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HomeMy WebLinkAboutNC0005762_Correspondence_20230810DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 ROY COOPER Governor ELIZABETH S. BISER Secretary RICHARD E. ROGERS, JR. Director Mr. Mark Ward, CEcD, MEDP Economic Development Director Scotland County 517 Peden Street Laurinburg, NC 28352 Dear Mr. Ward: NORTH CAROLINA Environmental Quality 7/10/2023 Subject: Speculative Effluent Limits Wagram WWTP NPDES Permit No. NC0005762 Scotland County Lumber River Basin W.K. Dickson submitted a speculative limits request on behalf of Scotland County on May 4, 2023. Scotland County is considering converting an Industrial Process & Commercial Wastewater Discharge into a Municipal Wastewater Discharge with an existing discharge to the Lumber River. Speculative limits were requested for a flow of 1.2 MGD. Prior to any facility system treatment unit(s) final closure, the Division will require an approved facility closure plan. The plan will need to specify treatment unit(s) closure processes, ensuring all contents of any affected unit(s) are removed and disposed of properly. All system(s) and unit(s) taken off-line must be closed out per Division policies as reflected in Attachment 2 herein. Please note that compliance with all permit conditions is required including monitoring until such time as written approval is obtained from the Division or a modified permit is issued. Receiving Stream. The Lumber River is located within the Lumber River Basin. The Lumber River has a stream classification of WS-IV, B HQW Sw, and waters with this classification are used as sources of water supply for drinking, culinary, or food processing purposes as well as for aquatic life propagation and maintenance of biological integrity, wildlife, secondary recreation and agriculture. The USGS responded to an updated low flow request with the following revised flows: the Lumber River at the point of interest has a drainage area of 353 sq mi, a summer (annual) 7Q10 flow of 62 cfs, a winter 7Q10 flow of 153 cfs, a 30Q2 flow of 137 cfs, and an annual average flow (AAF) of 427 cfs. The Lumber River at the outfall locations [stream segment 14-(4), from City of Smithfield water supply intake to a point 1.4 miles downstream of Gar Gut] is not currently listed as an impaired waterbody on the 2022 North Carolina 303(d) Impaired Waters List. Based upon a review of information available from the North Carolina Natural Heritage Program Online Map Viewer, there are no Federally Listed threatened or endangered aquatic species identified within a 5-mile radius of the proposed discharge location. If there are any identified threatened/endangered species, it is recommended North Carolina Department of Environmental Quality I Division of Water Resources 512 North Salisbury Street 1 1617 Mail Service Center I Raleigh, North Carolina 27699-1617 Moan caaouNn 919.707.9000 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 that the applicant discuss the proposed project with the US Fish and Wildlife Service to determine whether the proposed discharge location might impact such species. Speculative Effluent Limits. Based on the materials provided, NPDES concludes that a discharge of 1.2 MGD should include the following permit limits (in Table 1). A complete evaluation of these limits and monitoring requirements for metals and other toxicants, as well as potential instream monitoring requirements, will be addressed upon receipt of a complete NPDES permit application. NPDES Permit Application. All EPA applications below have been updated. As of February 1, 2020, please discard any previous versions and use the updated forms linked in this letter. Tips for filling out the new application forms can be found here. If you completed an application prior to February 1, 2020, please complete this form and attach it as an addendum to your application. As required by Session Law 2018-5, Senate Bill 99, Section 13.1(r), every applicant shall now submit documentation of any additional pollutants for which there are certified methods with the permit application if their discharge is anticipated. The list of pollutants may be found in 40 CFR Part 136, which is incorporated by reference. If there are additional pollutants with certified methods to be reported, please submit the Chemical Addendum to NPDES Application table with your application and, if applicable, list the selected certified analytical method used. If there are no additional pollutants to report, this form is not required to be included with your application. This requirement applies to all NPDES facilities. The Chemical Addendum to NPDES Application will be required for any type of facility with an NPDES permit, depending on whether those types of pollutants are found in your wastewater. Please be sure to include all information pertaining to Fluorinated Chemicals (e.g., PFAS, et al) and 1,4-Dioxane and specify if these groups are believed present or believed absent. Provide all information available to you at the time you complete Form 2A. If you do not have information to respond to an item because your facility