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HomeMy WebLinkAboutNCS000290_Annual Report_20221207 i UNITED STATES MARINE CORPS MARINE CORPS INSTALLATIONS EAST-MARINE CORPS BASE PSC BOX 20005 CAMP LEJEUNE NO 28542-0005 5090.20 G-F/BEMD , DEC 0 7 2022 Mr. Isaiah Reed NC Department of Environmental Quality Division of Energy Mineral and Land Resources Land Quality Section 2090 U.S. 70 Highway Swannanoa, NC 28778-8211 i Dear Mr. Reed: In accordance with Permit number NC5000290 Marine Corps Installations East-Marine Corps Base Camp Lejeune (MCIEAST-MCB CAMLEJ) forwards the required Phase II Stormwater Annual Report. Enclosure (1) contains a Program Implementation Matrix of each permit condition and their current status. In addition, MCIEAST-MCB CAMLEJ is required to complete analytical and qualitative monitoring at specified locations around the installation. All 104 required visual observation locations have been inspected semi-annually as required. No significant or non-compliant observations were noted during these inspections. The analytical sampling has not been completed for this reporting period. The analytical sampling requires having the measurable sample captured within one hour from the beginning of a rain event. This has not been feasible due to the lack of rain in the local weather and rain events occurring outside of working hours or on holidays. Enclosures (2) through (8) are the Discharge Monitoring Report (DMR) forms for each analytical monitoring point documenting NO FLOW. If you have any questions or need any clarification of the information provided, please contact Mr. Connor Musial, Environmental Compliance Branch, Environmental Management Division, at (910) 450-5806 or at connor.musial@usmc.mil. S n ereleEnviron R A .E.Directorntal ManagementBy direc the Commanding General Enclosures: 1. MCIEAST-MCB CAMLEJ Phase II Stormwater Annual Report Program Implementation Matrix 2 . Analytical DMR OAS-005 3 . Analytical DMR OAS-018 4. Analytical DMR OFC-003 5. Analytical DMR OHP-004 6. Analytical DMR OHP-008 7. Analytical DMR OTC-003 8 . Analytical DMR OWC-001 A. MCIEAST-MCB CAMLEJ Phase II Stormwater Annual Report Program Implementation Matrix B. PUBLIC EDUCATION AND OUTREACH:The objectives of this NPDES permit requirement are to share educational materials,promote educational opportunities for the base-wide community,conduct outreach activities on the impacts of stormwater pollutants and discharges to water bodies,and inform base occu ants on how hey can reduce pollutants in stormwater runoff and properly dispose of waste. BMP DEADLINE IMPLEMENTATION a. Annual 2022 MCIEAST-MCB CAMLEJ developed and distributes computer-based stormwater assessment training that includes knowledge assessments.The training and assessments are administered at the unit-level.Results of the knowledge assessments are submitted to EMD by each unit. This information is used by EMD to evaluate the effectiveness of the training material. • In addition,MCIEAST-MCB CAMLEJ assesses the effectiveness of its public education and outreach efforts by tracking. b. Provide 2026 . MCIEAST-MCB CAMLEJ previously identified the following three high priority educational community-wide issues: information • 1.Solid Waste Disposal-improper use of solid waste dumpsters(e.g.,throwing and/or outreach away bulky/improper wastes such as furniture). • 2.Spill Identification&Response Procedures-some instances where base personnel are not following the proper chain-of-command and/or following documented procedures. • 3.Construction Related Pollutants-some instances where construction activities release pollutants such as sediment and construction trash/debris to the environment.EMD distributes a contractor