .� F� CD ca - Iy § / cs ƒ /] 0 0 m E0 § ai / 2 LL kj / ( � & 0 - 7J CL & ¢ m \ LU - 0 ° ECD } \ moo© & E _ E co - . � \ % Mo — § \ § 0 / \ 7 d 0 § f k \ o m e � � s ■ » k B " m / ° § = Rm � 2 i _ 0U) 0 \ I / \ > E § f : / � ® z � $ `co 3 ƒ L k cz L \ / \ / 7ai 7 0 » 2LU I / ° a ) # � .2 \ = m / 7 , [ & \ E \ § u o , E } � ° ) \ ( \ k I rh F - C - 2 § E \ \ -5 07 E E 3 � § e / / / § % 0 � r � \ 0 / k / Z \ rn 0 ' \ � \ 9 0 2 k a & E e / \ 7 * 2 k \ « CD § § / « $ 2 > co LU 75 � § / f : g E CD % 7 \ IDj co1;5o x rA \ / z . \ x ccrn � \ CD Lij o \ = p § 3 E j / EPA Identification Number NPDES Permit Number Facility Name Outfall Number Form Approved 03/05/19 NCD991278284 NCS000606 Harris Nuclear Plant SW-006 OMB No.2040-0004 TABLE A.CONVENTIONAL AND NON CONVENTIONALI You must provide the results of at least one anal sis for every pollutant in this table.Complete one table for each outfall.See instructions for additional details and requirements. Maximum Daily Discharge Average Daily Discharge Source of (specify units) (specify units) Number of Storm Information Pollutant or Parameter Grab Sample Taken Grab Sample Taken (new source/new During First Flow-Weighted During First Flow-Weighted Events Sampled dischargers only;use 30 Minutes Composite 30 Minutes Composite ) codes in instructions 1. Oil and grease <4.8 mg/I 1 2. Biochemical oxygen demand(BOD5) <2.0 mg/I 1 3. Chemical oxygen demand(COD) <25.0 mg/I 1 4. Total suspended solids(TSS) 7.9 mg/I 1 5. Total phosphorus 0.059 mg/I 1 6. Total Kjeldahl nitrogen(TKN) 0.85 mg/I 1 7. Total nitrogen(as N) 1.6 mg/I 1 pH(minimum) 7.2 1 8. in pH(maximum) 7.2 1 Sampling shall be conducted according to sufficiently sensitive test procedures(i.e., methods)approved under 40 CFR 136 for the analysis of pollutants or pollutant parameters or required under 40 CFR chapter I,subchapter N or 0.See instructions and 40 CFR 122.21(e)(3). EPA Form 3510-21F(Revised 3-19) Page 14 This page intentionally left blank. EPA Identification Number NPDES Permit Number Facility Name Outfall Number Form Approved 03/05/19 NCD991278284 NCSOOO6O6 Harris Nuclear Plant SW-006 OMB No.2040-0004 TABLE B.CERTAIN CONVENTIONAL AND NON CONVENTIONAL POLLUTANTS(40 CFIR 122.26(c)(1)(i)(E)(4)and 40 CFR 1122.211(g)(7)(vi)(A))' List each pollutant that is limited in an effluent limitation guideline(ELG)that the facility is subject to or any pollutant listed in the facility's NPDES permit for its process wastewater(if the facility is operating under an existing NPDES permit).Complete one table for each outfall.See the instructions for additional details and requirements. Maximum Daily Discharge Average Daily Discharge Source of (specify units) (specify units) Number of Storm Information Pollutant and CAS Number(if available) Grab Sample Taken Grab Sample Taken (new source/new During First Flow-Weighted During First Flow-Weighted Events Sampled dischargers only;use 30 Minutes Composite 30 Minutes Composite codes in instructions) Fecal Coliform(#colonies/100 ml) 108#CFU/100 ml XXXXXXXXXXXXXXXX 1 Ammonia(NH3 as N) <0.10 mg/I 1 Copper(CU) <0.005 mg/I 1 Nickel(NI) <1.0 ug/I 1 Zinc(ZN) 0.050 mg/I 1 Chromium(CR) <1.0 ug/I 1 Iron(FE) 0.572 mg/I 1 Manganese(MN) 0.036 mg/I 1 Total Residual Chlorine <0.05 mg/I XXXXXXXXXXXXXXXX 1 Free Available Chlorine <0.1 mg/I XXXXXXXXXXXXXXXX 1 Hydrazine <10 ug/I XXXXXXXXXXXXXXXX 1 Temperature 18.6 C XXXXXXXXXXXXXXXX 1 Nitrate/Nitrite Nitrogen 0.75 mg/I 1 Total Petroleum Hydrocarbons(TPH) <4.8 mg/I XXXXXXXXXXXXXXXX 1 Sampling shall be conducted according to sufficiently sensitive test procedures(i.e., methods)approved under 40 CFR 136 for the analysis of pollutants or pollutant parameters or required under 40 CFR chapter I,subchapter N or 0. See instructions and 40 CFR 122.21(e)(3). EPA Form 3510-21F(Revised 3-19) Page 16 This page intentionally left blank. EPA Identification Number NPDES Permit Number Facility Name Outfall Number Form Approved 03/05/19 NCD991278284 NCSOOO6O6 Harris Nuclear Plant SW-006 OMB No.2040-0004 TABLE C.TOXIC POLLUTANTS,CERTAIN HAZARDOUS SUBSTANCES,AND ASBESTOS(40 CIFIR 122.26(c)(1)(i)(E)(4)and 40 CIFIR 122.21(g)(7)(vi)(B)and(vii))' List each pollutant shown in Exhibits 2F-2,2F-3,and 2F-4 that you know or have reason to believe is present.Complete one table for each outfall.See the instructions for additional details and requirements. Maximum Daily Discharge Average Daily Discharge Source of s eci units s eci units Number of Storm Information Pollutant and CAS Number(if available) Grab Sample Taken Grab Sample Taken (new source/new Comosite During First Flow-Weighted During First Flow-Weighted Events Sampled dischargers only;use 30 Minutes Composite 30 Minutes p codes in instructions) Sampling shall be conducted according to sufficiently sensitive test procedures(i.e., methods)approved under 40 CFR 136 for the analysis of pollutants or pollutant parameters or required under 40 CFR chapter I,subchapter N or 0. See instructions and 40 CFR 122.21(e)(3). EPA Form 3510-21F(Revised 3-19) Page 18 This page intentionally left blank. EPA Identification Number NPDES Permit Number Facility name Outfall Number Form Approved 03/05/19 NCD991278284 NCS000606 Harris Nuclear Plant SW-006 OMB No.2040-0004 STORMTABLE D. •• • 1 Provide data for the storm event(s)that resulted in the maximum daily discharges for the flow-weighted composite sample. Number of Hours Between Total Rainfall During Maximum Flow Rate Duration of Storm Event (in inches) Beginning of Storm Measured and (in gpm or specify units) Total Flow from Rain Event Date of Storm Event (in hours) Storm Event End of Previous Measurable Rain During Rain Event (in gallons or specify units) Event 05/13/2022 3 hours 0.25 >72 hours(—168 hrs) 5-7 glom 900 gallons Provide a description of the method of flow measurement or estimate. ISCO flow-weighted composite sampler and associated in-pipe/manhole ultrasonic flow measuring components. EPA Form 3510-21F(Revised 3-19) Page 20 NCC QU'[G Kim E.Maza ENERGY, Vice President Harris Nuclear Plant PROGRESS 5413 Shearon Harris Road New Hill,NC 27562-9300 FEB 4 4 2021 Serial RA-21-0069yY rZ F D Certified Mail Number: 7018 3090 0001 5536 4967 I AR 10 2021 Return Receipt Requested C,ENR-LAND QUALITY EJC)Rl�j1'NAI ER PEMAd I TINE Mr. Brian Wrenn, Director NC DEQ Division of Energy, Minerals and Land Resources 217 West Jones Street Raleigh, NC 27603 Subject: Duke Energy Progress, LLC Shearon Harris Nuclear Plant Industrial Stormwater Permit Application Package Wake County Dear Mr. Wrenn: Duke Energy Progress, LLC, Harris Nuclear Plant (HNP) submits the following NPDES permit application package for industrial stormwater activities previously covered by NPDES Permit Number NC0039586, which expires August 31, 2021. The attached permit application package consists of the following documentation: Enclosure 1 — Check for$860 made payable to NC DEQ DEMLR for the Individual Stormwater NPDES Permit Application processing fee Enclosure 2 — NC DEQ DEMLR Individual Stormwater NPDES Permit Renewal Form Enclosure 3— NC DEQ DEMLR Individual Stormwater NPDES Permit Renewal Supplemental Information Form Enclosure 4— NC DEQ DEMLR Individual Stormwater NPDES Permit SPPP Certification Form Enclosure 5— US EPA Form 1 —General Information Enclosure 6— US EPA Form 2F—Stormwater Discharges Associated with Industrial Activity Please note that HNP has not been able to complete the stormwater sampling as required by EPA Form 2F. Equipment has recently been purchased and staff has been trained, however the sampling and analyses have not been conducted. We expect the sampling and analyses will be completed in the near future. An amended Form 2F will be submitted to NC DEQ DEMLR once the analytical results from the stormwater sampling has been completed. The permit application package is also being transmitted to Ms. Suzanne McCoy in accordance with instructions contained on the NC DEQ DEMLR website. The permit application package is being submitted at least 180 days prior to the permit expiration date as required by NC GS 143- 215.1 (C) and Part II, Section B Condition No. 10 of NPDES Permit No. NC0039586. Should you have questions concerning this permit application please contact Mr. Bob Wilson, HNP Site Environmental Field Support, by phone at 919-362-2444, or via e-mail at Bob.WilsonCa duke-enerav com. I certify, under penalty of law, that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, true, accurate, and complete. l am aware that there are significant penalties for submitting false information, including the possibility of fines and imprisonment for knowing violations. Sincerely, F. Kim E. Maza Vice President Duke Energy Progress, LLC Harris Nuclear Plant Enclosures cc: Electronic Delivery Return Receipt Requested US Nuclear Regulatory Commission Certified Mail Number: 7018 3090 0001 5536 4936 Return Receipt Requested Ms. Annette Lucas, Stormwater Permitting Program Manager Certified Mail Number: 7018 3090 0001 5536 4943 Return Receipt Requested Ms. Suzanne McCoy, 1612 MSC, Raleigh, NC 27699-1612 Certified Mail Number: 7018 3090 0001 5536 4950 Return Receipt Requested Mr. Bill Denton, DEMLR Regional Engineer, Raleigh Regional Office Industrial Stormwater Permit Application Package RA-21-0069 Enclosures Duke Energy Progress, LLC Shearon Harris Nuclear Plant Industrial Stormwater Permit Application Package Wake County (66 pages including cover) Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Enclosure 1 SW NPDES-Individual-Permit Application Fee Check for$860 made payable to NC DEQ DEMLR for the Individual Stormwater NPDES Permit Application processing fee DA2157 DUKE ENERGY PROGRESS, LLC DUKE 23 400 S TRYON STREET K ACCOUNTS PAYABLE - ST258 ENERGYa Page 1 of 1 CHARLOTTE, NC 28202 Date: 02/18/2021 Check#: 1000044202 000012 RMSDA Payment Amount: 860.00 NORTH CAROLINA DEPARTMENT OF Vendor#: 0000071949 ENVIRONMENTAL QUALITY 1612 MAIL SERVICE CENTER RALEIGH NC 27699 Remittance Advice Invoice Date Invoice# :J-::� Voucher ID# Invoice Gross Alnt Discount Amount�Invicemt 02/01/2021 20170310 10135568 860.00 0.00 860.00 PLEASE DETACH BEFORE DEPOSITING CHECK • ® � DUKE ENER.GY..(spOGRES5 LI_C 400 S 7RYON STREET . ; `�U 54-875/612 ACCOUNTS PAYABLE 5T,.2S6 G CHARLOTTE..ITC 28202; Date: 02/18/2021 EVER Check#: 1000044202 Pay Exactly **Eight Hundred Sixty and 00L1'00-US Dollars"* Amount TO THE NORTH CAROLINA DEPARTMENT OF $*****860.00 8 ORDER ENVIRONMENTAL QUALITY VOID AFTER 180DAYS t OF f o i WELLS FARGO BANK, N.A. A thorized signer Document Control Desk Serial: RA-21=0073 Enclosure ENCLOSURE INDUSTRIAL STORMWATER PERMIT APPLICATION PACKAGE Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Enclosure 2 NC DEQ DEMLR SW NPDES-Individual-Permit-Renewal-Form-20171026 Permit Coverage Renewal R1Dptication Form fi 'y National Pollutant Discharge Elimination System NPDES Permit Number rnY,r ,rrrt�7,71 Stormwater Individual Permit NCS Qualify Please provide your permit number in box in the upper right hand corner, complete the information in the space provided below and return the completed renewal form along with the required supplemental information to the address indicated. owner Information * Address to which permit correspondence wil/be mailed Owner/Organization Name: Duke Energy Progress,LLC Owner Contact: JKim E.Maze,Viva President Mailing Address: 5413 Shearon Harris Road,New Hill,NC 27562 5413 Shearon Harris Road,New Hill,NC 27562 Phone Number: (984)229-2512 Fax Number: E-mail address: Kim.Maza@duke-energy.com Facility Information Facility Name: Harris Nuclear Plant Facility Physical Address: 5413 Shearon Hards Road New Hills,NC 27562 Facility Contact: Bob Wilson,Site Environmental Field Support Professional Mailing Address: 5413 Shearon Harris Road Phone Number: (984)229-2444 Fax Number: E-mail address: Bob.Wilson@duke-energy.com Permit Information Permit Contact: Bob Wilson,Site Environmental Field Support Professional Mailing Address: 5413 Shearon Harris Road New Hills,NC 27562. Phone Number: (984)229-2444 Fax Number: E-mail address: Bob.Wilson@duke-energy.com Discharge Information Receiving Stream: Harris Reservoir Stream Class: ws-v Basin: Cape Fear River Basin Sub-Basin: 18-7-(3) Number of Outfalls: Eleven(11) Facility/Activity Changes Please describe below any changes to your facility or activities since issuance of your permit. Attached a separate sheet if necessary, Industrial Stormwater aspects previously covered under NPDES Permit NC0039586 issued August 29,2016. No significant site modifications or stormwater drainage modifications since the August 29,2016 NPDES permit issuance. CBERTIFICATION I certify that I am familiar with the information contained in the application and that to the best of my knowledge and belief such information is true, complete and accurate. Signature `��h �• 7'LI Date Kim E.Maze Vice President Print or type name of person signing above Title Please return this completed application form DEMLR- Stormwater Program and requested supplemental information to: Dept, of Environmental Quality 1612 Mail Service Center Raleigh, North Carolina 27699-1612 Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Enclosure 3 NC DEQ DEMLR SW NPDES-Individual-Permit-Renewal-Supplement-Info-Form- 20171011 STORMWATER POLILTTION PRVENTIQN,FLAN DEVELOP1ViENT AND IIYIPLEMENTATIQN `; CERTIFTCATIU�T North Carolina Division of Energy, Mineral, and Land Resources-Stormwater Program Facility Name: Duke EnergyProgress,LLC-HarrisNuclearPlant Permit Number: Location Address: 5413 Shearon Harris Road New Hill,NC 27562 County: Wake "I certify, under penalty of law, that the Stormwater Pollution Prevention Plan (SPPP) document and all attachments were developed and implemented under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information required by the SPPP. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information gathered is, to the best of my knowledge and belief, true, accurate and complete." And "I certify that the SPPP has been developed, signed and retained at the named facility location, and the SPPP has been fully implemented at this facility location in accordance with the terms and conditions of the stormwater discharge permit." And "I am aware that there are significant penalties for falsifying information, including the possibility of fines and imprisonment for knowing violations." Sign(according to permit signatory requirements)and return this Certification. DO NOT SEND STORMWATER POLLUTION PREVENTION PLAN WITH THIS CERTIFICATION: Signature Date 1_1 a Kim E.Maze Vice President Print or type name of person signing above Title SPPP Certification 10/13 Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Enclosure 4 NC DEQ DEMLR SW NPDES-Individual-Permit-Renewal-SPPP-Certification-Form- 20171011 SUPPLEMENTAL INFORMATION REQUIRED FOR RENEWAL OF INDIVIDUAL NPDES STORMWATER PERMIT" Two copies of each of the following;shall accompany this submittal in order for the application to be considered complete: (Do not submit the site Stormwater Pollution Prevention Plan) Initials Z4— 1. A current Site Map from the Stormwater Pollution Prevention Plan. The location of industrial activities(including;storage of materials, disposal areas,process areas and loading and unloading areas),drainage structures,drainage areas for each outfall, Q/ building locations and impervious surfaces should be clearly noted. "` . A summary of Analytical Monitoring;results during the term of the existing?permit (if your permit required analytical sampling). Do not submit individual lab reports. The summary can consist of a table including such items as outfall number, parameters sampled, lab results,date sampled, and storm event data. 3. A summary of the Visual Monitoring;results. Do not submit individual monitoring reports. The summary can consist of a table including such items as outfall number, parameters surveyed,observations,and date monitoring conducted. G� 4. A summary of the Best Management Practices utilized at the permitted facility. Summary should consist of a short narrative description of each BMP's in place at the facility. If the implementation of any BMP's is planned,please include information on these BMP's. . A short narrative describing any significant changes in industrial activities at the permitted facility. Significant changes could include the addition or deletion of work processes,changes in material handling practices,changes in material storage �j practices,and/or changes in the raw materials used by the facility. ,, -� /6. Certification of the development and p implementation of a Stormwater Pollution Prevention Plan for the permitted facility(Sign and return attached form). If the final year analytical monitoring of the existing permit term has not been completed prior to fling the renewal submittal, then the last years monitoring results should be submitted within 30 days of receipt of the laboratory reports. (i.e. do not withhold renewal submittal waiting on lab results) Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Enclosure 5 Form 1 - General Information EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05/19 NCD991278284 NCO03S Harris Nuclear Plant OMB No.2040-0004 Form U.S.Environmental Protection Agency 1 1SSWE�8A Application for NPDES Permit to Discharge Wastewater NPDEs GENERAL INFORMATION Applicants,NotRequiredto Submit Form,1 = 1.1.1 Is the facility a new or existing publicly owned Is the facility a new or existing treatment works treatment works? 1,1.2 treating domestic sewage? If yes,STOP. Do NOT complete No If yes,STOP.Do NOT No Form 1. Complete Form 2A. complete Form 1.Complete " Form 2S. 1.2. Applicants Required to Submit Form 1 1.2.1 Is the facility a concentrated animal feeding 1.2.2 Is the facility an existing manufacturing, aoperation or a concentrated aquatic animal commercial,mining,or silvicultural facility that is production facility? current) discharging w Y g' g process wastewater? Yes Complete Form 1 No 0 Yes 4 Complete Form [] No and Form 2B. 1 and Form 2C. a 1.2.3 Is the facility a new manufacturing,commercial, 1.2.4 Is the facility a new or existing manufacturing, mining,or silvicultural facility that has not yet commercial,mining,or silvicultural facility that L commenced to discharge? discharges only nonprocess wastewater? Cr ❑ Yes 4 Complete Form 1 Q No [] Yes 4 Complete Form ✓0 No and Form 2D. 1 and Form 2E. .°� 1.2.5 Is the facility a new or existing facility whose } discharge is composed entirely of stormwater d associated with industrial activity or whose discharge is composed of both stormwater and non-stormwater? ✓v Yes 4 Complete Form 1 M No and Form 2F unless exempted by 40 CFR 122.26(b)(14)(x)or (b)(15). 2.1 Facility Name Harris Nuclear Plant and Harris Energy and Environmental Center o, 2.2 EPA Identification Number, NCD991278284 2.3 Facility Contact a. Name(first and last) Title 7TPhone number Q John Dills Plant Manager )229-2000 Email address John.Dills@duke-energy.com E 2A Facility Mailing Address z., Street or P.O.box 5413 Shearon Harris Road City or town State ZIP code i New Hill North Carolina 27562 EPA Form 3510-1(revised 3-19) Page 1 EPA Identification Number NPDES Permit Number �NuclearPlant Form Approved 03/05/19 NCD991278284 NCO039586 H OMB No.2040-0004 2.5 Facility Location Street,route number,or other specific identifier t i 5413 Shearon Harris Road County name County code(if known) Wake E � City or town State ZIP code New Hill North Carolina 27562 31 SIC Codes) Description(optional) ' 4911 Electric Power Service m < _ a 0 co 3.2 NAICS Code(s) Description(optional) " c' U22113 Electric Power Generation,Nuclear 4.1 Name Duke-Energy Progress,LLC 0 4.2 Is the name you listed in Item 4.1 also the owner? ✓❑ Yes ❑ No 4.3 Q erator Status o _ . ❑ Public—federal ❑Public—state ❑Other public(specify) o ❑Private ✓❑Other(specify) Public utility 4.4 Phone Number of Operator (919)362-2000 4.5 0 erator Address Street or P.O.Box 5413 Shearon Harris Road 5 City or town State ZIP code �,c 0 o New Hill North Carolina 27562 ¢ Email address of operator John,Dills@duke-energ y.com 5.1 Is the facility located on Indian Land? ❑Yes ❑No EPA Form 3510-1(revised 3-19) Page 2 EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05/19 NC0991278284 NC0039586 Harris Nuclear Plant OMB No.2040-0004 6.1 Existing Environmental Permits{check'aN that apply and print tir type the'corresponding,permit numherfor each)" ❑ NPDES(discharges to surface ❑ RCRA(hazardous wastes) ❑ UIC(underground injection of water) fluids) o " See Attachment 1 a� " ❑ PSD(air emissions) ❑ Nonattainment program(CAA) ❑ NESHAPs(CAA) �' ❑ Ocean dumping(MPRSA) ❑ Dredge or fill(CWA Section 404) ❑Other(specify) e e --- 7.1 Have you attached a topographic map containing all required information to this application?(See instructions for specific requirements.) ✓❑Yes ❑ No ❑CAFO-Not Applicable(See requirements in Form 2B.) 111;1: all gas 'g,algi 8.1 Describe the nature of your business. The Harris Nuclear Plant(HNP)consists of a 964 megawatt generating unit and associated facilities. The Harris Energy and Environmental Center(HEEC)includes facilities that provide support services(laboratories and training) a+.. forthe HNP and other Duke Energy Progress,LLCfacilities. yr o L , ® 9.1 Does your facility use cooling water? ❑ Yes ❑ No 4 SKIP to Item 10.1. 2- 9.2 Identify the source of cooling water.(Note that facilities that use a cooling water intake structure as described at 40 CFR 125,Subparts I and J may have additional application requirements at 40 CFR 122.21(r).Consult with your Q D- NPDES permitting authority to determine what specific information needs to be submitted and when.) rj w I larris Reservoir c : 10.1 Do you intend to request or renew one or more of the variances authorized at 40 CFR 122.21(m)?(Check all that apply.Consult with your NPDES permitting authority to determine what information needs to be submitted and when.) Cr ❑ Fundamentally different factors(CWA ❑ Water quality related effluent limitations(CWA Section Section 301(n)) 302(b)(2)) ❑ Non-conventional pollutants(CWA Thermal discharges(CWA Section 316(a)) r Section 301(c)and(g)) Not applicable EPA Form 3510-1(revised 3-19) Page 3 EPA Identification Number NPDES Permit Number Facility Name Forth Approved 03105/19 NC6991278284 NCO039586 Harris Nuclear Plant OMB No.2040-0004 • t, • r 11.1 in Column 1 below,mark the sections of Farm 1 that you have completed and are submitting with your application. For each section,specify in Column 2 any attachments that you are enclosing to alert the permitting authority.Note that not all a licants are r wired to rovide attachments. Column 1 Column 2 °i ❑✓ Section 1:Activities Requiring an NPDES Permit ❑ w/attachments ✓❑ Section 2:Name,Mailing Address,and Location ❑ w/attachments Section 3:SIC Codes ❑ w/attachments 0 Section 4:Operator Information ❑ w/attachments n✓. Section 5:Indian Land ❑ w/attachments ;r [✓� Section 6:Existing Environmental Permits ✓❑ w/attachments m ✓ Section 7:Ma ✓ w/topographic ✓ ❑ p ❑ map ❑wl additional attachments Section 8:Nature of Business ❑ cal attachments ✓❑ Section 9:Cooling Water Intake Structures ❑ w/attachments ❑ Section 10:Variance Requests ❑ wl attachments c ✓❑ Section 11:Checklist and Certification Statement ❑ wl alachments s 11.2 Certification Statement l certify under penally of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted.Based on my inquiry of the person or persons who manage the system,or those persons directly responsible for gathering the information,the information submitted is,to the best of my knowledge and belief,true,accurate,and complete.I am aware that then:are significant penalties for submitting Use information, including the possibility of fine and imprisonment for knowing violations. Name(print or type first and last name) Official title John R Dills Plant Manager Stgnalure Date signed EPA Form 3510•i(revised 3-19) Pa}e4 Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Enclosure 6 Form 2F — Stormwater Discharges Associated with Industrial Activity EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05/19 Harris Nuclear Plant OMB No.2040-0004 Form U.S Environmental Protection Agency 2F V& Application for NPDES Permit to Discharge Wastewater NPDES STORMWATER DISCHARGES ASSOCIATED WITH INDUSTRIAL ACTIVITY w # 0 , 1,1 Provide information on each of the facilit 's outfalls in the table below Outfall mbe, Receiving Water Name, "Latitude Number Longitude , a See Attachment 1 " ° o. a O 2.1 Are you presently required by any federal,state,or local authority to meet an implementation schedule for constructing, upgrading,of operating wastewater treatment equipment or practices or any other environmental programs that could affect the discharges described in this application? ❑ Yes ❑✓ No 4 SKIP to Section 3. 