has yet to discharge, write or type "data are not available" next to the item on the form. Note that you are required to submit actual data no later than 24 months after your facility commences discharge. TABLE 1. Speculative Limits for Wagram WWTP (1.2 MGD discharge) EFFLUENT CHARACTERISTICS EFFLUENT LIMITS Monthly Average Weekly Average Daily Maximum Flow 1.2 MGD BOD5, 20°C — Summer' 10.0 mg/L 15.0 mg/L BOD5, 20°C - Winter' 20.0 mg/L 30.0 mg/L Dissolved Oxygen (DO) (minimum) Daily average > 5.0 mg/l TSS 30.0 mg/L 45.0 mg/L NH3 as N - Summer' 27.0 mg/L 35.0 mg/L NH3 as N - Winter' Monitor & Report Monitor & Report Total Nitrogen Monitor & Report2 Total Phosphorus Monitor & Report2 Total Residual Chlorine 28 ug/L Fecal coliform (geometric mean) 200/100 mL 400/100 mL Chronic Toxicity Pass/Fail (Quarterly test) 2.9% ' Summer: April 1 — October 31 *Winter: November 1 — March 31 2 Frequency to be determined. REQ5 North Carolina Department ofEnvironmental Quality I Division ofWater Resources 512 North Salisbury Street 1 1617 Mail Service Center I Raleigh, North Carolina 27699-1611 NORTH CAROLINA 919.707.9000 onparhnem of EmironmanW 9uallly DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 BOD Limits. The Division evaluates expanding discharges using a Level B model intended to assess protection of the water quality standard for dissolved oxygen. The model used by the Division did not predict instream dissolved oxygen below the water quality standard of 5.0 mg/1 under the flow scenario. In accordance with 15A NCAC 02B .0404 (c), the winter oxygen -consuming wasteload allocation shall not exceed two times the summer oxygen -consuming wasteload limitations nor shall it be less restrictive than minimum treatment requirements. NH3 Limits. In accordance with 15A NCAC 2B.0206, the following streamflows are used for dilution considerations for development of WQBELs: 1 Q 10 streamflow (acute Aquatic Life); 7Q 10 streamflow (chronic Aquatic Life; non -carcinogen HH); 30Q2 streamflow (aesthetics); annual average flow (carcinogen, HH). Limitations for ammonia are based on protection of aquatic life utilizing an Ammonia chronic criterion of 1.0 mg/1(summer) and 1.8 mg/l (winter). For municipals the Acute Ammonia limit (Weekly Average) is derived by multiplying the Chronic limit (Monthly Average limit) multiplied by 3 with a cap at 3 5. 0 mg/L. In accordance with 15A NCAC 02B .0404 (c), the winter oxygen -consuming wasteload allocation shall not exceed two times the summer oxygen -consuming wasteload limitations nor shall it be less restrictive than minimum treatment requirements. Engineering Alternatives Analysis (EAA). As a new municipal system with a NPDES permit, a limited alternative analysis must be submitted to justify the requested design flow. A copy of the Division guidance for preparing EAA documents is attached and/or can be found online at: https://files.nc. gov/ncdeq/Surface%20Water%2OProtection/NPDES/permits/eaa-guidance-20140501- dwr-swp-npdes_ 13 .pd£ State Environmental Policy Act (SEPA) EA/EIS Requirements. A SEPA EA/EIS document may be required for projects that: 1) involve $10 Million or more of state funds; or 2) will significantly and permanently impact 10 or more acres of public lands. Please check with the DWR SEPA coordinator (David Wainwright, 919-707-9045) as to whether your project requires SEPA review. For projects that are subject to SEPA, the EAA requirements discussed above will need to be folded into the SEPA document. If required, a FONSI must be issued prior to issuance of the NPDES permit for the expansion. Details related to FONSI can be found on-line at: htlps://deq.nc.gov/permits-regulations/sepa/review-process and at: https://deq.nc. gov/about/divisions/water-infrastructure/documents/cdbgi-fonsiea We understand this project is moving forward, however, we would expect that any request for NPDES permitting action for the expansion at either flow noted be taken within a five-year period from the date of this letter, or the noted speculative limits in Table 1 would be subject to reassessment and review. Should you have any questions about these speculative limits or NPDES permitting requirements, please feel free to contact Kristin Litzenberger at (919) 707-3699 / kistin.litzenberger(c�r�,ncdenr.gov or Michael Montebello at Michael.Montebellokncdenr.gov. Respectfully, DocuSigned by, LL �� E l t khlA (,10h C464531431644FE... Michael Montebello NPDES Program Branch Chief Attachments: Link to EAA Guidance Document, Chemical Addendum Form, and NPDES application information: hitps:Hdeg.nc.,gov/about/divisions/water-resources/water-qualiiy_pemutting/npdes-wastewater/npdes-permitting-process/npdes- individual-permit-applications Lagoon Closure Form ec: NPDES Files [Laserfiche] W.K. Dickson / David Bennett, P.E. [dbennett@wkdickson.com]; Stephanie Clay [sclay@wkdickson.com] RE�`y� North Carolina Department of Environmental Quality I Division of Water Resources r/ 512 North Salisbury Street 1 1617 Mail Service Center I Raleigh, North Carolina 27699-1611 NORTH CAROLINA 919.707.9000 onparhnem of EmironmanW 9uallly DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 