handbook to all base contractors that discusses proper controls for construction related pollutants. Planned Actions:Within the current permit term,MCIEAST-MCB CAMLEJ will add all three items to the EM101 training module to emphasize their importance. MCIEAST-MCB CAMLEJ has developed computer-based educational materials for distribution to its target audiences.These educational materials cover stormwater quality topics at MCIEAST-MCB CAMLEJ including: •Specific pollutants •Pollutant sources •Environmental impacts of stor awater pollution •Residential and industrial/commercial stormwater issues. Stormwater information pamphlets are distributed to all new on-base residents via Atlantic Marine Corps Communities(AMCC).Computer-based residential stormwater educational material has been developed for distribution to targeted audiences at MCIEAST-MCB CAMLEJ. Planned Actions:within the permit term,MCIEAST-MCB CAMLEJ EMD personnel will begin performing in-person education regarding various stormwater issues(i.e., community outreach in educational settings). Planned Actions:within the permit term,MCIEAST-MCB CAMLEJ will add a list of impaired waters,as well as maps of each impaired water and likely causes of each impairment to the stormwater informational website. c. Informational 2026 MCIEAST-MCB CAMLEJ developed and maintains the following informational website stormwater website: Completed • https://www.lejeune.marines.mfl/Offices-Staff/Environmental- 2022 Mgmt/StormwaterMgmt/ d. Stormwater 2026 • The following contact information for trained MCIEAST-MCB CAMLEJ EMD hotline stormwater personnel is provided on the informational stormwater website: Completed • Tel:910-451-8039(Stormwater Hotline) 2022 • Email:cijn_stormwater@usmc.mil Enciosuce e19 C. Public Involvement and Participation:The objective of this NPDES permit requirement is to engage the public, provide and promote volunteer opportunities for the base-wide community,provide opportunities for feedback on thestormwaterprogram,and encourage more vigilant protection of MCIEAST-MCB CAMLE 's receiving waters. BMP DEADLINE IMPLEMENTATION a. Public review and 2026 Planned Actions:MCIEAST-MCB CAMLEJ will promote public comment on the involvement and make the SWMP available for review via media outlets SWMP. and the stormwater website. b. Mechanism for public 2026 . In addition to participation in public events and coordination of involvement. volunteer opportunities,MCIEAST-MCB CAMLEJ's existing informational stormwater website includes the following information that provide opportunities for public involvement: . Tel:910-451-8039(Stormwater Hotline) . Email:cl'n stormwater@usmc.mil c. Volunteer community 2026 MCIEAST-MCB CAMLEJ has established and offers the following involvement program volunteer opportunities(usually around Earth Day): •"No Dumping"storm drain marking program with the Boy Scouts and through an intern program •Splash for Trash(river cleanup event) •Beach Sweeps d. Maintain 2026 . The following contact information for trained MCIEAST-MCB CAMLEJ hotline/helpline EMD stormwater personnel is provided on the informational stormwater Completed website: 2022 Tel:910-451-8039(Stormwater Hotline) • Email:din stormwater@usmc.mil D. Illicit Discharge Detection and Elimination(IDDE):The objectives of this NPDES permit requirement are to establish a form 'd discharge tectio an -eh atio. ,IDDE togram in accordance with 40 CFR 122.34(b)(3);g BMP DEADLINE IMPLEMENTATION a. Stormwater mapping 2026 . MCIEAST-MCB CAMLEJ established and maintains a stormwater geodatabase that Completed resides on the Integrated Geographic Information 2022 Repository(IGIR).The geodatabase includes all required mapping components and is updated regularly