2.2 Briefly identify each applicable project in the table below. Brief Identification and Affected Outfatls Final Compliance Dates Description of Project (list outfall numbers). Source(s)of Discharge� —'Required,, .Projected, NA c E L E: 2.3 Have you attached sheets describing any additional water pollution control programs(or other environmental projects that may affect your discharges)that you now have underway or planned?(Optional Item) ❑ Yes ❑✓ No EPA Form 3510-2F(Revised 3-19) Page 1 EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05/19 Harris Nuclear Plant OMB No.2040-0004 3.1 Have you attached a site drainage map containing all required information to this application?(See instructions for specific guidance.) o ® Yes ❑ No s •s ® ,a 4.1 Provide information on the facility's pollutant sources in the table below. Ou#fa0` Impervious Surface Area;. Total Surface Area Drained Number (within a mile radius of the facility) - (within a mile radius of the facility) specify units specify units See Attachment 3 specify units specify units specify units specify mots specify units specify units specify units specify units specify units specify units 4.2 Provide a narrative description of the facility's significant material in the space below.(See instructions for content requirements.) See Attachment 4 IL 4.3 Provide the location and a description of existing structural and non-structural control measures to reduce pollutants in stormwater runoff.LSee instructions fors ecificguidance.) Stormwater Treatment Codes Outfall from Number Control Measures and Treatment Exhibit, 2F-1 list - See Attachment 5 EPA Form 3510-2F(Revised 3-19) Page 2 EPA IdenGScalionNumber WOES Number Facility Name Form Approved03At5119 Harris Nuclear Plant OMB No.2040-0004 • 5.1 !certify under penally of law that the outfall(s) covered by this application have been tested or evaluated tar the F presence of non-stormwater discharges, Moreover, t centity that the outfalls identirred as having non-stormwater } discharges are described in either an accompanying NPDES Farm 2C,2t3,or 2E application. Name(print or type first and last name) Official title John Dills Plant Manager Signature Date signed 5.2 Provide es' information requested In the table below, 77 Nu ber Descripdon of Testing Method Used Dates of Tesdn Onstte Drainage Points Observed, f ) g DJrectty 0 a. • +• •r 0 6.1 Describe any significant leaks or spills of toxic or hazardous pollutants in the last three years, N ` Not Applicable L*'' 0 Y! . Ca C u ` e a o e• o r See the instructions to determine the pollutants and parameters you are required to monitor and,in turn,the tables you must o complete.Not all applicants need to complete each table. c° 7.1 1 Is this a new source or new discharge? G ❑ Yes 4 See instructions regarding submission of ❑ No 4 See instructions regarding submission of estimated data. actual data. Tables A,B.C,and Q 7.2 1 Have you completed Table A for each outfall? 'a ❑ Yes 0 No EPA Fomi 3510.2E(Revised 3.19) Page 3 EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05/19 Harris Nuclear Plant OMB No.2040-0004 7.3 Is the facility subject to an effluent limitation guideline(ELG)or effluent limitations in an NPDES permit for its process wastewater? ❑✓ Yes ❑ No 4 SKIP to Item 7.5. 7.4 Have you completed Table B by providing quantitative data for those pollutants that are(1)limited either directly or indirectly in an ELG and/or(2)subject to effluent limitations in an NPDES permit for the facility's process wastewater? Yes ❑ No 7.5 Do you know or have reason to believe any pollutants in Exhibit 2F-2 are present in the discharge? ✓❑ Yes ❑ No 4 SKIP to Item 7.7. 7.6 Have you listed all pollutants in Exhibit 2F-2 that you know or have reason to believe are present in the discharge and provided quantitative data or an explanation for those pollutants in Table C? ✓❑ Yes ❑ No 7.7 Do you qualify for a small business exemption under the criteria specified in the Instructions? ❑ Yes 4SKIP to Item 7.18. ✓[.]' No 7.8 Do you know or have reason to believe any pollutants in Exhibit 2F-3 are present in the discharge? ❑✓ Yes ❑ No 4 SKIP to Item 7,10. 7.9 Have you listed all pollutants in Exhibit 2F-3 that you know or have reason to believe are present in the discharge in Table C? ❑✓ Yes ❑ No a 7.10 Do you expect any of the pollutants in Exhibit 2F-3 to be discharged in concentrations of 10 ppb or greater? a ; ❑ Yes ✓❑ No 4 SKIP to Item 7,12. 7,11 Have you provided quantitative data in Table C for those pollutants in Exhibit 2F-3 that you expect to be discharged in concentrations of 10 ppb or greater? 0 ❑ Yes El No 0 7.12 Do you expect acrolein,acrylonitrile,2,4-dinitrophenol,or 2-methyl-4,6-dinitrophenol to be discharged in concentrations of 100 ppb or greater? ❑ Yes 0 No 4 SKIP to Item 7.14, 7,13 Have you provided quantitative data in Table C for the pollutants identified in Item 7.12 that you expect to be discharged in concentrations of 100 ppb or greater? ✓❑ Yes ❑ No 7.14 Have you provided quantitative data or an explanation in Table C for pollutants you expect to be present in the discharge at concentrations less than 10 ppb(or less than 100 ppb for the pollutants identified in Item 7.12)? ✓❑ Yes ❑ No 7.15 Do you know or have reason to believe any pollutants in Exhibit 2F-4 are present in the discharge? ❑ Yes ✓❑ No 4 SKIP to Item 7,17. 7.16 Have you listed pollutants in Exhibit 2F-4 that you know or believe to be present in the discharge and provided an explanation in Table C? ❑✓ Yes ❑ No 7,17 Have you provided information for the storm event(s)sampled in Table D? []� Yes ❑ No EPA Form 3510-2F(Revised 3-19) Page 4 EPA Identification Number NPDES Permit Number Facility Name Form Approved 03/05/19 Harris Nuclear Plant OMB No.2040-0004 Used or Manufactured Toxins, E," 7.18 Is any pollutant listed on"Exhibits 2F-2 through 2F-4 a substance or a component of a substance used or c manufactured as an intermediate or final product or byproduct? ❑ Yes ❑ No 4 SKIP to Section 8. a ~' 7.19 List the pollutants below,including TCDD if applicable. c 1. _ 4. 7. U 2. 5. 8. 3• 6. 9. 8.1 Do you have any knowledge or reason to believe that any biological test for acute or chronic toxicity has been made on any of your discharges or on a receiving water in relation to your discharge within the last three years? ❑ Yes ❑✓ No 4 SKIP to Section 9. 8.2 Identify the tests and their purposes below. y Tests Purpose of Tests .Submitted to NPDES o { ) " p Permittin Authorit ? Date Submitted 517 ❑ Yes ❑ No U o ❑ Yes ❑ No 0 m ❑ Yes ❑ No ® MM ®.. 9.1 Were any of the analyses reported in Section 7(on Tables A through C)performed by a contract laboratory or consulting firm? ✓❑ Yes ❑ No 4 SKIP to Section 10. 9.2 Provide information for each contract laboratory or consulting firm below, Laboratory Number 1 Laboratory Number 2 Laboratory Number 3, Name of laboratory/firm c . Duke Energy Carolinas,LLC Pace Analytical Services,LLC 0" Duke Energy Central ,. Laboratory 0 c Laboratory address 13339 Hagers Ferry Road,Mail 9800 Kincey Avenue,Suite Code MG03A2 100 Huntersville,NC 28078 Huntersville,NC 28078 L Phone number ca (980)875-3111 (704)875-9092 Pollutant(s)analyzed EPA Form 3510-2F(Revised 3-19) Page 5 [71denlificalion Number NPDES Permit Number Facility Name Form Approved 03/05/19 Harris Nuclear Plant OMB No.2040-0004 . e e 10.1 In Column 1 below,mark the sections of Form 2F that you have completed and are submitting with your application.For each section,specify in Column 2 any attachments that you are enclosing to alert the permitting authority.Note that not all a licants are re uired to corn fete all sections or provide attachments. Column 1�„ Colu?rin 2. Section 1 w/attachments(e.g,,responses for additional outfalls) ❑✓ Section 2 ❑ w/attachments ✓❑ Section 3 ✓❑ w/site drainage map FO/ Section tion 4 w/attachments tion 5 ❑ w/attachments tion 6 ❑ wl attachments 7 ❑ Table A ❑ w/small business exemption request o ❑ Table B ❑ w/analytical results as an attachment ❑ Table C ❑ Table D ❑✓ Section 8 ❑ w/attachments c �. ✓❑ Section 9 ❑ w/attachments(e.g.,responses for additional contact laboratories or firms) 0 Section 10 ❑ 10.2 Certification Statement 1 certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted.Based on my inquiry of the person or persons who manage the system or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, true, accurate, and complete.1 am aware that there are significant penalties for submitting false information,including the possibility of fine and imprisonment for knowing violations. Name(print or type first and last name) Official title John Dills Plant Manager Si nature Date signed ^'V EPA Form 3510-2F(Revised 3-19) Page 6 EPA Identification Number NPDES Permit Number Facility Narne Outrall Number Farm Approved 03105119 Harris Nuclear Plant SW-003 OlAB No.2040-0004 •I I • 0 • • • 1 You must provide the results of at least one anal sis far eve oilutant in this table.Coin late one table for each outfall.See instructions for additional details and re uirements. Maximum Daily Discharge- Average Daily Discharge Source of (epriciryunits) . ' (spec4units) Number of Storm Information p Grab Sample Taken Pollutant or Parameter Grab Sample Taken DuringFirst ' Flow-Weighted Flow- ei hted` Events Sampled (newsourcetnew During Fast. g p dischar ers only;use i 30Minutes Composite 36Minutes Composite 9 K codes in insbuatians) 1. ' Oil and grease 2, s Biochemical oxygen demand(BOD5) I' Chemical oxygen demand(COD) 4. Total suspended solids(TSS) 5. ` Total phosphorus &.'r Total Kjeldahl nitrogen(TKN) 7. Total nitrogen(as N) pH(minimum) 8.< pH(maximum) Sampling shall be conducted according to sufficiently sensitive test procedures(i.e.,methods)approved under 40 CFR 136 for the analysis of pollutants or pollutant parameters or required under 40 CFR chapter 1,subchapter N or 0.See instructions and 40 CFR 12.2.21(e)(3). EPA Form 3510-2F(Revised 3-19) Page 7 This page intentionally left blank. EPA Identification Number NPDES Permit Number Facility Name Outfall Number Form Approved 03105119 Harris Nuclear Plant SW-003 UAB No.2040-0004 List each pollutant that is limited in an effluent limitation guideline(ELG)that the facility is subject to or any pollutant listed in the facility's NPDES permit for its process wastewater(if the facility is operating under an existing NPDES permit).Complete one table for each outfall.See the instructions for additional details and requirements. Maximum Daily Discharge Average Daily Discharge Source of " (s ecityunits ecfy(spunits Number of Storm" Information Pollutant and CAS Number(if available) Grab Sample Taken Grab Sample Taken During First Flow-Weighted During First Flow-Weighted' Events Sampled (newsourcefnc-w Composite dischargers onl use 30Minutes P 30Mnutes " Composite" y, codes in instructions) Sampling shall be conducted according to sufficiently sensitive test procedures(i.e.,methods)approved under 40 CFR 136 for the analysis of pollutants or pollutant parameters or required under 40 CFR chapter I,subchapter N or 0.See instructions and 40 CFR 122.21(e)(3). EPA Form 3510-2F(Revised 3-19) Page 9 This page intentionally left blank. EPA Identification Number NPDES Permit Number Facility Narne Ouffall Number Form Approved 03)05/19 Harris Nuclear Plant SW-003 WAS No.2040-0004 "Evr® ® Mill ® a t r +1 List each pollutant shown in Exhibits 2F-2,2F-3,and 2F-4 that you know or have reason to believe is present.Complete one table for each outfall.