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HomeMy WebLinkAboutNCS000589_Weatherspoon Stormwater Hearing Officers Report_20170131Water Resources ENVIRONMENTAL QUALITY January 31, 2017 Memorandum To: Tracy Davis Director, Division of Energy, Mineral and Land Resources (DEMLR) From: Morella Sanchez -King 01/31 I.Z013- Assistant Regional Supe iso , Division of Water Resources (DWR) ROY COOPER Governor MICHAEL S. REGAN Secretary S. JAY ZIMMERMAN Olreclor Subject: NPDES Stormwater Permit Hearing - Duke Energy Progress, LLC - W.H. Weatherspoon Plant Hearing Officer's Report and Recommendations On December 8, 2016 1 served as Hearing Officer for a public hearing on the proposed issuance of a NPDES stormwater discharge permit for the W.H. Weatherspoon Plant, a Duke Energy Progress, LLC facility in Lumberton. As Hearing Officer, my main focus was to consider the public comments received during the notice period and comments given at the public hearing in making a recommendation for final action on the draft permit. The permit under consideration and information about the hearing is included below. W.H. Weatherspoon Plant - Permit Number NCS000589: This facility is located at 491 Power Plant Road, Lumberton, NC - Robeson County. The Weatherspoon Plant is a retired coal-fired steam electric generating plant that formerly operated in Robeson County. The site was retired in 2011 and is undergoing closure. The facility has three (3) stormwater outfalls along an access road that will discharge industrial stormwater to the Lumber River and to an unnamed tributary to the Lumber River in the Lumber River Basin, once coal ash hauling begins. The hearing was held on December 8, 2016 at Robeson County Community College in Lumberton, NC. There were 22 attendees at the public hearing with 10 of these providing verbal comments at the hearing. Stormwater Program and Fayetteville Regional Office staff represented the Division of Energy, Mineral, and Land Resources (DEMLR). Duke Energy representatives were also present at the hearing. As Hearing Officer, I presented the Hearing Officer's speech at the hearing, and Bethany Georgoulias from the Stormwater Program provided an overview of the proposed permit (included in Appendix B of this report). After the overview, I opened the hearing for public comment. During the public comment period we also received two additional written comments, with one of the comment letters being from the permitee, Duke Energy. DEMLR staff have reviewed all comments and made appropriate adjustments to the final permit where warranted. Background The fact sheet for the permit outlines in more detail the basis for permit coverage and permit requirements for the facility. The facility is a former steam electric power generating facility. This industry sector is required to have NPDES permit coverage for stormwater point source discharges from the industrial activities at such facilities. The permit documents note that for a major portion of the industrial plant area and ash handling areas of the site, stormwater is collected and treated in the facility's wastewater treatment systems (cooling pond or ash pond). Those drainage areas are covered in a separate wastewater NPDES permit through the Division of Water Resources (NC0005363). For the areas covered by the stormwater permit, the major provisions of the permit are requirements for a Stormwater Pollution Prevention Plan (SPPP) for the facility, along with monitoring (visual and quantitative), and inspection requirements. These provisions provide comprehensive coverage through the implementation, regular evaluation, and adjustment of management measures to minimize the discharge of pollutants during rainfall events. State of North Carolina I Environmental Quality I Water Resources 1617 Mail Service Center I Raleigh, North Carolina 27699-1617 919 807 6300 Hearing Officer's Report December 8, 2016 Public Hearing W.H. Weatherspoon Plant SUMMARY OF PUBLIC COMMENTS AND RECOMMENDATIONS We received comments from three entities as well as concerned citizens that pertained to the draft NPDES stormwater permit. A summary of the public hearing comments is below, and all written comments received that were relevant to the stormwater permit are included in Appendix C of this report. Staff in the Stormwater Program reviewed the comments received and have developed responses to the concerns. I concur with the responses and to the recommended changes in the final permit for this facility. The changes included are minor in nature, and the final permit maintains requirements that are in line with those taken to public notice. In the process of finalizing the permit, staff developed a transmittal letter for the permit that address the permittee's comments and the Division's responses to those comments. The major issues raised in the public comments are summarized below: • A number of the comments received were related to concerns about seeps, discharges to Jacob's Swamp and the Lumber River from the coal ash basin and cooling pond at the site, coal ash disposal, flooding issues, public health, and drinking water impacts. Response: We understand that these are issues of significant concern to commenters that participated in the process. However, these issues are handled by other program areas within the Department. The draft permit regulates stormwater discharges only and does not authorize or control any wastewater or groundwater discharges. The Department continues to review those issues and consider them within the appropriate programs. • A number of commenters requested that these NPDES discharge permits be denied. At least one commenter (Ms. Megan Gregory) expressed that DEQ should instead require proper removal and storage of ash waste. Response: We noted that several comments that referenced "Stormwater Permit" were actually focused on discharges of wastewater. However, we understand the general concern about authorizing any discharges under an NPDES permit. Several commenters expressed concern that the permits do not protect waterways, but we concluded that the comments did not demonstrate the NPDES stormwater permit will not protect