DWR / Doug Dowden [doug.dowden@deq.nc.gov]; Derek Denard [derek.denard@deq.nc.gov]; Kristin Litzenberger [Kristin.litzenberger@deq. nc. gov] Fayetteville Regional Office / Mark Brantley [mark.brantley@deq.nc.gov] cc: Trent Allen [trent.allen@deq.nc.gov] NC WRC / Gabriela Garrison [gabriela.garrison@ncwildlife.org] US FWS / Sara Ward [sara ward@fws.gov] REQ5 North Carolina Department ofEnvironmental Quality I Division ofWater Resources 512 North Salisbury Street 1 1617 Mail Service Center I Raleigh, North Carolina 27699-1611 NORTH CAROLINA 919.707.9000 onparhnem of EmironmanW 9uallly DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 A � �Mja NCDENR North Carolina Department of Environment and Natural Resources Division of Water Quality Beverly Eaves Perdue Charles Wakild, P. E. Dee Freeman Governor Director Secretary June 22, 20I2 TO MITI•TIZI►1 u TO: Aquifer Protection Section Staff Interested Parties FROM: Ted L. Bush, Jr., Deputy Direct Division of Water Quality SUBJECT: Guidelines for the Closure o fmittedWastewater Ponds and Lagoons Purpose The purpose of these guidelines is to provide a course of action for the closure of permitted Non -Discharge wastewater treatment ponds, storage ponds, or lagoons. According to G.S. 143-215.1, construction and operation of any sewer system, treatment works or disposal system within the state of North Carolina requires a permit. 15A NCAC 2T .01050) requires that waste treatment systems (or parts thereof, such as lagoons, storage ponds, etc.) authorized by a permit must be properly closed before that permit (or parts thereof) can become inactive. These guidelines provide clarification as to what "properly closed" entails. While each structure must be considered for its unique circumstances, the Aquifer Protection Section (APS) has outlined general procedures (attached) to be used for closure of wastewater treatment ponds and lagoons permitted by the Section. These guidelines are not intended to address lagoons used for animal waste and their associated facilities, or ponds used for the storage of coal combustion by-products, However, it is the intent of APS to require similar close out procedures for comparable scenarios in coordination with other permitting agencies such as the Surface Water Protection, or other interested parties. These guidelines supersede Guidelines for the Closure of Treatment Ponds and Lagoons implemented August 18, 2003. Closure Approval The closure of a Non -Discharge permitted wastewater treatment or storage pond or lagoon should begin with notification by the permittee to the APS. This should include a request to close a specific permitted pond or lagoon, and an indication whether the permit should be modified or rescinded. APS will make available the attached closure checklist/ guidelines to the permittee, who should propose a closure plan based on the attached guidelines. This closure plan should generally include or describe the following (see next page): 1617 Mail Service (enter, Ra#ei h. North Carolina 27699.1617 Location: 512 N. Salisbury St. Raleigh, North Carolina 27604 Phone: 919-807-63001 FAX: 919-807-6492 Internet: www.ncwateMuality.org NorthCarolina naturally An Equal Opporlunily ! Affirmative Action Employer DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 Guidelines for the Closure of Permitted Wastewater Treatment Storage Ponds and Lagoons • Checklist with chosen options and requirements indicated (Attachment A, page A-1) • Historical use of impoundment (include all waste streams) and current status • Future plan for site • Disposal options for wastewater • Disposal options for sludge • Sludge disposal location(s) • Sampling plan for wastewater and/or sludge Once the permittee submits their closure plan, a preliminary inspection will be conducted and an inspection report with additional closure instructions (if needed) will be presented to the permittee. The permittee will then submit a final closure report documenting their closure procedure. The final closure report may include the following: • Sampling results • Volume of sludge disposed and location • Companies/Contractors involved • Final Certifications The Regional Office will conduct a final inspection and present the results of that inspection to the permittee, along with their recommendation to the APS Central Office for approval or disapproval of a permit modification or rescission. Applicable Regulations Regulations that may be applicable to the abandonment of Non -Discharge permitted ponds and lagoons are listed below. These guidelines do not go into the detailed requirements of the regulation listed. However, each bullet summarizes how the regulation may be applicable to the action requested. Title 15A NCAC 2L, Classifications and Water Quality Standards Applicable To The Groundwaters of North Carolina. This regulation requires that groundwaters must be protected to a level of quality at least as high as that required under standards established in Section .0202 of that Rule. Title 15A NCAC 2T, Waste Not Discharged to Surface Waters. This rule establishes requirements that are protective of surface