`See the instructions for additional details and requirements. Maximum Daily Discharge, Average Daily Discharge Source of is ecif Un s ecd units Numberof Storm Information Pollutant and CAS Number(if available) Grab Sample Taken Grab Sample Taken Flow-Weighted Flow-Weighted (new sourcelnaw, During First During First ghted Events Sampled Composite Composite dischargers only;use 30 Minutes 30 Minutes P codes ininshctions) Sampling shall be conducted according to sufficiently sensitive test procedures(i.e.,methods)approved under 40 CFR 136 for the analysis of pollutants or pollutant parameters or required under 40 CFR chapter I,subchapter N or 0.See instructions and 40 CFR 122.21(e)(3). EPA Form 3510-2F(Revised 3-19) Page 11 This page intentionally left blank. EPA Identification Number NPDES Permit Number Facility name Outfall Number Form Approved 03/05/19 Harris Nuclear Plant SW003 Ot'ri9 No.2040.0004 n e• ®• a rOpp, ws Provide data for the storm event(s)that resulted in the maximum daily discharges for the flow-weighted composite sample. Total RainfalC During Number of Hours Between- Duration of Storm Event g. Be mn'in of Storm Measured and Maximum Flow Rate, Total Flow from Rain Event Date of Storm Event Storm Event, - g g 'During Rain Event (in hours) End of Previous Measurable Rain g m gallons or specify units(in inches) (in gpm or specify units) ( 9 P f ) Event Provide a description of the method of flow measurement or estimate. EPA Form 3510-21'(Revised 3-19) Page 13 Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit A lication Attachment 1 NC DEQ DEMLR SW NPDES Individual Permit Supplement Information Item 3 - Summary of the Visual Monitoring Results am C C G C c c c c c c c 0 0 0 0 0 0 0 0 0 p 0 0 N 'CJ M M i0 10 t0 fO .O mO t6 H !0 N E E 2 2 Z 2 2 01 z 2 u u Fr; w N w w w w N Z °1 0 0 a ` aaaaaaaaa A u u 0 0 0 0 0 0 0 0 o v o 0 0 0 0 0 0 0 0 0 0 0 o w 0 o z z z z z z z z z z z z z c w C C C G C E G C C C C C C w` `w w `w `w a w w • uO O O o 0 0C 0 090000auC C0 u o o 0 o 0 0 o 0 0 0 0 0 0 0 Z Z Z Z Z Z Z Z Z Z Z Z Z Z N c C C C C 3 O O O O 0 0 0 0 0 0 0 0 0 i, U U U U ,o U U u U U U U U Z Z Z Z Z Z Z Z Z Z Z Z Z Z °S c i m 0 E E E EE E E E E •Q� Z u u u u u u u u u w c a c ". o u z o °1 0 0 0 0 0 0 0 0 0 u u w u o u u u u u u u u H� o O w o o 0 o O O o O o O o Z Z N Z z0 Z Z Z Z Z Z Z Z Z c C C m C 2 co C 00 C co C C C C ,��ou y w uo w u u w u u u u u U O O Z O w O o Z O o o 0 0 0 u u w u u u w u u u u u u ho z �� z Z o z z Z Z z z Z O u u u u O o O o o o u 0 0 w Z o o o o ju u u u u �� O O O o o o O O o w O o o o " z z Z Z Z Z z z z z Z Z Z c E E E 2 E u u o u w u u `o u o u u u u c c Z C v C c Z c Z o G c C c o O w o O w O w 0 0 0 0 ' O O w O 0 o O w o w O o 0 o Z Z Z Z Z Z m Z N Z Z Z Z d w c E E E E E E C C o w v `w w 1O w w w w w w w w w U u u U � U U u u u U U w . O O O O vwi o 0 0 0 o 0 o 0 0 N c N d u u u u a u u u u u u u u - v o o o o o o o o o o o o 0 o z z z z Z z z z z z z z z z v m ° o v v d o 3 —" N v n w P ^ r ti E P' ° .° w ` v O O o o u o u u u u u u o G o Y 'N Q c z z z z Z c z c c c c c c o I S w 2-6 no }- o w w w w w o w o o o o o o h m Y C ma's o w w w w w o w o 0 0 0 0 0 •- ° o -h z m '^ `^ '^ '^ Z `^ Z Z Z Z Z Z v a w o v 0' o v 0 c 3 w o O N o v x v c c c O E ° ti E E E E 3 v 3 3 Y " v 2 o' u u u u 0 u u u u u u u u u o w Q E 3 c c c c c v c c c c c c c c c o Y o w c, m o 0 o o o 0 o o o o 0 o o 0 u u u u .o u u u u u u u u u o m E 1O o o o o o 0 o o o o 0 o o o 10 t0 c " • m w z z z z Z z z z z z z z z z v w m Q ° ° E N a m o c o N o c o 0 0 v v c " 0- ww o w o o w oo 0 o v °o v °o Q w ?o a 3 m c m 3 c m c w m E v 0 l7 o o o N v °0 0 0 c m N N •- w C u a w cL w t L S u s c m a E n un oo co m �0 �n N co .� H m eo 10 O H N H 'A N H O jp C O i0 w c C N Q o 'H-I O o 'V O o O H O 'H-I o 'H -I 0 Q C 0 O' o d o C m z 9 p n nJ Lb Lbtbn � mcod) 66 c `w c N `w '- mar c N H H H H H H H H H H H H N N 'O o = U y o 0 0 0 0 0 0 N N N N 0 N 0 3 3 0 3 Q N o 0 O N N N N N N N N N N N N N N N = C z H N M V VI lD 1� W O1 E E E E E E E E L, O O o 0 0 0 0 0 'O aL a d d m a n`, CL z z z z z z z z a,a aa)) a) a a) a ai v v m v 0 0 v o ¢ ¢ Q a a a Z Z Z „O O O O c- Z Z Z ro a v °= aEi aEi aEi 0 v n a fl J.1: 0 Q 0 y O a a a a " a a s 20 O O O O Y O O O Z Z Z Z Z Z Z ` aaaaaaaa z z z z z z z z �3 ;mw yEEEEEEEE Z: v v ai v v v v (D 0i O O O O O O O O �= a a a n aL a 0- a. z° z° z° z° z° z° z° z° Q) v O) v v (U v Q) @' O O O O O O O O tw a a a a a a a a L>, M' Z Z Z Z Z Z Z Z C7a a v N N N a N N N o a) v a) a o _v _v a) O Q 0 0 A �.. O O O N ,�,, O O O N ,...�_ a a a H aL aL aL c O O O Y O O O zzz o z z z Z v a a > c a O m m v v v a) N Q73 -,Wz O O O O L v 0 u v Q v• H � \ \ � \ \ \ �- c aT+ N 3 C C G \ C C C O �:. O O O O O O O O LL C v L 41 mCU CL 3 . r, oo to .-i oo ,-i c oo 3 m O ri ri ri N N N M rA O N ++ WA l0 ri ri 01 ri ri lD A " � 7 N b:i' O ri ri O eil ri O ri f0 m u1 Ln l0 I, 00 0) O O o a z a p'` ri ri ri ri ri ri N N h ? O O O O O O O O C r_ Ul � v � Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 2 Form 1 —Section 6 — Existing Environmental Permits Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 2 Form 1 - Section 6-Existing Environmental Permits Issuing Agency Type of Permit. 1D Number . Division of Health Services Main Reservoir 633 Division of Health Services Auxiliary Reservoir 633 Division of Air Quality Synthetic Minor 08455 Division of Environmental Well Construction 2497 Management(DEM) DEM* Well Construction 1290 DEM* Well Construction 1145 DEM* Well Construction 922 DEM* 410 Certification WQC-1198 DEM* 401 Certification WQC-214 Division of Solid Waste Industrial Landfill 92-10 Management Division of Waste Management Underground Storage Tank 0-006715 DWR Laboratory Certification 398 DWR Oil Terminal Facility 924020063 DWR NPDES (HNP/HEEC) NC0039586 DEM* NPDES (HNP Landfill) COC NGG 120032 DEM* Nondischarge WQ0009475 DEM* Nondischarge WQ0000584** DEM* Nondischarge WQ0000506** DWQ Nondischarge WQ000083 8** Wake County Planning Land Use 3830 Wake County Planning Land Use 13383 Nuclear Regulatory Commission Facility Operating License NPF63 Division of Radiation Protection Radioactive Materials License 092-0218-4 USEPA Hazardous Waste NCD991278284 *Since issuance of permit agency name has changed to Division of Water Resources. **Permits held by contract disposal firm Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 3 Form 1 — Section 7— Maps i3 �°'"sa 4�xt,,.�— a�+'• $ fD [ R 'y x �q...t- 1 ti cm. £ .�,7i4" �X' �)".7' sra� r-'' }Y,'qr f' +r.�,• r, l�k>&,Y:.f'�f T' � y.`x "` �`.P. �fi�i`€. ti... 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[ .,�,_. is y, r' P __.� € it di s'> c-•''—i —w•.--`--»,.� z�,yra'' w � cx rfk,. � a,r'.?:..tey�.•^"A fi ! `• --" 4 a { 5 ,�.x �.,K; .�^;w" 4 t �'� ,t' i ,r �a 54t I• NOW i,"-�" fP,x�, ;4 a y,�r id" '> 1 tipz teY � � �� e �, �•. 1�'�gF1 n f �,t '�'� ' �t rra I��: :,1t ..I,. Attachment 3-Form 1—Section 7-Map '';' Harris Plant• .._` , Duke Energy Progress,LLC Harris Nuclear Plant [7N7orth Carolina Wake County Page 1 of 1 Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 4 Form 2F —Section 1.1 — Outfall Locations Duke Energy Progress,LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 4 Form 2F—Section 1.1 -Outfall Locations A. Outfall Number B.Latitude C.Longitude D. Receiving Water SW-A 350 38' 25" 780 57' 14" Harris Reservoir SW-B 350 38' 07" 780 57' 07" Harris Reservoir SW-001 350 38' 17" 780 57' 03" Harris Reservoir SW-002 350 38' 09" 780 57' 00" Harris Reservoir SW-003 350 38' 05" 780 56' 57" Harris Reservoir SW-004 350 37' 48" 780 56' 50" Harris Reservoir SW-005 350 37' 47" 780 57' 11" Harris Reservoir SW-006 350 37' 37" 780 57' 13" Harris Reservoir SW-007 350 37' 45" 780 57' 31" Harris Reservoir SW-008 350 38' 08" 780 57' 36" Harris Reservoir SW-009 350 38' 08" 780 57' 32" Harris Reservoir 1 Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 5 Form 2F — Section 3.1 — Site Drainage Map 5 .�M $ u, 'ffrl Al 4NIf � ..bsg + ?` ZV2 3 OF a h y�yy /.rt / r AREWNIAP S�',-AJRON HAMS ROAD FR a10.SlE� E4ptA4lT VAL ROM CUM*M07 Attachment 2-Form 2F—Section 3.1-Map Iatxis Plant Duke Energy Progress,LLC Harris Nuclear Plant North Carolina Wake County Page 1 of 1 Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 6 Form 2F — Section 4.1 — Pollutant Source Impervious / Surface Area Information Duke Energy Progress,LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 6 Form 2F—Section 4.1-Pollutant Source Imperviousness/Surface Area Information Outfall Number Area of Impervious Percent (%) Total Area Drained Surface Acres Impervious (Acres) SW-A 0.0 0 5.1 SW-B 1.1 4 27.9 SW-001 26.4 40 66.1 SW-002 2.1 15 14.1 SW-003 11.0 75 14.7 SW-004 1.7 5 33.3 SW-005 10.9 95 11.5 SW-006 16.8 65 25.8 SW-007 9.0 20 45.2 SW-008 4.8 50 9.6 SW-009 6.1 70 8.7 DA-10* 1.4 20 7.0 Totals 91.3 36 254.3 Note: *-Drainage Area 10 does not contain an outlet structure;stormwater from Drainage Area 10"sheet flows"into the facility's emergency service water intake canal. 2 Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 7 Form 2F —Section 4.2— Narrative Description of Pollutant Sources Taken from Harris Nuclear Plant's Storm Water Pollution Prevention Plan STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 2.1.5 Non-Storm Water Discharge Certification NPDES Permit Reference: Part/, Section A 21.2a(5) An evaluation for non-storm water discharges shall be performed annually by the Site Environmental Coordinator(s). The evaluation shall determine if a non-storm water discharge is present or otherwise how that discharge is permitted or otherwise authorized. Supporting evaluation information and a copy of the certification shall be included in Appendix E. Allowable non-storm water discharges include: • Foundation drains and natural springs; • Flows from riparian habitats and wetlands; • Air conditioner condensate that includes no added chemicals; • Waterline and fire hydrant flushing; • Discharging from fire-fighting, fire-fighting training, and fire system testing; • All other discharges authorized by an NPDES permit. 2.2 Storm Water Management Strategy 2.2.1 Feasibility Study NPDES Permit Reference: Part/, Section A 21.2b(1) This section provides a review of the technical feasibility of changing the methods of operations and/or storage practices to eliminate or reduce exposure of materials and processes to rainfall and storm water runoff. Below are descriptions of the existing operations at the plant that present the potential for negative impacts to storm water runoff. These descriptions demonstrate the current practices in use to prevent exposure of storage areas, material handling operations and fueling operations. Page 7 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 DIESEL FUEL AND GASOLINE STORAGE Diesel fuel and gasoline is stored at the plant in several different tanks and containers at the plant. The diesel fuel is primarily used as fuel for emergency diesel generators at the plant. The diesel fuel and gasoline is used to fuel plant vehicles and miscellaneous equipment. The largest containers at the plant are two 175,000 gallon underground diesel fuel storage tanks located north of the plant, and two 110,000 gallon field-erected aboveground diesel fuel storage tanks located in the southwestern area of the plant yard. The aboveground tanks are located within a single common concrete secondary containment structure equipped with a closed drain valve. Drainage from the containment discharges into the plant 10,000 gallon capacity Oil/Water Separator. The plant contains eight additional aboveground diesel fuel tanks, one aboveground gasoline tank, and numerous 55 gallon petroleum storage drums. The remaining tanks are small, shop-fabricated steel tanks maintained at various locations around the plant. The plant contains one 1,000 gallon underground diesel fuel storage tank at the Security Building, and one 10,000 gallon underground diesel fuel storage tank and one 10,000 gallon underground gasoline storage tank in the Mobile Equipment Area. The plant also maintains one small diesel fuel tank and one small gasoline tank on a mobile fuel truck. A complete listing of these containers, including inspection and testing requirements, secondary containment descriptions and inspection requirements, and tanker unloading operation requirements are described in detail in the Harris Nuclear Plant SPCC Plan. All diesel fuel and gasoline storage tanks are provided with some means of passive secondary containment or are integral double-walled containers as described in detail in the Harris Nuclear Plant SPCC Plan. All external containments are inspected prior to being manually drained in accordance with the SPCC Plan. Secondary containments either drain into the