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HomeMy WebLinkAboutNCS000101_email_20230926 Young, Brianna A From: Young, Brianna A Sent: Tuesday, September 26, 2023 9:19 AM To: Lambe, Brian; Rodak, Andrew Cc: Lawyer, Mike Subject: RE: [External] Questions regarding IPRW Stormwater permit Good morning, Please see below for responses to your questions on the recently issued permit renewal for International Paper (NCS000101): 1. The Mill requests that DEMLR clarify oil and grease requirements for all outfalls. In communications with Brianna Young, she stated that "monitoring for O&G may or may not be required from VMA areas only'which leaves some room for interpretation. The Mill believes that the only outfall that may be subject to oil and grease requirements is Outfall E,which would be representative for C& E (both contain chip dumps) and A(oil unloading). The other areas are covered, and VMA are not routinely conducted there. As stated in the response to your comments on the draft permit, monitoring and reporting for oil and grease is required if>55 gallons per month are used on average, and monitoring for Estimated Average Monthly Oil Usage is a standard monitoring requirement of all individual industrial permits and required for each drainage area with an outfall. Part D-1. (b) of the issued permit states: "In addition to the grab samples,the average monthly usage of new motor and hydraulic oil for the facility shall be tracked, recorded, and reported to the Division if it exceeds an average of 55 gallons per month over the previous twelve (12) months." 2. There are still questions about whether quantitative sampling should be required for Outfall M, as quantitative sampling has not been required for this outfall in previous permits. The Mill asked for Outfall M to be removed from the quantitative sampling list in its July 2023 comments letter on the draft permit and was denied. In addition, if Outfall M is added to the quantitative sampling list, DEMLR will be required to update the eDMR template. There is no guarantee the new eDMR template would be ready by the time the next DMR needs to be submitted. This outfall discharges runoff from a drainage area that contains a methanol AST(in containment), and the majority of runoff in the area around the tank flows into the WWT system. Any potential impacts to stormwater runoff would be from the (very unlikely) event of a catastrophic failure of a tanker truck loading event. Therefore,would the quantitative analysis still be required on that outfall,given that it is not expected to contain pollutants related to industrial activities under normal conditions? As stated in the response to your comments on the draft permit, quantitative sampling is required for Outfall M as transport of methanol and other industrial activities occurs in the drainage area.The Stormwater Program understands that the facility has SOPs in place to prevent material being tracked through the area, however, as the potential exposure exists, monitoring is required. Regarding eDMR,the Stormwater Program's internal database, which eDMR pulls from to create reports, has already been updated to have all outfalls and their appropriate monitoring requirements.The next report to be submitted should contain all required monitoring when the report is created in eDMR. 3. The Mill would like to confirm with DEMLR which outfalls they currently see falling into which Tier(1, 2, or 3). The Mill believes B, E, and I are in Tier 1 (due to relief granted for B&E during the last permit term),while Outfall T is in Tier 2. There is a reference on page S of the permit fact sheet that B and E were in Tier 2 during 1 the previous permit term;the Mill is assuming that DEMLR means that these two outfalls were in Tier 2 at some point during the permit term but is unsure of the context of this sentence. The Mill would like to understand definitively what their Tier starting point is for each outfall in the new permit. Tier"status" carries forward, i.e., monitoring frequency and any follow-up actions you started under the last permit, but the "count" of exceedances to move you into a different Tier starts over with the new permit period. Depending on when Tier Relief was granted, it may no longer be active.As stated on the issued permit cover letter, "Per the policy of the Stormwater Permitting Program,Tiered Response relief effectively ends at the new permit cycle. Conditions start over at baseline monitoring, and permittees will have to seek relief again if/when appropriate." Please work with the Wilmington Regional Office on Tiered Response and Relief actions. 4. DEMLR continues to send communications to Hunter Whiteley, as the facility owner, even the Mill has requested several times to direct communications only to the facility. (Facility staff are typically cc'ed on these communications but this is adding an unnecessary layer.) Is this a request to pose to Brianna or Brittany Cook? As stated in the response to your comments on the draft permit, when sending official permit correspondence, such as providing a newly issued permit, we must communicate with the person listed as the legally responsible official. When obtaining additional information, we may communicate with facility contacts only. I apologize for any inconvenience this may cause. 