water and groundwater standards for systems that treat, store, transport, and dispose of residuals and do not discharge waste to surface waters. Other pertinent standards and regulations may be found in the Department of Environmental and Natural Resources (DENR) Division of Land Resources (DLR) regulations pertaining to Sedimentation and Erosion Control and Dam Safety, the DENR Division of Waste Management (DWM) regulations pertaining to the disposal of wastes and sludge, and the Department of Transportation (DOT) regulations pertaining to transportation of materials on public highways. cc: Surface Water Protection (Matt Matthews) Attachments A. Checklist and Instruction Items B. Flow Charts Page 2 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 ATTACHMENT A DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 ATTACHMENT A CLOSURE OF PERMITTED WASTEWATER PONDS AND LAGOONS Checklist and Instruction Items The purpose of the following checklist and instruction items is to aid in the development of a closure plan for a permitted Non -Discharge wastewater pond or lagoon to be submitted to the appropriate APS Regional office for approval. The following checklist allows the applicant to identify the type of lagoon to be closed, and the preferred closure and disposal options. The selected options include references to instruction items (e.g. Item A) found on subsequent pages of this attachment. The instruction items describe what steps are expected to be complete prior to approval of the closure plan, including expected sampling and monitoring, and final certifications of complete closure. Note that the following steps are not all inclusive, as each site is unique and may have varying site conditions. In addition, flowcharts (Attachment B) have been provided as an alternate to the instructional Items A- H. These charts contain the same information, but give a visual representation of the closure process. For questions, contact the approving APS Regional Supervisor. Please check all items below that apply and submit a completed copy with the lagoon closure plan. Type of Pond or Lagoon System a. Primary and Secondary Biological Wastewater Lagoon Systems (examples: food processing treatment lagoons, municipal treatment systems without pretreatment programs, neighborhood treatment systems). b. Primary and Secondary Industrial Wastewater Lagoon Systems(examples: non-food type industrial treatment systems, municipal treatment systems with pretreatment program). c. Tertiary Wastewater Pond Systems ( examples: wastewater biological treatment systems with tertiary treatment to include infiltration disposal pond systems, effluent polishing pond systems). II. Closure Options — Structure a. Conversion to Non -Wastewater Pond — Change of Use (Item B) b. Complete or partial removal of structure (Items G) c. Site Reclamation (Item F and H) Ill. Final Liquid and Solid Content Disposal Options a. Wastewater Disposal to Onsite Permitted Field (Item A) b. Wastewater Disposal through Pump and Haul (Item A) c. Sludge Disposal to Permitted Site (Items C and D) d. Sludge Left in Place (Items C and E) IV. Sampling and Monitoring Requirements a. Wastewater Sampling Required (Items A and B) b. Soil and Sludge Sampling Required (Items C and F) c. Groundwater Monitoring Required (Item G) V. Final Certification Required for Closure Activities, as required in Item 1. a. Structural Deconstruction (Professional Engineer or Hydrogeologist) b. Wastewater Disposal (Facility ORC) C. Sludge Disposal (ORC / Licensed Sludge Land Application Contractor) d. Other (Explain: A-1 Attachment A June 22, 2012 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 ATTACHMENT A CLOSURE OF PERMITTED WASTEWATER PONDS AND LAGOONS Item A. Wastewater Sampling, Analysis, and Disposal 1. Pond samples require a composite sampling technique. Samples should be composited from several locations. An adequate number of representative and composite samples should be taken and developed respectively. 2. For permitted disposal sites, sample and analyze wastewater in accordance with permit conditions. In the absence of permit specified monitoring, sample for the following parameters: a. Fecal coliform bacteria, chlorine residuals (if used as disinfectant), total nitrogen, BOD5, TSS, pH. b. Other parameters may be required based on waste streams, as directed by the APS Regional Supervisor. 3. All wastewater samples must be analyzed by a DWQ-certified laboratory. 4. Once the wastewater is sampled, the pond/lagoon can be dewatered to a permitted disposal site (uniform application of wastewater) or through a pump and haul permit. 5. Remove or plug all inflow and outflow piping, etc to the pond/lagoon Item B. Conversion to Non -Wastewater Pond (Tertiary Treatment Ponds Only) 6. Determine pond liquid volume (if water accumulates after complete disposal per Item A, Wastewater Sampling, Analysis, and Disposal). 7. If some sludge remains, sludge can be left in place, in accordance with Item E#23 below. Otherwise, remove all residuals and dispose of properly per Item D, Sludge and Soil Disposal. S. Disinfect and/or treat pond to meet Item B#11 requirements below. 