by base ersonnel andgovernment contractors. b. Regulatory mechanism for legal 2023 . Planned Actions:within the current permit term,a authority MCIEAST-MCB CAMLEJ Order (MCIEST-MCB CAMLEJO)will be established that will provide authority to prohibit,detect,and eliminate illicit connections and discharges,illegal dumping,and spills into the MS4 to include enforcement procedures and actions). c. Maintain and implement a 2026 MCIEAST-MCB CAMLEJ updated the base wide SWOMP written IDDE Plan to detect in September 2021 in preparation for the new five-year and address illicit discharges, Completed permit term.This SWOMP includes procedures and illegal dumping,spills,and any 2022 requirements for conducting visual inspections at all non-stormwater discharges stormwater outfalls receiving flow from regulated industrial identified as significant activities,which are considered priority areas likely to have contributors to pollutants to illicit discharges.These outfalls also receive flow from the MS4. multiple commercial/residential areas.The SWOMP also includes procedures and requirements for representative analytical monitoring at select outfalls. d. Maintain and implement a 2026 The MCIEAST-MCB CAMLEJ EMD-ECB implements a Dry written IDDE Plan to detect Weather Detection Program and address illicit discharges, Completed that includes written procedures for identifying and illegal dumping,spills,and any 2022 removing the sources of illicit discharges.All observed dry non-stormwater discharges weather flows are traced upstream by field personnel,then identified as significant eliminated if determ ned to be an illicit discharge.In contributors to pollutants to addition,ECB conducts semiannual inspections at each SDO the MS4(continued). that receives stormwater runoff from regulated industrial activity as part of the SWOMP. ECB also distributes a printed"Turnover Binder"to all ECB employees that details required procedures for dry weather investigations and includes a decision tree for actions to take if a dry weather flow is detected ECE inspectors investigate and document all illicit discharges observed during inspections or reported to them. MCIEAST-MCB CAMLEJ will annually evaluate and assess the effectiveness of the IDDE program as part of the mandatory annual assessment discussed in Section 4.3 Measurable Goals for Program Administration). e. Tracking and documenting 2026 • Observed illicit discharges are documented by ECB illicit discharges,illicit inspectors(typically during semiannual ECEs).The connections,and/or illegal Completed MCIEAST-MCB CAMLEJ SWPPP and ECB"Turnover dumping 2022 Binder"include written procedures for illicit discharge source investigations,follow-up investigations,and documentation of these efforts. • ECB utilizes the eSWPPP database for all tracking and documentation of each illicit discharge,illicit connection, and/or illegal dumping event.Documentation includes date(s)reported/observed,the results of the investigation, any follow-up investigation,the date the investigation was closed,and the issuance of enforcement actions.The eSWPPP database can be easily queried to identify chronic violators. f. IDDE training 2026 • MCIEAST-MCB CAMLEJ provides spill prevention, control,and countermeasure Completed (SPCC)and illicit discharge training to all personnel who, 2022 as part of their normal job responsibilities,may contact HW/HM/POLs. • Targeted personnel include: • 1.Unit-level HW/HM/POL coordinators • 2.Environmental Compliance Officers (ECOs)&r Environmental Compliance Coordinators (ECCs) • 3.All ECB Staff g. Mechanism for public and 2026 • The following contact information for reporting illicit MCIEAST-MCB CAMLEJ discharges to MCIEAST-MCB CAMLEJ EMD stormwater personnel to report illicit Completed personnel is provided on the informational stormwater discharges. 