plant 10,000 gallon capacity Oil/Water Separator, or onto the plant yard. Mobile tanks are stored in areas that drain to the Oil/Water Separator while in standby mode. Refueling operations for all diesel fuel and gasoline containers are conducted in constant attendance in accordance with plant procedures and the Harris Nuclear Plant SPCC Plan. Tanker trucks are brought on-site to refill the two 175,000 gallon underground diesel fuel storage tanks and the two aboveground 110,000 gallon diesel fuel storage tanks. Tanker unloading into the two 175,000 gallon underground storage tanks, and into the two 110,000 gallon aboveground storage tanks, is conducted on a concrete containment pad adjacent to the tanks. The containment is equipped with open drains to the Oil/Water Separator. Tanker trucks are also brought on-site to refill the other aboveground and underground diesel fuel and gasoline tanks. These tankers unloading operations are conducted adjacent to the containers and in constant attendance in accordance with plant procedures. Prior to filling any container, tank levels are verified by electronic high-level and low-level annunciators, visual sight glasses, or are otherwise verified as described in the plant SPCC Plan. Page 8 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 The plant contains diesel fuel piping primarily associated with the delivery of diesel fuel from the two 110,000 gallon aboveground diesel fuel storage tanks to the emergency diesel generator system, and to other locations and systems. The piping is located aboveground or within concrete trenches. None of this piping is in contact with the soil. Portions of this piping are located within the secondary containment structure surrounding the tanks or at the fuel forwarding skid within the containment pad for the tanker unloading station. All aboveground piping outside of these concrete containments, and all piping within the concrete trenches, is provided secondary containment by open drains to the Oil/Water Separator. Diesel fuel transfer operations from the tanks to the emergency diesel generator system is an automated process. Facility operations personnel conduct daily routine facility walk-downs to observe all aboveground piping, valves, expansion joints, flange joints, and structural supports. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with diesel fuel and gasoline storage practices or tanker unloading operations at the facility. All diesel fuel and gasoline containers are in compliance with the plant SPCC Plan. USED OIL STORAGE AND HANDLING Used oil is collected and stored in eleven small tanks and containers at the plant. The largest used oil tanks are one 4,000 gallon steel tank and one 2,000 steel gallon tank in the Mobile Equipment Area. These two tanks are within a common concrete containment structure. There is a 1,000 gallon steel used oil tank adjacent to the.Oil/ Water Separator that collects used oil removed by the separator. This tank is within the same concrete containment pad as the separator. There is a 1,000 gallon steel used oil tank adjacent to the Emergency Diesel Generator Building and within a concrete containment structure. There are three 220 gallon poly used oil containers at the plant. Two of these containers are within a common metal containment bin on a covered concrete pad at the Paint Shop. The remaining container is within a concrete containment structure in the Mobile Equipment Area. The plant has a 1,000 gallon steel used oil tank mounted on a mobile trailer. While in standby mode the trailer is maintained in an area of the plant with yard drains that discharge into the Oil/Water Separator. There is a 100 gallon hydrogen seal oil drain tank within a concrete containment structure adjacent to the Turbine Building, and a 200 gallon oil filter drain tank inside the Mobile Equipment Building. The plant also maintains two 55 gallon used cooking oil drums maintained within a poly containment shelter at the east end of the Service Building. A complete listing of all used oil tanks, including inspection and testing requirements, secondary containment descriptions and inspection requirements, and tanker loading operation requirements are described in detail in the Harris Nuclear Plant SPCC Plan. All external containments are inspected and manually drained in accordance with the SPCC Plan. Secondary containments either drain into the plant 10,000 gallon capacity Oil/Water Separator, or onto the plant yard. Mobile tanks are stored in areas that drain to the Oil/Water Separator while in standby mode. Tanker trucks are brought on-site to load used oil as needed from the Page 9 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 various used oil tanks. The tanker loading operations are conducted adjacent to the containers and in constant attendance in accordance with plant procedures. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with used oil storage practices or tanker loading operations at the facility. All used oil containers are in compliance with the plant SPCC Plan. LURE OIL STORAGE The plant has three lube oil storage tanks consisting of one 14,000 gallon Turbine Generator Batch Oil Tank and two 1,500 gallon Turbine Lube Oil Sump Tanks. All three tanks are located within concrete containment basins inside the Turbine Building. The inspection and testing requirements for these lube oil tanks is described in detail in the Harris Nuclear Plant SPCC Plan. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with these lube oil tanks. OIL-FILLED EQUIPMENT AND SYSTEMS Oil-filled equipment and systems at the plant includes lubrication oils, mineral oils and hydraulic oils maintained within closed conduit systems. These oils are used in hydraulic systems, lubricating systems, gear boxes, machining coolant systems, heat transfer systems, transformers and circuit breakers. Oil-filled equipment and systems, including container inspection requirements and secondary containment descriptions and inspection requirements, are described in detail in the Harris Nuclear Plant SPCC Plan. The plant contains four lube oil and hydraulic oil reservoir systems located inside the Turbine Building. These reservoir systems are not exposed to storm water. Any oil release occurring from these systems will enter open floor drains that discharge into the plant Oil/Water Separator. The largest oil-filled equipment containers exposed to storm water are large transformers containing mineral oil and located in the Transformer Yard on the east side of the Turbine Building. This equipment consists of three 9,180 gallon Start-Up Transformers, four 7,780 gallon Main Step-Up Transformers, and two 5,500 gallon Auxiliary Transformers. All of these transformers are within a concrete containment sump equipped with a manually operated dewatering pump. Containment contents are inspected in accordance with the plant SPCC Plan prior to dewatering, and sump contents are pumped to the plant Oil/Water Separator. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with the large transformers. Smaller oil-filled equipment containers exposed to storm water include numerous pad-mounted service transformers containing mineral oil located at various locations around the plant. These Page 10 of 88 I STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 transformers are used to provide power to the various buildings and facilities at the plant, and are generally not provided with any means of passive secondary containment. Any mineral oil release occurring from these service transformers would result in failure of the unit and subsequent loss of power. The plant relies on system monitoring, frequent inspections, preventative maintenance, and active containment measures as described in the plant SPCC Plan to contain any potential release occurring from these transformers. A mineral oil release from these units will typically discharge vertically into the underlying conduit penetrations which will provide some degree of containment. The potential for storm water impacts associated with mineral oil releases from any of these uncontained pad-mounted transformers is minimal, and could be reduced by the installation of dedicated secondary containments with manually operated drain valves or open drains to the Oil/Water Separator. CHEMICAL STORAGE AND HANDLING Various chemicals are used at the plant for water treatment and other purposes. Bulk chemicals are delivered by tanker trucks and unloaded into respective storage tanks at designated locations. Smaller chemical containers and drums are delivered to the receiving area of Warehouse 9 for storage or subsequent transport via company vehicles to the Water Treatment Building, Paint Shop, Bulk Warehouse, Chemical Warehouse, the Sewage Treatment Plant, and other locations. Plant personnel are trained in safe forklift usage, safe handling of chemicals, and proper use of spill containment and cleanup materials. Spill kits are located at receiving areas. Two 5,500 gallon sodium hypochlorite tanks, one 5,600 gallon phosphoric acid tank, three 4,500 gallon water treatment chemical storage tanks and other smaller chemical containers are used for water treatment and analysis purposes at the Cooling Tower. The sodium hypochlorite tank and other small tanks and containers are within a concrete containment. The containment can be drained to the yard drainage system or can be pumped into the Cooling Tower basin. Small containers of chemicals used for analysis are stored inside the chemical storage building. Four bulk chemical storage tanks, consisting of a 10,800 gallon caustic tank, a 7,500 gallon sulfuric acid tank, a 1,500 gallon empty ammonia tank, and a liquid nitrogen to gaseous nitrogen tank are located at the south end of the Turbine Building. These tanks are within containments that can be drained to the yard drainage system or to a sump that discharges to the Oil/Water Separator. An 8,315 gallon sulfuric acid storage tank is located at the east end of the Water Treatment Building. This tank is within a concrete containment with an open drain to a sump that pumps to the Neutralization Basin. Sodium carbonate, sodium hypochlorite, sodium hydroxide, and water treatment polymers are stored in tanks and containers at the Sewage Treatment Plant. Some of these tanks and containers are stored in totes inside metal buildings with built-in sumps. All chemical storage tanks and containers are provided with some means of containment consisting of secondary containment structures with manually operated drain valves, secondary Page 11 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 containment structures with open drains to other containment or treatment systems, or are stored inside buildings. All external containments with drain valves are inspected prior to boing manually draining. All chemical deliveries are conducted adjacent to the containers or at receiving areas in constant attendance and in accordance with plant procedures. Chemical container levels are verified prior to initiating any tanker unloading operation. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with the storage and handling of chemicals. WASTE HANDLING AND STORAGE Waste chemicals and oils produced inside the protected area of the plant is typically transported to and processed in the chemical processing area of the Paint Shop. These materials are stored within a covered concrete containment area with open drains to the Oil/Water Separator. Waste chemicals produced outside the protected area of the plant are typically transported to, processed and stored in Warehouse 6. Waste oils produced outside the protected area of the plant are typically transported to the used oil tanks in the Mobile Equipment Area. Hazardous materials are accumulated in designated satellite waste storage areas at the plant. All satellite accumulation areas are either under shelters or are inside buildings. All hazardous waste generated at the plant is eventually transported to and stored in the Central Hazardous Waste Storage Area located under a shelter attached to the Chemical Warehouse. Dumpsters and roll-off containers are used at certain locations to collect inert materials and solid waste for disposal. No liquids or other materials that could potentially impact storm water are disposed of in external dumpsters. Two closed trash compactors are located west of the Chemical Warehouse. Recyclable waste materials are collected in covered storage containers at several locations inside buildings. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with waste handling and storage. EXTERNAL STORAGE, LAYDOWN AND PARKING AREAS Inert materials such as miscellaneous wood, structural steel, cable, empty drums and other metal components are stored at various external laydown yard areas at the plant. These laydown areas are typically paved or gravel-surfaced. No liquids or materials that could potentially impact storm water are stored on external laydown areas. Cranes and other mobile equipment are parked on the crane laydown yard and in other external parking and storage areas. This equipment can contain oils, fuels, hydraulic fluids and other materials that represent potential storm water impacts. Plant employees are trained to promptly report and respond to spills. Page 12 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Other materials such as soil, sand, gravel, compost, concrete and asphalt may be stockpiled at certain locations on a temporary basis until the material can be recycled, reused or properly disposed of off-site. Stockpiled materials such as soil that could potentially result in the mobilization of sediments when exposed to rainfall are covered, stabilized by temporary or permanent seeding or are otherwise provided with necessary sediment control measures. Drainage areas containing external storage, laydown and parking areas are described in Appendix B. The potential for storm water impacts associated with these external areas could be reduced by covering materials such as soil, gravel, treated lumber, flaking painted surfaces and other materials that represent the greatest potential for such impacts, by regular inspections and maintenance of mobile equipment, and by maintaining mobile equipment inside temporary containments while parked. Constructing permanent shelters over these external areas to prevent contact with storm water is cost prohibitive. SECURITY TRAINING AND FIRING RANGE The plant maintains a designated facility for security training purposes that includes an external firing range. The range is located west of the plant on the north side of the Emergency Service Water Intake Canal. Lead-based ammunition is routinely fired into bullet traps at the range. Storm water runoff from this area flows south and southwest overland into the adjoining Emergency Service Water Intake Canal. The embankment soil pH is routinely monitored and maintained within a range to prevent the lead from becoming soluble. Security personnel maintain an inventory of expended rounds fired and routinely harvesting lead from bullet traps or the soil. There are no changes warranted to reduce the potential for impacts to storm water runoff associated with the security training and firing range. Constructing permanent shelters over the firing range to eliminate exposure to rainfall is cost prohibitive. Duke Energy continuously pursues strategies to holistically manage the exposure of storm water to power generation, waste disposal, and facility management operations. These efforts consider the technical and economic feasibility of changing the methods of operations and/or storage practices. The details from the planning, design, and construction of such improvements shall be incorporated into the SWPPP upon completion. Page 13 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 2.2.2 Secondary Containment Requirements and Records NPDES Permit Reference: Part 1, Section A 21.2b(2) The plant manages numerous oil-based liquids and non-oil based liquids and chemicals which are critical to power generation and transmission, water treatment, waste handling and treatment, and operation of vehicles and equipment. The Harris Nuclear Plant is subject to the requirements of U.S. Environmental Protection Agency (EPA) Oil Pollution Prevention Regulation 40 CFR Part 112 because the oil storage capacity at the facility exceeds 1,320 gallons and the proximity to waters of the United States. As a result,the facility maintains a Spill Prevention, Control, and Countermeasures (SPCC) Plan pursuant to, 40 CFR Part 112. This plan addresses secondary containment, inspections and record keeping requirements for all oil containers of 55 gallon capacity and greater. A copy of the SPCC is not included in the SWPPP as the document is actively managed at all times for evolving site conditions; however, a current version is maintained in the Nuclear Fusion document data base and a version with mark-ups is maintained in the office of the Site Environmental Coordinator(s) and referenced herein. Pursuant to this section of the permit, secondary containment is required for the bulk storage of liquid materials, storage in any amount of Section 313 of Title III of the Superfund Amendments and Reauthorization Act(SARA)water priority chemicals, and storage in any amount of hazardous substances, in order to prevent spills and leaks from contaminating storm water runoff. Secondary containments shall be sized to contain the full capacity of the single largest container within the containment structure. Secondary containments exposed to precipitation shall also have additional capacity to contain the 25-year, 24-hour storm event. This additional capacity requirement shall take into consideration any storm water runoff entering the containment structure from upland areas if applicable. Secondary containments draining into storm water conveyance systems or onto the ground surface shall be equipped with manually- operated, lockable or otherwise secured drain valves or dewatering pumps. Flapper-type valves shall not be used. Accumulated storm water within secondary containments shall be visually inspected for color, foam, outfall staining, presence of sheen, oils or chemicals prior to release in accordance with the frequencies specified in the plant SPCC Plan. Inspections will include observation for leaks, condition of containment, valve drain closure and locking, and presence of excessive debris and sediment. Inspection records shall be maintained at the facility. Exterior containments exposed to precipitation shall be inspected promptly after any significant rainfall event, and collected water within containments shall be drained to maintain adequate spill storage capacity within the containment. A list of all liquids and chemicals and their associated secondary containment provisions are provided in Appendix F. Documentation for periodic inspections for leaks and recordation of accumulated storm water releases shall be placed in Appendix I. Page 14 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 2.2.3 Best Management Practices (BMPs) Summary NPDES Permit Reference: Part 1, Section A 21.2b(3) A number of best management practices are currently in place at the station. These BMPs were instituted over a number of years as a result of various regulatory drivers and good housekeeping objectives. While a chosen practice provides some level of pollution prevention as it relates to the management of storm water discharges under this permit, the historic rationale behind implementing such a practice is comprehensive of a number of contributing factors. To document the ongoing implementation of these practices as part of the SWPPP, Table 2 from the Industrial Storm Water Fact Sheet for Steam Electric Power Generating Facilities (EPA-833-F-06-030)was reviewed and evaluated, and is provided in Appendix O. A high-level review of the BMPs is provided below along with a rationale for implementation. The detailed listing of these BMPs for each drainage area is provided in the outfall descriptions in Appendix B where information regarding the industrial activities and significant sources of pollutants are also compiled. The compiled information in the appendix captures an ongoing assessment process for BMP selection and implementation. The Site Environmental Coordinator(s) shall rely on Table 2 from EPA-833-F-06-030 for the improvement, installation and implementation of BMPs to address data collected through monitoring of storm water discharges. The Site Environmental Coordinator(s) may also rely on other sources of information to develop and implement appropriate BMPs not specifically listed in Table 2. This list of BMPs shall be reviewed and updated annually as new practices are incorporated in the plan or warranted as a result of exceedances of analytical monitoring benchmarks detailed in the permit. FUGITIVE DUST EMISSIONS The potential for fugitive dust to impact storm water runoff drives the need for emission management practices. The station maintains an air permit with NCDEQ that includes the control of fugitive dust emissions as a programmatic requirement. Fugitive dust emissions are managed as necessary through a variety of BMPs that include restricting frequent traffic to paved roadways, periodic wetting of haul roads, and permanent stabilization of dust generating surfaces. Fugitive dust control is typically a contractual requirement of any contractors brought on-site to perform services that may involve the creation of fugitive dust. Fugitive dust generation is typically insignificant at the facility. LOADING AND UNLOADING OF FUELS,OILS AND NON-OIL LIQUIDS AND CHEMICALS The plant maintains numerous locations for the loading and unloading of fuels, oils and non-oil liquids and chemicals. The potential for spills and leaks to release to storm drains or overland drainage pathways to receiving waters presents a source of unauthorized discharges and potential storm water contamination. Loading and unloading operations follow plant procedures, the requirements specified in the plant SPCC Plan, and the requirements specified in the DOT unloading/loading procedures 49 CFR Part 177, Subpart B. Page 15 of 88 Duke Energy Progress, LLC Harris Nuclear Plant National Pollutant Discharge Elimination System Individual Industrial Stormwater Permit Application Attachment 8 Form 2F—Section 4.3 — Narrative Description of Pollutant Sources Taken from Harris Nuclear Plant's Storm Water Pollution Prevention Plan STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 1 -Storm Water Outfall SW001 Conveyance 36 inch Reinforced Concrete Pipe Coordinates N 350 38' 17" W 780 57' 02" Draina a Area 66 acres % Impervious 40 % Drainage Area Description: Drainage Area 1 includes Warehouses Nos. 6 and 9, paved and gravel-surfaced parking areas, gravel-surfaced storage yards, rail lines, service transformers, scrap metal and solid waste dumpsters, four sewage lift stations, and grassed yard areas. Storm water runoff from this drainage area discharges to the east into Harris Reservoir north of causeway. Industrial Activities: Warehouses Nos. 6 and 9 receive, handle and ship various quantities of chemicals, used oils, and other potential storm water pollutants in totes, drums and bags. Miscellaneous wood, structural steel, cable, empty drums and other metal components are stored on the gravel- surfaced storage yards. Scrap metal and solid waste is collected in the dumpsters. Service transformers provide power to the two warehouses. The sewage lift stations pump raw sewage to the Wastewater Treatment Plant. Employee personal vehicles, company vehicles and freight trucks park on the paved and gravel-surfaced parking areas. Significant Materials and Potential Pollutants: Warehouses Nos. 6 and 9: Chemicals, used oils, and other potential storm water pollutants in totes, mineral oil in service transformers, scrap metal and solid waste in the dumpsters. Storage areas: Miscellaneous wood, structural steel, cable, and other metal. Sewage lift stations: Raw sewage overflow. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Warehouses Nos. 6 and 9: • Plant procedures are followed regarding storage and handling of all chemicals and materials. • Service transformers are inspected daily. • No liquids or potential storm water pollutants are disposed of in the scrap metal and solid waste dumpsters, and the dumpsters are kept covered. • Warehouse personnel are trained in safe forklift usage, spill containment, and cleanup of oil and chemicals. • Spill kits are located at receiving areas. Sewage lift stations: • Stations are inspected per Operations and Chemistry rounds. Storage areas: • No materials that could impact storm water are stored in exterior areas. Parking areas: • Employees are trained to promptly report and respond to spills. Page 36 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 2 -Storm Water Outfall SW002 Conveyance 36 inch Reinforced Concrete Pipe Coordinates N 350 38'09" W 78° 57' 00" Draina a Area 14 acres Impervious 15 % Drainage Area Description: Drainage Area 2 includes the Diesel Generator Building, the northern portion of the Cooling Tower, the Major Projects Building, one 6,500 gallon phosphoric acid tank and three 4,500 gallon water treatment chemical tanks, a service transformer, a sewage lift station, gravel- surfaced parking areas, rail lines, and grassed yard areas. Storm water runoff from this drainage area discharges to the east into Harris Reservoir north of causeway. Industrial Activities: The Cooling Tower cools plant process water for reuse. The normal service water pumps are located on the west side of the Cooling Tower and deliver makeup water to the Cooling Tower basin. The chemical storage tanks are filled by tanker trucks. Diesel fuel is delivered via aboveground piping to the Diesel Generator Building. The service transformer provides power to the Cooling Tower and other buildings. The sewage lift station pumps raw sewage to the Wastewater Treatment Plant. Employee personal vehicles and company vehicles park on the gravel-surfaced parking areas. Significant Materials and Potential Pollutants: Cooling Tower: Lube oil in the normal service water pumps, cooling water spray and drift, chemical storage tanks. Diesel Generator Building: Diesel fuel. Service transformer: Mineral oil. Sewage lift station: Raw sewage overflow. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Cooling Tower: • Cooling water spray and drift is a condition of the plant NPDES permit. • Normal service water pumps are routinely inspected for condition and proper operation. Diesel Generator Building: • Piping, valves and fittings are inspected daily. • Piping is located in trenches with drains to the plant oil/water separator. Phosphoric acid tank and water treatment chemical tanks: • Tanks are located within concrete containments • Plant procedures are followed regarding delivery and handling of all chemicals. Service transformer: • Transformer is inspected daily. Sewage lift station: • Station is inspected per Operation and Chemistry rounds. Parking areas: • Employees are trained to promptly report and respond to spills. Page 37 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 3- Storm Water Outfall SW003 Conve ance 48 inch Reinforced Concrete Pipe Coordinates N 350 38'04" W 780 56' 57" Draina a Area 15 acres 9/6 Im ervious 75 Drainage Area Description: Drainage Area 3 includes the southern portion of the Cooling Tower, a 5,600 gallon sodium hypochlorite tank and other smaller water treatment chemical storage tanks, a chemical storage building, Cooling Tower circulating water pumps, the Transformer Yard adjacent to the Turbine Building, paved parking areas, and grassed yard areas. Storm water runoff from this drainage area discharges to the east into Harris Reservoir just north of causeway. Industrial Activities: The Cooling Tower cools plant process water for reuse. Cooling Tower inflowing water is treated with sodium hypochlorite and other approved water treatment chemicals from tanks at the Cooling Tower, and chemicals for sampling and analysis are stored inside the Chemical Storage Building. Chemicals are delivered by tanker truck. Circulating water pumps are located on the south side of the Cooling Tower and are used to maintain process water circulation. Nine large transformers are located in the Transformer Yard. Employee personal vehicles and company vehicles park on the paved parking areas. Significant Materials and Potential Pollutants: Cooling Tower: Chlorine, acid, sodium hypochlorite, trilite, ammonium bisulfate, and detergents in tanks, chemicals for sampling and analysis inside the chemical storage building. cooling water spray and drift, lube oil in the circulating water pumps. Transformer Yard: Mineral oil in transformers. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Cooling Tower: • The 5,600 gallon sodium hypochlorite tank and other small tanks are within a concrete containment. Sampling and analysis chemicals are stored inside the chemical storage building. • Plant procedures are followed regarding delivery and handling of all chemicals. • Cooling water spray and drift is a condition of the plant NPDES permit. • Circulating water pumps are routinely inspected for condition and proper operation. Transformer Yard: • Transformers are located within concrete containment sumps with manually operated dewatering pumps that discharge into the plant oil/water separator. • Transformers and containments are inspected daily. Parking areas: • Employees are trained to promptly report and respond to spills. Page 38 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 4-Storm Water Outfall SW004 Conveyance Riprap ditch Coordinatos N 350 37' 52" W 780 56' 52" Drainage Area 33 acres Impervious 5 % Drainage Area Description: Drainage Area 4 includes the plant gravel-surfaced Switchyard, paved roads and parking areas, and grassed yard areas. Storm water runoff from this drainage area discharges to the east into Harris Reservoir south of causeway. Industrial Activities: The Switchyard contains electrical equipment and batteries. Employee personal vehicles, company vehicles and freight trucks park on the paved parking areas. Significant Materials and Potential Pollutants: Switchyard: Mineral oil in electrical equipment, acid electrolyte solution in batteries. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Switchyard: • Switchyard equipment is inspected daily. Parking areas: • Employees are trained to promptly report and respond to spills. Page 39 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 5- Storm Water Outfall SW005 Conveyance 42 inch and 60 inch Reinforced Concrete Pipe Coordinates N 35" 37'47" W 780 57' 1111 Drainage Area 12 acres % Impervious 95 % Drainage Area Description: Drainage Area 5 includes the Administration Building, the Security Building, a portion of the Service Building, a portion of the Bulk Warehouse, four chemical storage tanks adjacent to the Turbine Building (one 10,800 gallon caustic tank, one 4,500 gallon sulfuric acid tank, one 1,500 gallon ammonia tank, and one liquid nitrogen tank), a sewage lift station, one aboveground and one underground diesel fuel storage tanks at the Security Building, a cooking grease storage shelter at the Service Building, paved roads and parking areas. Most of this drainage area is impervious roofs and paved areas. Storm water runoff from this drainage area discharges to the south into the Make-Up Water Intake Canal. Industrial Activities: The Bulk Warehouse receives and handles various quantities of chemicals and other potential storm water pollutants. Various chemicals are delivered by tanker truck to the chemical storage tanks adjacent to the Turbine Building. Diesel fuel is unloaded from tanker trucks into the two tanks at the Security Building. Cooking grease is loaded into trucks for disposal. Service transformers provide power to the Administration Building and Security Building. The sewage lift station pumps raw sewage to the Wastewater Treatment Plant. HVAC units are located on the Security Building roof. Employee personal vehicles and company vehicles park on the paved parking areas. Significant Materials and Potential Pollutants: Chemical storage tanks: Liquid nitrogen, ammonia, sodium hydroxide, sulfuric acid. Security Building: Diesel fuel, leaks from the HVAC unit on the roof. Service transformers: Mineral oil. Service Building: Cooking grease. Bulk Warehouse: Various chemicals and other potential storm water pollutants. Sewage lift station: Raw sewage overflow. Storage areas: Miscellaneous wood, structural steel, cable, and other metal. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Chemical storage tanks: • Tanks are within a concrete containment. • Plant procedures are followed regarding delivery and handling of chemicals. Security Building: • The aboveground diesel fuel tank is located inside the building. • Plant procedures are followed regarding delivery of diesel fuel. • HVAC unit is routinely serviced. Service transformers: • Transformers are inspected daily. Page 40 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Service Building: • Cooking grease containers are maintained inside a plastic containment shelter. Bulk Warehouse: • Plant procedures are followed regarding storage and handling of all oils, chemicals and materials. • Warehouse personnel are trained in spill containment and cleanup. Spill kits are located at receiving areas. Sewage lift station: • Station is inspected per Operation and Chemistry rounds. Storage Areas: • No materials that could impact storm water are stored in exterior areas. Parking areas: • Employees are trained to promptly report and respond to spills. Page 41 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 6 -Storm Water Outfall SW006 Rna e 42 inch Reinforced Concrete Pipe N 350 37' 38" W 780 57' 13" 4 ea 26 acres s 65 Drainage Area Description: Drainage Area 6 includes the Water Treatment Building, the Paint Shop, the Chemical Warehouse, the Mobile Equipment Area, a portion of the Service Building, a portion of the Bulk Warehouse, the Neutralization Basin, the Settling Basin, small gasoline, diesel fuel and used oil storage tanks at various locations, the Oil/Water Separator and adjacent 1,000 gallon used oil collection tank, service transformers, three sewage lift stations,an 8,315 gallon sulfuric acid storage tank, a solid waste compactor, paved roads, gravel-surfaced areas, external storage areas, parking areas, and grassed areas. Certain yard drains, concrete trenches and open containments within this drainage area are routed into the 10,000 gallon capacity Oil/Water Separator. The Oil/Water Separator discharges clean water to Neutralization Basin. Storm water runoff from this drainage area discharges into a retention pond equipped with an inverted siphon that discharges into an open ditch. The ditch eventually discharges into an arm of Harris Reservoir south of the plant. Industrial Activities: Various chemicals and potential storm water pollutants are delivered and handled at the Water Treatment Building, Bulk Warehouse and Chemical Warehouse. Hazardous materials, paints, used oils and chemicals are stored, handled and shipped at the Paint Shop. The Oil/Water Separator receives inflow from various areas of the plant and stores collected oil in an adjacent 1,000 gallon tank. Gasoline and diesel fuel is delivered by tanker truck and stored in various small tanks. Used oil is loaded into tanker trucks from various tanks for off-site disposal. The Neutralization and Settling Basins treat wastewater. Acid is delivered by tanker truck to the sulfuric acid tank. Service transformers provide power to various buildings. Solid waste is compacted in the trash compactor. The sewage lift stations pumps raw sewage to the Wastewater Treatment Plant. Miscellaneous inert materials are stored in external yard areas. Employee personal vehicles and company vehicles park on the paved and gravel parking areas. Significant Materials and Potential Pollutants: Water Treatment Building: Various water treatment chemicals. Bulk Warehouse: Various chemicals and other potential storm water pollutants. Chemical Warehouse: Various chemicals and other potential storm water pollutants. Paint Shop: Used oil, hydrazine, acids, caustics, chemistry lab materials, emptied paint and aerosol cans, and other chemicals. Gasoline, diesel fuel and used oil storage tanks: Gasoline, diesel fuel and used oil. Mobile Equipment Area: Used oil and diesel fuel. Sulfuric acid storage tank: Sulfuric acid. Oil/Water Separator and adjacent 1,000 gallon