9. Sample pond (see Item A, Wastewater Sampling, Analysis, and Disposal) 10. No pond discharge is allowed to surface water without prior approval from an appropriate Surface Water Section Regional Office. Note that pond discharge to class SA waters is not allowable. 11. All discharges must meet water quality standards applicable to receiving stream classification or per limits provided by DWQ when water quality stream standards for monitored parameters are not defined. Item C. Soil and Sludge Analysis sis 12. All soil and sludge samples require a composite sampling technique. An adequate number of representative and composite samples should be taken and developed respectively. Thickness of sludge or soil and surface acreage should be considered. Example: one composite sample per acre foot. 13. All soil and sludge samples must be analyzed by a DWQ-certified laboratory. 14. For biological wastewater lagoons systems and tertiary wastewater pond systems, soil or sludge shall be sampled for: a. Pathogen and Vector Attraction Reductions. Testing should be done per 15A NCAC 02T .1100. If project concerns only a tertiary pond, and pond sediments/sludge meets Class A pathogen reduction requirements (maximum of 1000 fecal coliform bacteria colonies per gram of total solids), additional characterization for pH, metals, nutrients, and solids as stated in 14.b and 14.c (below) may not be required, as determined on a case by case basis. b. Arsenic, cadmium, chromium, copper, lead, mercury, molybdenum, nickel, selenium, zinc, TKN, ammonia nitrogen, nitrate/nitrite, nitrogen, phosphorus, sodium, calcium, magnesium (mg/kg dry wt basis), percent total solids and pH. c. Other parameters may be required based on waste streams, as directed by the APS Regional Supervisor. A-2 Attachment A June 22, 2012 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 ATTACHMENT A CLOSURE OF PERMITTED WASTEWATER PONDS AND LAGOONS 15. For industrial wastewater lagoon systems, this should be the same as biological wastewater lagoon system sampling plus site -specific parameters and hazardous characterization to include, but not limited to, TCLP, ignitability, corrosivity and reactivity. 16. If the sludge or soil samples are: a. Required to be analyzed for hazardous characteristics and results exceed hazardous characteristics regulatory Iimits, the material needs to be removed and reported to and managed in accordance with the Hazardous Waste Section in the Division of Waste Management. b. Not required to be analyzed for hazardous characteristics or results do not exceed the hazardous characteristics regulatory limits, the soil can be left in place if the following conditions are met i. Total concentrations of contaminants in soil do not exceed protection of groundwater soil concentrations for North Carolina based on 2L standards, as calculated using thefransport Model for Calculation of Soil -to -Groundwater Concentrations from the USEPA 1996 Soil Screening Guidance document. (The EPA Transport model can be found in the "Soil Remediation Goals Table" at h :1l ortal.ncdenr,or web/wm/sf/ihs/ihs uide or the "2L, MCL, and Soil Screening Levels Table" at http:l/portal. nedenr.orWwe b/wm/hw/tech n ical/guidance. ) ii. Total concentrations of contaminants in the soil exceed protection of groundwater soil concentrations for North Carolina, but results do not exceed naturally -occurring background concentrations, iii. A more stringent soil clean-up level is not necessary due to site specific conditions as determined by the Division. For sludge left in place, see Item E, Sludge Left in Place. For sludge disposal, see Item D, Sludge and Soil Disposal. c. Not required to be analyzed for hazardous characteristics or results do not exceed hazardous characteristics regulatory limits, but total concentration results exceed corresponding protection of groundwater soil concentrations for North Carolina as calculated using the Transport Model from the USEPA 1996 Soil Screening Guidance document described in 16(b)(i), soil and sludge must be disposed of according to Item D, Sludge and Soil Disposal. For soils that exceed protection of groundwater levels, Item G, Groundwater Post Closure Monitoring, must also be considered. 17. For ponds or lagoon bottoms that intercept groundwater, Regional Offices will determine what type of sampling is required for the remaining contents on a case by case basis. Item D. Sludge and Soil Disposal 18. Measure surface area and depth of sludge and soil (if required) to determine disposal volume 19. Sample sludge and soil (if required) for permitted disposal option including pathogen and vector attraction reduction verification (see Item C, Soil and Sludge Analysis) 20. If a tertiary pond and sludge/sediments meet Class A pathogen and vector attraction reduction requirements, sludge/sediments can be land applied uniformly on site without sludge permitting action (additional sludge or soil characterization may not be required, as determined on a case by case basis). 21. If sludge or soil does not meet Class A pathogen and vector attraction reduction requirements, sludge/sediments may require a permit modification to land apply. 