2022 website: • Tel:910-451-8039(Stormwater Hotline) • Email:clin stormwater@usmc.mil • 911 h. Sanitary sewer overflow(SSO) 2026 • MCIEAST-MCB CAMLEJ established and maintains a SSO/ identification and reporting wastewater spills database and written procedures for identifying and reporting SSOs and sewer leaks to the sanitary sewer system operator(the MCIEAST-MCB CAMLEJ PWD Utilities Branch). These written procedures are included in MCIEAST-MCB CAMLEJ's Spill Response Decision Tree for Hazardous Material/Hazardous Waste/POLs.Air Releases,Wastewater and Drinking Water Response Actions(provided as Appendix B to this SWMP). This document is reviewed regularly by EMD and PWD ersonnel and u dated as necess E. Construction Site Runoff Controls:The MCIEAST-MCB CAMLEJ NPDES permit requires the implementation of erosion and sediment control(E&SC)practices for any land-disturbing activity for the duration of the activity, ti uffie en ound cover can b..established' o,rgven_t erosion, , _-ti _ , BMP DEADLINE IMPLEMENTATION a. Include procedures for public input,to 2023 • Camp Lejeune's Public Works Department(PWD) ensure compliance,requirements for implements an E&SC program that complies with the construction site operators to NC Sediment Pollution Control Act of 1973 and Chapter implement erosion and sediment 4 of NCAC Title 15A.E&SC plans are submitted control practices,site plan reviews, through PWD engineers for in-house review. procedures for site inspection and Stormwater personnel conduct ESC inspections of sites enforcement. Establish requirements greater than or equal to 1 acre of land disturbance in for construction site operators to accordance with NCDENR guidelines. control waste that may cause adverse impacts to water quality. b. Provide a means for the public to notify 2026 The stormwater hotline was developed in May of 2013. any observed erosion and sedimentation The phone number is 910-451-8039. problems. Completed . An email was created strictly for stormwater 2013 correspondence,questions and complaints. The address is clinstormwater@mcw.usmc.mil F. Post-Construction Site Runoff Controls:NC DEQ notified MCIEAST-MCB CAMLEJ(via memorandum dated IS February 2021)that"Department of Defense(DoD)MS4s that do not already review,approve,and enforce post- construction permit applications within their own jurisdictions are required to develop and implement a post- ,.construction program by October 1,2023." _ am BMP DEADLINE IMPLEMENTATION a. Notify NC DEQ of the specific PC 2021 MCIEAST-MCB CAMLEJ submitted a letter to NC Stormwater Program it will DEQ in December 2021 providing notice that MCIEAST- implement. Completed MCB CAMLEJ will develop and implement its own PC 2021 Stormwater Program using DoD personnel employed at MCIEAST-MCB CAMLEJ to administer all post- construction program requirements b. Establish local authority to review, 2022 A MCIEAST-MCB CAMLEJO and associated standard approve,and enforce the PC operating procedures(SOPS)will be developed to Stormwater Completed establish local authority to review,approve,and enforce Program. 