used oil collection tank: Used oil. Neutralization and Settling Basins: Untreated wastewater. Parking areas: Oils, gasoline and diesel fuel. Page 42 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 BMP Summary: Water Treatment Building, Bulk Warehouse and Chemical Warehouse: • Plant procedures are followed regarding storage and handling of all oils, chemicals and materials. • Personnel are trained in spill containment and cleanup. Spill kits are located at receiving areas. • No materials that could impact storm water are stored in exterior areas. • The 220 gallon diesel fuel and gasoline tanks near the Chemical Warehouse are within a common metal containment bin. Paint Shop: • Plant procedures are followed regarding storage and handling of all oils, chemicals and materials. • All oils and other materials that could impact storm water are stored on a covered concrete containment. • The two 220 gallon used oil storage tanks are located within metal containment bins. • Chemicals are stored inside storage cabinets. • Floor drains in the area discharge into the Oil/Water Separator. • Personnel are trained in spill containment and cleanup. Spill kits are located at the shop. Other tanks: • A 1,000 gallon temporary diesel fuel storage tank west of the Reactor Building is within a flexible containment liner. • The 8,315 gallon sulfuric acid storage tank is within a concrete containment with an open drain to a sump that pumps to the Neutralization Basin. • Plant procedures are followed regarding unloading of acid and diesel fuel. Mobile Equipment Area: • The 4,000 gallon and 2,000 gallon used oil tanks are within a common concrete containment. • The 220 gallon diesel fuel and 220 gallon used oil tanks are within a common concrete containment. • Plant procedures are followed regarding loading and unloading of all oils and fuels. • Personnel are trained in spill containment and cleanup. Spill kits are located at the shop. Oil/Water Separator: • The Oil/Water Separator and adjacent 1,000 gallon used oil collection tank are located within a concrete containment with manually operated drain valve. Containment contents are manually drained back to the Oil/Water Separator. • Plant procedures are followed regarding loading of used oil into tankers for off-site disposal. Neutralization and Settling Basins: • The basins are inspected daily. Storage Areas: • No materials that could impact storm water are stored in exterior areas. Parking areas: • Employees are trained to promptly report and respond to spills. Page 43 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 7- Storm Water Outfall SW007 Conveyance 60" Reinforced Concrete Pipe Coordinates N 350 37'45" W 780 57'28" Drainage Area 45 acres % Impervious 20 % Drainage Area Description: Drainage Area 7 includes the two 110,000 gallon Auxiliary Boiler Fuel Oil Storage Tanks, the Gas Storage Yard, the Sewage Treatment Plant, a portion of the Security Training Facility, the Flex Building, two service transformers, solid waste and recycling containers, paved roads and parking areas, and grassed and wooded areas. Most of this drainage area is vegetated, non- industrial use. Storm water runoff from this drainage area discharges to the south into the Emergency Service Water Intake Canal Industrial Activities: The two Auxiliary Boiler Fuel Oil Storage Tanks are filled by tanker truck, and associated aboveground fuel oil piping delivers fuel oil to the Auxiliary Boiler and other plant processes. Nitrogen and hydrogen gasses are stored in tanks at the Gas Storage Yard. Raw sewage is pumped from various plant lift stations to the Sewage Treatment Plant for treatment using aerobic and anaerobic processes and various water treatment chemicals. Firearms training is conducted at the Security Training Facility. Emergency equipment is routinely tested for functionality on the gravel-surfaced yard outside of the Flex Building. Service transformers provides power to the Sewage Treatment Plant and other buildings. Employee personal vehicles and company vehicles park on the paved parking areas. Significant Materials and Potential Pollutants: Auxiliary Boiler Fuel Oil Storage Tanks: Diesel fuel. Sewage Treatment Plant: Raw sewage, sodium carbonate, sodium hypochlorite, sodium hydroxide, and water treatment polymers. Security Training Facility: Lead from expended ammunition. Service transformers: Mineral oil. Flex Building: Oils and fuels in equipment being tested outside the building. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Auxiliary Boiler Fuel Oil Storage Tanks: • The fuel oil storage tanks are located within concrete containments with manually operated drain valves. Containment contents are manually drained to the Oil/Water Separator. • Aboveground fuel oil piping is located in yard areas or within concrete trenches that drain into yard drains that discharge into the Oil/Water Separator. • Tanker unloading operations are conducted on a concrete containment pad equipped with open drains to the Oil/Water Separator. • Plant procedures are followed regarding unloading diesel fuel. Sewage Treatment Plant: • Chemicals tanks are within concrete containments or are stored in totes inside metal buildings with concrete floors • The plant is inspected daily. Page 44 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Flex Building: Personnel are trained in spill containment and cleanup. Spill kits are located at the building. Security Training Facility • Ammunition usage is tracked and lead is routinely harvested from the soil. • The soil pH is maintained within a range to prevent the lead from becoming soluble. • The transformer is inspected daily. Service transformers: • Transformers are inspected daily. Parking areas: • Employees are trained to promptly report and respond to spills. Page 45 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 8- Storm Water Outfall SW008 Conveyance 42" Reinforced Concrete Pipe Coordinates N 350 38' 08" W 780 57' 34" Draina a Area 10 acres % Impervious 50 % Drainage Area Description: Drainage Area 8 includes the Generator Rewind Building, a legacy storm water detention pond, paved roads, gravel-surfaced areas, external storage areas, parking areas, and grassed areas. Storm water runoff from this drainage area discharges to the north into the Service Water Discharge Canal. Industrial Activities: Various chemicals and potential storm water pollutants are delivered and handled at the Generator Rewind Building. Inert materials are stored in external storage areas. Cranes and other company vehicles park on the parking areas. Significant Materials and Potential Pollutants: Generator Rewind Building: Various chemicals and other potential storm water pollutants. Parking areas: Oils, gasoline and diesel fuel. BMP Summary: Generator Rewind Building: • Plant procedures are followed regarding storage and handling of all oils, chemicals and materials. • Personnel are trained in spill containment and cleanup. Spill kits are located at receiving areas. • No materials that could impact storm water are stored in exterior areas. Storage Areas: • No materials that could impact storm water are stored in exterior areas. Parking areas: • Employees are trained to promptly report and respond to spills. Page 46 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 9- Storm Water Outfall SW009 Conveyance 42" Reinforced Concrete Pipe Coordinates N 350 38' 07" W 780 57' 31" Drainage Area 9 acres % Impervious 70 % Drainage Area Description: Drainage Area 9 includes the tanker unloading station and fuel forwarding pumps for the two Emergency Diesel Generator underground fuel oil storage tanks, a service transformer, paved roads, gravel-surfaced areas, external storage areas, and grassed areas. Storm water runoff from this drainage area discharges into the Service Water Discharge Canal. Industrial Activities: Tanker trucks unload into the two Emergency Diesel Generator underground fuel oil storage tanks. Fuel oil is pumped from the tanks to the Diesel Generator Building. A service transformer provides power for maintenance and testing activities. Company vehicles and freight trucks use the access roads. Significant Materials and Potential Pollutants: Tanker unloading station and fuel forwarding pumps: Fuel oil. Service transformers: Mineral oil. Access roads: Oils, gasoline and diesel fuel. BMP Summary: Tanker unloading station and fuel forwarding pumps: • Tanker unloading and pumps are within a curbed concrete containment apron with open drain to the Oil/Water Separator. • Plant procedures are followed regarding tanker unloading operations. • Personnel are trained in spill containment and cleanup. Spill kits are located at the tanker unloading station Shelter for chemical treatment totes: • Totes are within plastic containments under shelter. Service transformer: • Transformer is inspected daily. Storage Areas: • No materials that could impact storm water are stored in exterior areas. Access roads: • Employees are trained to promptly report and respond to spills. Page 47 of 88 STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area 10 Conveyance Overland flow Coordinates N 350 38' 06" W 780 57' 50" Drainage Area 7 acres % Impervious 20 % Drainage Area Description: Drainage Area 10 is located west of Drainage Area 7 and includes a portion of the Security Training Facility, a service transformer, a sewage lift station, a trash dumpster, paved parking areas, and grassed and wooded areas. Most of this drainage area is vegetated, non-industrial use. Storm water runoff from this drainage area discharges via overland flow along the Emergency Service Water Intake Canal. Industrial Activities: Firearms training is conducted at the Security Training Facility. The sewage lift stations pump raw sewage to the Wastewater Treatment Plant. The service transformer provides power to the Security Training Facility. Trash is collected in the dumpster. Employee personal vehicles and company vehicles park on the paved parking areas. Significant Materials and Potential Pollutants: Security Training Facility: Lead from expended ammunition, mineral oil in service transformer. Sewage lift station: Raw sewage overflow. Trash dumpster: Miscellaneous trash. Parking areas: Oils, gasoline and diesel fuel in vehicles. BMP Summary: Security Training Facility • Ammunition usage is tracked and lead is routinely harvested from the installed backstops. • The soil pH is maintained within a range to prevent the lead from becoming soluble. • The service transformer is inspected daily. Sewage lift station: • Station is inspected per Operation and Chemistry rounds. Parking areas: • Employees are trained to promptly report and respond to spills. Page 48 of 88 i STORM WATER POLLUTION PREVENTION PLAN Revsion 5 May 2020 Drainage Area A Conveyance Overland flow into ditch Coordinates N 350 38' 26" W 780 57' 15" Drainage Area 5 acres % Impervious 0 % Drainage Area Description: Drainage Area A is located north of Drainage Area 1 and is comprised of non-industrial use grassed areas. Storm water runoff from this drainage area discharges through a ditch into Harris Reservoir north of the causeway. Industrial Activities: None. Significant Materials and Potential Pollutants: None. BMP Summary: Not applicable. Drainage Area B Conveyance Overland flow into ditch Coordinates N 350 38' 06" W 780 57' 50" Drainage Area 28 acres % Impervious 4 % Drainage Area Description: Drainage Area B is located north of Drainage Area 7 and includes two facility maintenance storage buildings, gravel-surfaced roads, paved and gravel-surfaced external storage areas, and grassed and wooded areas. Most of this drainage area is vegetated, non-industrial use. Storm water runoff from this drainage area discharges through a ditch into the Service Water Discharge Canal. Industrial Activities: Cranes, equipment, and inert materials are stored in external storage areas. Significant Materials and Potential Pollutants: Storage areas: Sand and gravel; oils, gasoline and diesel fuel in vehicles and equipment. BMP Summary: Parking and storage areas: • No materials that could impact storm water are stored in exterior areas. • Employees are trained to promptly report and respond to spills. Page 49 of 88