22. Pathogen and vector attraction reduction testing will not be required if sludge or soil is taken to a permitted compost or another treatment facility for further stabilization. A-3 Attachment A June 22, 2012 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 ATTACHMENT A CLOSURE OF PERMITTED WASTEWATER PONDS AND LAGOONS Item E. Slud a Left in Place 23. For closure purposes, the Division of Water Quality considers it practical to remove sludge content from structures. The Division will evaluate the applicability of leaving any remaining volume of sludge content in the structure on a case by case basis. Sufficient technical justification shall be provided to support such recommendation. Item F. Liner Demolition/Disposal 24. If a synthetic liner is present, remove synthetic liner, scarify/rip/disk underlying material in cases where there is no potential benefit for reuse of the structure based on projected future site use. a. If there are no historical problems with the lagoon (documented seepage, etc.) and the liner is intact after dewatering with no visible indications of seepage, soil sampling may still. be required on a case -by -case basis. b. If liner and/or lagoon issues are documented, the soil material under the synthetic liner should be sampled according to Item C, Soil and Sludge Analysis. 25. If clay liner is present, scarify/rip/disk and/or remove and reuse as cap if filling. If the liner is natural clay, sampling may be required on a case by case basis if the following conditions are not met: a. Based on existing groundwater monitoring data, no groundwater violations are present, b. Domestic wastewater systems only, c. Surficial layer of earthen material (top 6" — 12") removed , and d. All sludge removed and the remaining material is only soil and not co -mingled soil/sludge. 26. If the clay liner does not meet the conditions in 425 above, the clay liner should be sampled according to Item C, Soil and Sludge Analysis. 27. If a pond or lagoon does not have a liner, the underlying soil should be sampled according to Item C, Soil and Sludge Analysis. Item G. Groundwater Post Closure Monitorin 28. For facilities with no historic groundwater monitoring, monitoring may be required based on post closure soil sample results. Contact Regional Office for directions. If groundwater monitoring is not required, permittee can petition the Division for rescission once the site is reclaimed. 29. For ponds or lagoons with historic groundwater monitoring and no groundwater violations were detected, no further groundwater monitoring will be required, as recommended by the Regional Office based on existing data. 30. For ponds or lagoons with historic groundwater monitoring and/or 15A NCAC 2L standards were exceeded, the following actions would be required: a. Maintain permit with limited actions as recommended by the Regional Office (e.g. annual groundwater monitoring and reporting). b. Continue groundwater monitoring as permitted for a minimum of three sampling events. i. If there are no further groundwater exceedances detected or exceedances show a trend of lowering toward groundwater standards, the permittee could petition the Division for permit rescission. ii. If groundwater exceedances continue at the same level, continued monitoring and or site evaluation would be required at the Regional Office Supervisor's discretion. c. In lieu of groundwater monitoring, the Permittee may provide predictive calculations, acceptable to the Director, to demonstrate groundwater standards can be met at the property boundary. A-4 Attachment A June 22, 2012 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 ATTACHMENT A CLOSURE OF PERMITTED WASTEWATER PONDS AND LAGOONS Item H. Berms/Laeoon Walls and Site Reclamation* 31. In cases where retention of municipal structures provides no value based on projected future site use, it is recommended that minimal demolition be performed to breach or remove sidewalk (dependent on the size) when the liner is demolished. Minimal demolition may be considered feasible in cases where retention of the structure or a portion thereof poses minimal risks based on conditions such as low population densities of surrounding areas, low hazard environment, low probability of encroaching development, etc. 32. For privately owned and higher risk municipal structures, more extensive structure demolition is recommended to include, but not be limited to, removal of berms/dike walls and general grading of project site. 33. If structure is completely constructed at or below grade, fill with clean material (partial or complete, depending on size) and/or grade site to minimize any hazards posed by existing conditions. 34. If structure is finished in the groundwater table, see Item C # 17. 