2022 the PC Stormwater Program at MCIEAST-MCB CAMLEJ.It is anticipated that two SOPS will be developed:the first outlining PWD roles and responsibilities,and the second outlining EMD roles and responsibilities. The MCIEAST-MCB CAMLEJO and SOPS will identify stormwater management program personnel,roles and responsibilities,non-compliance corrective actions,and associated processes.The MCIEAST-MCB CAMLEJO and SOPS will be submitted to NC DEQ for approval, prior to final issuance. c. Implement the full PC Stormwater 2023 • MCIEAST-MCB CAMLEJ will fully implement a PC Program Stormwater Program prior to the 1 October 2023 deadline. G. Pollution Prevention and Good Housekeeping:The objectives of this NPDES ermit requirement ace o develo a O&M program to prevent or reduce:'` 'd stormwater runoff. :- BMP DEADLINE IMPLEMENTATION a. Facilities O&M 2026 Appendix C of MCIEAST-MCB CAMLEJ's SWPPP contains an program. inventory of regulated industrial facilities with the potential for Completed generating polluted stormwater runoff.The SWPPP provides 2022 O&M procedures for these facilities. • In addition,MCIEAST-MCB CAMLEJ ECB maintains an inventory of all facilities and operations with the potential for generating polluted stormwater runoff through the ECE program. The ECE program covers facilities that include HW/HM/POLs, medical waste,aboveground storage tanks,underground storage tanks,oil/water separators,air emission sources,and/or landfills. Each facility subject to the ECE program is inspected annually at a minimum.The results of all ECE inspections are documented in an electronic database.Based on the results of the ECE inspections, ECB mandates corrective actions and maintenance,as needed,and provides follow-up inspections.Personnel at each facility subject to the ECE program are trained as indicated in Section 5.3(Illicit Discharge Detection and Elimination). • Routine maintenance and any additional required maintenance are managed using CMMS and PWD project process. b. Spill response 2026 • MCIEAST-MCB CAMLEJ established and maintains an SPCC procedures for facilities Plan and a Facility Response Plan that are both frequently updated and operations with the Completed and apply base-wide.In addition,facilities that generate or handle potential for generating 2022 HW/HM/POLs maintain site-specific spill contingency plans.The polluted stormwater spill contingency plans are updated periodically and are inspected runoff during the routine ECEs conducted by ECB. c. MS4 O&rM program 2026 . Training:MCIEAST-MCB CAMLEJ has developed computer- based SWPPP training that is distributed to personnel involved in Completed implementing stormwater pollution prevention and good 2022 housekeeping practices.The following personnel are required to complete this training: • 1.Unit-level HW/HWPOL coordinators • 2.ECCs&ECOs • 3.All ECB staff • MS4 Inspections/Maintenance:MCIFAST-MCB CAMLEJ has initiated a base-wide stormwater conveyance assessment program. This program is expected to be implemented in annual phases.By the end of the permit term,MCIEAST-MCB CAMLEJ will visually evaluate the condition of the entire base-wide stormwater system. Corrective actions will be implemented annually based on the findings of the conveyance system assessments. d. SCM O&M program 2026 • MCIFAST-MCB CAMLEJ's ECB conducts,at a minimum,semi- annual inspections of all structural SCM's and maintains a Completed database of the inspection results. 2022 • MCIEAST-MCB CAMLEJ performs additional maintenance on the structural components of the MS4 on an as needed basis.When additional maintenance is required,PWD procures funding and awards contracts for the completion of the maintenance. • For development or redevelopment projects that require an NPDES permit,MCIEAST-MCB CAMLEJ signs O&M agreements to inspect and maintain the SCM s associated with those projects. e. Pesticide,herbicide,and 2026 • MCIFAST-MCB CAMLEJ's Integrated Pest Management Plan fertilizer management addresses the use of pesticides,herbicides,and fertilizers used by program Completed MCIEAST-MCB CAMLEJ personnel or contractors including 2022 approval of chemicals;records and reporting;training, certifications,and licensing;regulatory compliance;and health, safety,and