5. If the Mill is required to conduct the additional sampling listed in Items 1 and 2,the Mill would like to discuss options for sampling relief with DEMLR. You may request Representative Outfall Status (ROS) by the following: Submit the completed Representative Outfall Status (ROS) Request Form with this Stormwater Upload Form. Mail one hard copy of the form and supporting documents directly to the appropriate Regional Office. 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 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: Lambe, Brian <brian.lambe@deq.nc.gov> Sent: Monday, September 25, 2023 3:28 PM To: Rodak, Andrew<ARodak@trccompanies.com> 2 Cc:Young, Brianna A<Brianna.Young@deq.nc.gov> Subject: RE: [External] Questions regarding IPRW Stormwater permit I think these questions should be directed to central office. However,you may have my two cents. 1. Speaking to the Stephen Greer, environmental manager, during last inspection, he stated that the plant has issues with quantifying the amount of oil used in certain locations. The main issue he raised was privacy for methods, forgive my lack of terminology. He also had issues for quantifying the oil used in each drainage area. I did not have an answer for him. 2. If you would like M to be removed, please feel free to provide a map with a list of potential pollutants and how they are not impacting outfall M. 3. 1 have not reviewed the data to evaluate what tier each sampling point should be in. 4. 1 don't know the answer to the question 5. We are always open to discussing what is best for the site,the permittee, and the environment. Brian Lambe Environmental Specialist 910-796-7313 919-268-1678 cell State of North Carolina I Environmental Quality I Energy,Mineral and Land Resources 127 Cardinal Drive Extension I Wilmington,NC 28405 910 796 7215 T 1 910 350 2004 F I httn://nor[al.ncdenr.org/web/Ir, From: Rodak, Andrew<ARodak@trccompanies.com> Sent: Monday, September 25, 2023 3:05 PM To: Lambe, Brian <brian.lam be@deq.nc.gov> Subject: [External] Questions regarding IPRW Stormwater 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. Brian: I am working with IP-RW on a review of their stormwater permit renewal, and there are some items they wish to address with DEMLR, as follows: 1. The Mill requests that DEMLR clarify oil and grease requirements for all outfalls. In communications with Brianna Young, she stated that "monitoring for O&G may or may not be required from VMA areas only" which leaves some room for interpretation. The Mill believes that the only outfall that may be subject to oil and grease requirements is Outfall E, which would be representative for C & E (both contain chip dumps) and A (oil unloading). The other areas are covered, and VMA are not routinely conducted there. 2. There are still questions about whether quantitative sampling should be required for Outfall M, as quantitative sampling has not been required for this outfall in previous permits. The Mill asked for Outfall M to be removed from the quantitative sampling list in its July 2023 comments letter on the draft permit and was denied. In addition, if Outfall M is added to the quantitative sampling list, DEMLR will be required to update the eDMR template. There is no guarantee the new eDMR template would be ready by the time the next DMR needs to be submitted. This outfall discharges runoff from a drainage area that contains a methanol AST (in containment), and the majority of runoff in the area around the tank flows into the WWT system. Any potential impacts to stormwater runoff would be from the (very unlikely) event of a catastrophic failure of a tanker truck loading event. Therefore, would the quantitative analysis still be required on that outfall, given that it is not expected to contain pollutants related to industrial activities under normal conditions? 3 3. The Mill would like to confirm with DEMLR which outfalls they currently see falling into which Tier (1, 2, or 3). The Mill believes B, E, and I are in Tier 1 (due to relief granted for B &E during the last permit term), while Outfall T is in Tier 2. There is a reference on page 5 of the permit fact sheet that B and E were in Tier 2 during the previous permit term; the Mill is assuming that DEMLR means that these two outfalls were in Tier 2 at some point during the permit term but is unsure of the context of this sentence. The Mill would like to understand definitively what their Tier starting point is for each outfall in the new permit. 4. DEMLR continues to send communications to Hunter Whiteley, as the facility owner, even the Mill has requested several times to direct communications only to the facility. (Facility staff are typically cc'ed on these communications but this is adding an unnecessary layer.) Is this a request to pose to Brianna or Brittany Cook? 5. If the Mill is required to conduct the additional sampling listed in Items 1 and 2, the Mill would like to discuss options for sampling relief with DEMLR. If you would like to discuss these issues by phone, I am available. Thanks, Andrew Rodak, P.E. (NC, SC, MD, VA, GA) Senior Project Manager TIRC114 Edinburgh South Drive,Suite 200, Cary, NC 27511 O 919.827.8132 C 919.649.77691 a rod a k(cDtrccompanies.com Linkedln I Twitter Blo. I TRCcompanies.com 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. 4