35. Stabilize the site with vegetation. Establishment of trees, grasses, and other viable cover crops should be considered to assist site stabilization and with removing any remaining nutrients. *Recognize the added value of planned reclamation efforts. Reclamation activities incorporating created artificial wetland systems, planted trees, and other pro -active actions viewed as either mitigation efforts or secondary environmental protection measures may assist with enabling the closure project to qualify for recognition and benefit from other environmental programs, such as those offered through conservation easements. Item I. Final Certifications 36. For deconstruction including berm removal, berm breaching, or liner destruction, submit a letter certified by the overseeing professional engineer that action was taken according to the approved plan, as well as all local and state regulations. 37. For wastewater disposal, submit a copy of the monitoring report that documents lagoon wastewater disposal activities, certified by the facility ORC. 38. For sludge disposal, submit a copy of the records documenting lagoon sludge disposal, certified by the licensed sludge land application contractor if land applied. If sludge was disposed of in a landfill, records from the receiving facility shall be provided. 39. SampIing results from any post -closure sampling conducted at the facility to document proper removal of sludge in accordance with the approved closure plan shall be submitted. 40. Photos of closure activities documenting conditions prior to initiating closure, closure activities, and post - closure conditions are recommended, but not required. U 41. Other. A-5 Attachment A June 22, 2012 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 ATTACHMENT B The following flowcharts are a visual alternate to the information provided in instructional Items A-H in Attachment A. The checklist provided in Attachment A must still be completed, whether the Instruction Items or flowcharts are used. Final certification requirements are only found in Item I in Attachment A. DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 Attachment B — Closure of Permitted Wastewater Ponds and Lagoons Flow Chart 1 — Wastewater Sampling and Disposal' START HERE Does the site Sample lagoon wastewater in have permit YES specific accordance with the permit monitoring? > conditions. NO Using an adequate number of representative composite samples, test for fecal coliform bacteria, chlorine residuals (if used as disinfectant), total nitrogen, BOD5, TSS, and pH. Other parameters may be required by Regional Office based on waste streams. Samples should be composited from several locations. All samples must be analyzed by a DWQ- certified laboratory. Dewater pond/lagoon to permitted disposal site or through a pump and haul permit issued by DWQ. Remove or plug all inflow and outflow piping. If water accumulates after disposal, determine pond liquid volume and disinfect/treat pond (if necessary) to meet If you have a water quality standards applicable to tertiary pond, YES receiving stream classification or per limits do you want to provided by DWQ when water quality convert to non- stream standards for monitored wastewater? parameters are not defined. Sample as in previous step. END If sludge remains, proceed to Flow Chart 2 — Sludge NO Analvsis and Disoosal. Does sludge YES Proceed to Flow Chart 2 — Sludge Analysis remain? and Disposal. NO Proceed to Flow Chart 3 — Liner Demolition and Disposal. 'No pond discharge is allowed to surface water without prior approval from an appropriate Surface Water Section Regional Office. All discharges must meet water quality standards applicable to receiving stream classification or per limits provided by the Division of water Quality when water quality standards for monitored parameters are not defined. Pond discharges to class SA waters is NOT allowable. Attachment B1 June 22, 2012 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 y C O O 6f J V 46 � y y '0 o C CL O y a L M = 3 1d ma Yl 10 PCa` C � co CL U) O N N � ov v 3 m LL .L,. mJ� a G L' N #� I Q 0 W L Q E CL Va E 3A °a dG0311 gf�cwLLO _ 520ED •� cl . U CL C m J za IA LU N r .`W.. V r. � a C C �-E >a°_'aG mE ~ n m Z d O U W O crn y V 2 a71 AO 6 F '0 = w C U# O q !VO m -- a L �'Hm'�aaCL R •�,��S�a En'O-rn�Vr ocmQ06a m T a ~i N J N C W m 0# 0 C `c- Q€ y€y c ICI v ° s a c woe �LiVm a '3 � �E�uuB O N W 3 .22 E 71L O O V !L L-------------------------------------------------- --------- W� I } { 1 i i n E E I �»_°� mm Sza� E�E1 1 Z E > = c g w m o E y N C C E « •o 1 m c yEm0ti, E'�$'t1E $ m j o e°ii L a `� 0 d E E �. ~ m aF����SEmd"2 mSIM i c ca Oo i4 Way' cL n I 1 U mE oe�tc E'N'e �.m.QZ HrcS aW 3 W C N ol Uf E O .m-+ yy 9 = E N a E 12 E� i3o� �Nm7�t E E S S ma m $ m po = (p1} 8 , •� ~ n- E W G N Ej N (p O Oe ow - m W v ' N IOC�Waaa UO COm]a �.- SEE-,mEQ�ao v5QW U d= v' C 4V a y wO C•E�y m�L �LYG cJim ~'S 4Z �yy_g yay E� g-Tj my C QN �p N as sl E H C O. V C ptp } e C •`mLL' N "� V G E ul G m = W d° E' 'm s dEua L_p _ E c N 1n U m ID in m.