environmental considerations. I. Vehicle and equipment 2026 • MCIEAST-MCB CAMLEJ's SWPPP details the vehicle and maintenance program equipment maintenance program at regulated industrial facilities. Completed The SWPPP includes training methods and frequencies and 2022 inspection requirements(including schedules and required documentation). • In addition to the SWPPP program,MCIEAST-MCB CAMLEJ has developed an Environmental Compliance&Protection Standard Operating Procedure(ECSOP)that restricts vehicle and equipment washing to designated wash racks equipped with devices such as OWSs or wash water reuse systems. Conducts sediment removal using vacuum trucks on the MCASNR flight line contracts landscaping services that include seasonal leafpick-up g. Pavement management 2026 Pavement management program goals are met by the following program actions/approaches: 1.MCIEAST-MCB CAMLEJ inspects base parking lots associated with facilities and operations with the potential to generate polluted stormwater runoff during routine ECFs.Additionally, approximately two to three days per week,parking lot inspections are conducted by ECB staff. Inspections are documented and corrective actions are taken as needed. • 2.MCIEAST-MCB CAMLEJ PWD maintains a street sweeping program that covers approximately 40 miles of paved roadway. Construction sites are required to be cleaned with street sweepers as needed,based on regular inspections by ECB. • 3.MCIEAST-MCB CAMLEJ conducts sediment removal using vacuum trucks on the MCAS New River flight line(approximately 200 acres of paved surface area). • 4.MCIEAST-MCB CAMLEJ contracts landscaping services that include seasonal leaf pick-up.Grass clippings are also collected during all mowing activities. • 5.MCIEAST-MCB CAMLEJ implements analytical and visual stormwater monitoring to evaluate the effectiveness of its overall stormwater program. 6.Post-construction runoff controls are required for all newly constructed roadways and parking lots. • 7.Stormwater inlets are cleaned on an as needed basis by the base maintenance contractor via CMMS. Industrial Activities:The objective of this NPDES permit requirement is to protect MCIEAST-MCB CAMLEJ' ,.receivin streams and watercourses from adverse water quality impacts resulting from chemical spit s and/or.` {•'stormwater runoff from facilities engaging in regulated industrial activit . BMP DEADLINE IMPLEMENTATION a. Inventory of vehicle 2026 • MCIEAST-MCB CAMLEJ's current SWPPP addresses the maintenance and air requirements of the"Industrial Activities"portion of the NPDES transportation facilities Completed permit.The SWPPP includes the following: 72022 •NPDES permit requirements with respect to regulated industrial activity at MCIEAST-MCB CAMLEJ •Reporting and recordkeeping requirements •Organization and responsibilities of the Stormwater Pollution Prevention Committee •SWPPP field assessments •SWPPP mapping •Inventories of facilities engaging in regulated industrial activities and known potential pollutant sources and illicit discharges •Existing and recommended structural and non-structural BMPs • The SWPPP is reviewed annually and updated as necessary. b. SWPPP MCIEAST-MCB CAMLEJ has developed mapping and database software(referred to as eSWPPP)that aids in the maintenance of the SWPPP. c. SWOMP • MCIEAST-MCB CAMLEJ submitted an updated base-wide monitoring plan(i.e.,the SWOMP)to NC DEQ in October 2021. d. Analytical monitoring The SWOMP targets analytical monitoring efforts at stormwater data and outfalls considered most likely to cause or contribute to water annual reporting quality degradation based on an analysis of activities within the drainage areas. • MCIEAST-MCB CAMLEJ will annually submit all analytical monitoring data as indicated in the SWOMP. 1. Oil Water Separators:The objective of this NPDES permit requirement is to protect MCIEAST-MCB CAMLEJ's receiving streams and watercourses from adverse water quality impacts resulting from the accidental release:of HW/HM/POLs from OWSs to the MS4 or to waters of the state. BMP DEADLINE IMPLEMENTATION a. Enhance water 2026 Planned Actions:MCIEAST-MCB CAMLEJ will continue to evaluate quality recovery strategies to enhance water quality within each impaired watershed. strategies These efforts will be described in each annual report. b. Existing TMDL 2026 . Planned Actions:MCIEAST-MCB CAMLEJ will continue to evaluate WI-As strategies to enhance water quality within each impaired watershed. Completed These efforts will be described in each annual report. 2022 c. Future TMDLs 2026 . Annual reports will be updated as necessary if any new TMDLs are established within the MCIEAST-MCB CAMLEJ watershed during the Completed permit term. 2022 EFFLUENT NPDES PERMIT NO. NCS000290 DISCHARGE NO._OAS-005 MONTH YEAR 2022 I FACILITY NAME MCIEAST-MCB CAMLEI CLASS COUNTY ONSLOW CERTIFIED LABORATORY(1) MCB CAMLEI Laboratoy Section CERTIFICATION NO. 222 (list additional laboratories on the backside/page 2 of this form) OPERATOR IN RESPONSIBLE CHARGE(ORC) Connor Musial GRADE CERTIFICATION NO. _ PERSON(S)COLLECTING SAMPLES Connor Musial ORC PHONE (910)450-5806 CHECK BOX IF ORC HAS CHANGED FIR NO FLOW/DISCHARGE FROM SITE• r Mail ORIGINAL and ONE COPY to:ATTN:CENTRAL FILES a ZO( Va%) ZC ZZ DIVISION OF WATER RESOURCES (SIGNATURE OF OPERATOR IN RESPONSIBLE CHARGE) DATE 1617 MAIL SERVICE CENTER BY THIS SIGNATURE,I CERTIFY THAT THIS REPORT IS RALEIGH, NC 27699-1617 ACCURATE AND COMPLETE TO THE BEST OFAIY KNOWLEDGE. 50050 00010 1 00400 500060 00310 00610 00530 31616 L00300 00600 00665 F". E FLOW w ¢Z p yt ENTER PARAMETER CODE ABOVE 8 EFf ❑ m 0 a a w J G ¢ w 2 J W NAME AND UNITS BELOW tr7 D s T) INF ❑ <� HJ C) Zf7 QZ QO JW o Q-(-5 �QOO g N ¢ a Sm � O NO > K O V -1 O y00 a q yp Z O 0 C¢ H divN"tion M 6 HRS HRS V/B/N %IGD C UNITS UG/L AIG/L AIG/L MGA. N/100\IL AIG/L AIGA, MG/L 1 3 4 5 6 7 8 9 10 11 t2 13 14 IS 16 17 18 19 20 21 22 23 24 25 26 27 29 29 30 31 AVERAGE MAXIMUM MINM Cump.(Q IT.6(G) Mw thly Limit i DWR Form MR 1 (08/05) i I EFFLUENT I NPDES PERMIT NO. NCSOOM90 DISCHARGE NO._OAS-018 MONTH YEAR 2022 FACILITY NAME MCIEAST-MCB CAMLEJ CLASS_COUNTY ONSLOW i CERTIFIED LABORATORY(1) MCB CAMLEJ Laboraloy Section CERTIFICATION NO. 227 (list additional laboratories on the backside/page 2 of this form) OPERATOR IN RESPONSIBLE CHARGE(ORC) Connor Musial GRADE CERTIFICATION NO. . PERSON(S)COLLECTING SAMPLES Connor Musial ORC PHONE (910)450-5906 CHECK BOX IF ORC HAS CHANCED NO FLOW/DISCHARGE FROM SITE" FX Mail ORIGINAL and ONE COPY to: ATTN:CENTRAL FILES 7- DIVISION OF WATER RESOURCES (SIGNATURE OF OPERATOR IN RESPONSIBLE CHARGE) DATE 1617 MAIL SERVICE CENTER BY THIS SIGNATURE,I CERTIFY THAT THIS REPORT IS j RALEIGH, NC 27699-1617 ACCURATE AND COMPLETE TOTHE BESTOFMY KNOWLEDGE. € 50050 00010 00400 50060 00310 00610 1 00530 31616 00300 00600 00665 F y E FLOW w 2 p m ENTER PARAMETER CODE ABOVE $ EFF ❑ j y O¢ S W .4 W s W 2 m NAME AND UNITS BELOW E 8 —7 INF ❑ ¢a+ S w2 Oa 00 rW ULL 0>. f0 �x >-H fV a ¢V MN .4 �N LLp _yx of �p OO U r� ¢- V 0 Z 0 C¢ F a�i NMion = tin & HRS IIRS YB/N MCD c C UNITS UG/L MG/L MG/L MGM M/100NIL MCA- MG/L MGA, I 1 0 3 4 5 6 7 8 9 10 II 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 AVERAGE MAXIMUM 6IIN16'U."Comp.