�4 U ei m= z a W--4nvs O v° z GO t SLYWN N GNO C E a DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 Attachment B — Closure of Permitted Wastewater Ponds and Lagoons Flow Chart 3 -- Liner Demolition and Disposal' CONTINUED FROM FLOWCHART 1 —WASTEWATER SAMPLING, ANALYSIS, AND DISPOSAL OR FLOWCHART 2 —SLUDGE ANALYSIS AND DISPOSAL What type of liner is present? Clay Liner No Liner Synthetic Liner Remove liner, Scadfylripl disk and/or Soli sampling P g is scarify/rip/ disk remove and reuse as required. underlying material in cap if filling. Proceed to Flow cases where there is no Chart 4. potential benefit for reuse of the structure based on projected future site use. Are all of the following true? a. Groundwater sampling has been documented and no groundwater violations are Soil sampling is required. NO YES Historical present. Proceed to Flow Chart 4 — problems or b. The system is Soil Analysis and damaged domestic waste Disposal. liner? water only. c. The surficial layer of earthen material was removed. NO d. No residuals remain. u Soil sampling may be required on a case -by -case basis. Proceed to Flow Chart 6 — Groundwater Post Closure Monitoring. YES Proceed to Flow Chart 6 — Sits Reclamation. ' For closure purposes, the DWQ considers it practical to remove sludge content from structures. DWQ will evaluate the applicability of leaving any remaining volume of sludge content in the structure on a case -by -case basis. Suffrclent technicaijustification shall be provided to support recommendation. Attachment 83 June 22, 2012 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 z .i C Q �c�ctU 3.3 Ci .V. ev o f3 E� ° 'Ucyoa�o tv 9.2 r $a,$ O "d S N ®® N G<C m _o Z c~ �a N I I I 1 I 1 I I I I I r l 1 z +O' O �g 3 r� hp� IGLU 3rV v c Ugg +.e o �'�V« saw a ySao O LL m c O« rnQe o IL m m d l7 � U I ----- ---------- L -------------- ------ I L� E 9 3 c 3 o � < m Z Rg _ 7 01 NQ u�j N m O WC 01 "ZI m m E W O ry E p O. S E E�yw�E gsf '�b'�o y o�� Zanc O E E.c ^gin p N Vi LL a 7 Y W W Q C >? G G N (j m e�E'a'EaW i� W N m fl p Cg.. yyn E ? yEG ap3 d mG y� �sW' N=OT 'uC- !>� jE _•�- � ' C C m C .. C d 8 W `m v c c c EEmESLmap Um i 915zc YZ LNp'{rp] N O VE , � L E a� C� 4� pyj c Y V C ? N C N2a,ea Ev3Fr-4 ao�-�m3N E c'q m �' m3°o o '•mS mm vvNEfl3ccNEOOa m c; a ag a a m m 3 a o. f03 E S° W E u$ m O Gca�Ey Z,� ro NStizc3 Wa�s0E,G W•in Z �"r 0,` 2 m y W< t m V Y — r3 acf -E' m= u E"EF-cn.�E WCL c��paIL S N IV DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 Attachment B — Closure of Permitted Wastewater Ponds and Lagoons Flow Chart 5 — Groundwater Post Closure Monitoring CONTINUED FROM FLOW CHART 2 — SLUDGE ANALYSIS AND DISPOSAL, FLOW CHART 3 — LINER DEMOLITION AND DISPOSAL, OR FLOWCHART 4 —SOIL ANALYSIS AND DISPOSAL Has there NO Is groundwater NO been historic monitoring Proceed to Flow Chart 6 — groundwater required? Site Reclamation. monitoring? YES YES Contact DWQ Regional Office to approve well locations before installation. Sampling of wells indicate NO No further groundwater monitoring groundwater is required. Proceed to Flow violations? Chart 6—Site Reclamation. YES Maintain permit with limited actions. In lieu of groundwater monitoring, predictive calculations, Continue groundwater monitoring as acceptable to the Director, can be submitted to demonstrate permitted for minimum of three groundwater standards can be met at the property sampling events. boundary. Proceed to Flow Chart 6 — Site Reclamation. ZAfterimum of mpling events, are groundwater NO Proceed to Flow Chart 6 — Site violations detected Reclamation. orexceedances \not showing a lowering trend? YES Continue monitoring on a schedule set by DWQ Regional Office Supervisor. Attachment 1135 June 22, 2012 DocuSign Envelope ID: 86A34CB9-29EB-44AE-946F-3C48924DCF71 Attachment B — Closure of Permitted Wastewater Ponds and Lagoons Flow Chart 6 — Site Reclamation' CONTINUED FROM FLOW CHART 3 — LINER DEMOLITION AND DISPOSAL OR FLOW CHART 5 — GROUNDWATER POST CLOSURE MONITORING Berms/Lagoon Wall52 YES Is the structure privately owned or high risk municipal? NO Is the structure completely constructed at or below grade? NO Is the structure finished in the groundwater table? YES Contact DWO Regional Office to determine what type of sampling will be required. Then, proceed to appropriate Flow Chart. Recommended more extensive structure demolition (e.g. removal of berms/dike walls, general grading, etc.). Stabilize the site with vegetation, END YES J Fill with clean material and/or grade site. Stabilize the site with vegetation. END Recognize the added value of planned reclamation efforts. Reclamation activities incorporating created artificial wetland systems, planted trees, and other pro- active actions viewed as either mitigation efforts or secondary environmental protection measures may assist with enabling the closure project to qualify far recognition and benefit from other environmental programs, such as those offered through conservation easements. 2 In cases where retention of municipal structures provides no value based on projected future site use, it is recommended that minimal demolition be performed to breach or remove sidewalls (dependent on the size) when the liner is demolished. Minimal demolition may be considered feasible in cases where retention of the structure or a portion thereof poses minimal risks based on conditions such as low population densities of surrounding areas, low hazard environment low probability of encroaching development etc. Attachment B6 June 22, 2012