(CI/Gnb(G) Monthly Limit DWR Form MR-] (08/05) i EFFLUENT j NPDES PERMIT NO. NCS000290 DISCHARGE NO._OFC-003 MONTH YEAR 2071 j FACILITY NAME MCIEAST-MCB CAMLEJ CLASS COUNTY ONSLOW CERTIFIED LABORATORY(1) MCR CAMLEJ I ahoratoy Section CERTIFICATION NO. 222 (list additional laboratories on the backside/page 2 of this form) OPERATOR IN RESPONSIBLE CHARGE(ORC) Connor Musial GRADE._CERTIFICATION NO. PERSON(S)COLLECTING SAMPLES Connor Musial ORC PHONE (9101450-5806 CHECK BOX IF ORC HAS CHANGED rX NO FLOW/DISCHARGE FROMSITE Mail ORIGINAL and ONE COPY to: ATTN:CENTRAL FILES z DIVISION OF WATER RESOURCES (SIGNATURE OF OPERATOR IN RESPONSIBLE CHARGE) DATE 1617 MAIL SERVICE CENTER BY THIS SIGNATURE,I CERTIFY THAT THIS REPORT IS RALEIGH, NC 27699.1617 ACCURATE AND COMPLETE TO THE BEST OFAIV KNOWLEDGE. I 50050 00010 00400 5J00060 00310 006101AIG/L 31616 00300 00600 00665 t� FLOW w G Z �, EHTER PARAMETER CODE ABOVEEFF ❑ F p 0 Q W ¢ W Z W NAME AND UNRB BELOW Y Q Z >W � ,Qp ` C INF ❑ 16J a ¢V O°o �O ULLa. _ 0 so a 0 NO C cc j W GV r'� mN rH LLJ yx O Ot0 Ix tF tliilnferrton a ZV G O Z[IRS HRS VIRN AIGD ° C UNITS UG/L NIGH. AIG/LP/lOBML AIG/L AIG/L SICIL I a 3 4 5 6 7 8 9 10 tl 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 AVERAGE AIAXIMUAI Al1.NIAlUAI I Comp.(CI/Grob fGl Monthly Limit DWR Form MR-1 (08/05) f EFFLUENT NPDES PERMIT NO. NCS000190 DISCHARGE NO. OHP--004 MONTH YEAR _20,2 FACILITY NAME MCIEAST-MCB CAMLEJ CLASS COUNTY ONSLOW CERTIFIED LABORATORY(1) MCB CAMLEJ Laboratoy Section CERTIFICATION NO. 227 (list additional laboratories on the backside/page 2 of this forTn) OPERATOR IN RESPONSIBLE CHARGE(ORC) Connor Musial GRADE CERTIFICATION NO. PERSON(S)COLLECTING SAMPLES Connor Musial ORC PHONE (910)450-5806 CHECK BOX IF ORC HAS CHANGED F7X NO FLOW/DISCHARGE FROM SITE• a Mail ORIGINAL and ONE COPY to:ATTN:CENTRAL FILES x zcr Al.✓ Za Z 7— DIVISION OF WATER RESOURCES (SIGNATURE OF OPERATOR IN RESPONSIBLE CHARGE) DATE 1617 MAIL SERVICE CENTER BY THIS SIGNATURE.I CERTIFY THAT THIS REPORT IS RALEIGH, NC 27699.1617 1 ACCURATE AND COMPLETE TO THE BEST OFJIY KNO%LEDGE. 50050 00010 00400 50060 00310 00610 00530 31616 00300 1 00600 00665 FLOW w w 0 y ENTER PARAMETER CODE ABOVE S g f EFF ❑ F y 0 0 Z W O J cc j W J W ¢ NAME AND UNITS BELOW (w., g u` = INF ❑ ow 2 w= o0 00 /- W UOLL 'JO FQ-0 E 6 J F V 6 ¢U m N H �0 U-O N O O F O O 8 O J aQ w U ' a= M O Z s o xo 0 x dflorcvo� w a HRS HRS Y/B/N MGD G C UNITS UG/L MG/L NIGIL MG/L WIIA151L %IG/L MG/L NIG/L 3 4 5 6 7 8 9 10 II 12 13 14 15 16 17 18 19 20 21 22 23 24, 25 26 27 28 29 30 31 AVERAGE MAXIMUM AIINIJIU6I Comp.(C)/Grxb(G) Monthly Limit DWR Form MR-1 (08/05) closure (5) EFFLUENT i NPDES PERMIT NO. NCS000290 DISCHARGE NO._OHP-008 MONTH YEAR 2022 l FACILITY NAME MCIEAST-MCB CAMLEJ CLASS_COUNTY ONSLOW CERTIFIED LABORATORY(1) MCB CAMLFJ laboraloy Section CERTIFICATION NO. 227 (list additional laboratories on the backside/page 2 of this forni) OPERATOR IN RESPONSIBLE CHARGE(ORC) Connor Musial GRADE_CERTIFICATION NO. _ PERSON(S)COLLECTING SAMPLES Connor Musial ORC PHONE (910)450-5806 CHECK BOX IF CHIC HAS CHANGED E—x I NO FLOW/DISCHARGE FROM SITE• XO Mail ORIGINAL and ONE COPY to: ATTN:CENTRAL FILES DIVISION OF WATER RESOURCES (SIGNATURE OF OPERATOR IN RESPONSIBLE CHARGE) DATE 1617 MAIL SERVICE CENTER BY THIS SIGNATURE,I CERTIFY THAT THIS REPORT IS RALEIGH, NC 27699.1617 ACCURATE AND COMPLETE TO THE BEST OF MY KNOWLEDGE. 50050 00010 00400 50060 00310 ]00661000530 31616 00300 00600 00665FLOW 4iz(I ENTER PARAMETER CODE ABOVE EFF O ¢ W W= W ¢ NAME AND UNITS BELOW INF ❑ Q� WO OV QZ QO JW Qi7 Q0 n O JFW.. t�W A O mgj �N WD yxpo 1 'q uvton 0O GOz aHRS HRS Y/B/N MGD C UNITS UGA. MG/L MG/L 11/I00ML MG/L MG/L MGIL I 2 3 4 5 6 7 8 9 to II 12 f U ! 14 f IS 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 AVERAGE MAXIMUM MINIMUM Com .(C)/Gn6(G) Monthly Limn DWR Form MR-1(08/05) EnCIOSUM 0) EFFLUENT NPDES PERMIT NO. 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