water quality. Ms. Gregory's comments cited infrequent monitoring requirements proposed by DEQ, but it was unclear if this was in reference to the stormwater or wastewater permit. The final stormwater permit was modified to reflect a quarterly monitoring schedule during ash hauling, as this is the only anticipated industrial activity in the access road drainage areas at this site. Any benchmark exceedances trigger monthly monitoring. DEQ feels this monitoring scheme is sufficiently frequent for stormwater discharges. Also, we expect exposed materials and contamination risk to be minimized through best management practices implemented by the permittee under the requirements of the SPPP and other permit stipulations, such as regular visual monitoring. The permit explicitly prohibits authorized stormwater discharges from causing or contributing to water quality standard violations (Part I, Section B). Also, most areas at this plant site are confined to areas draining to wastewater treatment. We understand that many concerned citizens are advocating for ash clean-up and not allowing any discharges at all. It is important to understand that the company will not be able to transport ash away from the plant during future excavation and ash removal efforts unless potential stormwater discharges associated with this regulated industrial activity are authorized by an NPDES permit. In other words, this stormwater permit plays a key role in facilitating ash removal. The NPDES stormwater permit also mandates stormwater pollution prevention measures and monitoring obligations designed to prevent contamination from entering surface waters from any runoff, and in doing so establishes safeguards and regulatory oversight of the cleanup activities and the potential surface water impacts. • One commenter (Ms. Christine Ellis on behalf of Winyah Rivers Foundation, Inc.) requested that DEQ set limits for stormwater discharges, instead of imposing stormwater benchmarks that do not equate to permit violations if exceeded. The commenter asserted that benchmarks do not adequately protect water quality because they don't prescribe standards and are not enforceable as limits. The commenter also expressed concern that discharges could occur for 3-6 months before any action is taken, based on the proposed monitoring frequency. Page 2 Hearing Officer's Report December 8, 2016 Public Hearing W.H. Weatherspoon Plant Response: The commenter is accurate in distinguishing benchmarks from effluent limits. Benchmarks are numerical action levels for stormwater monitoring and do not equate to a permit violation if exceeded. While exceeding a benchmark is not in itself a permit violation, the permittee must take action in a tiered response structure outlined in the permit. Failing to respond to benchmark exceedances as required is a permit violation. The permit imposes quarterly monitoring during coal ash transport. Based on public comments and revisions to earlier draft Duke Energy Steam Electric Plant stormwater permits before issuance, the Tier One Response in this draft permit stipulated that monthly monitoring must begin after one benchmark exceedance (instead of two). Tier Two (two consecutive benchmark exceedances) introduces the possibility of an alternative monitoring plan or invitation to the Regional Engineer to direct subsequent actions. The final permit maintains this provision and addresses part of the commenter's concern. Benchmarks are determined with help from Division of Water Resources' Classification and Standards Unit and are determined using data from multiple sources including EPA's National Recommended Water Quality Criteria, the National Primary Drinking Water Regulation in 40 CFR 141.11, and NC Surface Water Quality Standards (found in 15A NCAC 02B regulations). When regulations do not contain information for a particular pollutant of concern, benchmarks are calculated per 15A NCAC 2B .0200 using peer-reviewed toxicity data. In general, benchmarks are calculated to mimic acute water quality standards. DEQ follows established Federal procedures for calculation of an acute standard when developing stormwater benchmarks (acute standard/benchmark is set at 1/2 of the calculated Final Acute Value or 1/2 FAV) and typically applies those values in NPDES stormwater permits without any dilution allowance. Benchmarks based on acute standard calculations reflect a conservative protection level for aquatic life against negative impacts from short- term, undiluted exposure to higher levels of chemicals. NC DEMLR believes this approach to be the most appropriate for protecting against potential impacts of stormwater discharge exposures and to be consistent with DEQ's NPDES permitting program. Finally, DEQ feels that the stormwater permit as written does not compromise water quality standard protections. Language in Part I, Section B clearly states that "stormwater discharges allowed by this permit shall not cause or contribute to violations of Water Quality Standards." • One commenter (Ms. Hope Taylor, on behalf of Clean Water for North Carolina) asked that radioactive elements be added to the monitoring requirements in the stormwater permit. DEQ feels that the information we currently have available has lead us to a reasonable suite of parameters to assess the potential stormwater impacts for this type of facility. The Department will continue to monitor available information on this issue, but at this time we do not feel that we have sufficient information to add additional parameters for stormwater discharge requirements. • During the public comment period and ahead of the Public Hearing, Duke Energy provided comments requesting a correction to the company name in the draft permit; a request for clarification on monitoring frequency and when the SPPP must be developed; a request to remove the initial PCB monitoring requirement, and a request to only submit fish tissue monitoring results with the renewal application instead of within 30 days of receiving results. In response, DEMLR has made the following revisions in the final permit: 1. The typo in the Permittee name on the front page was corrected to Duke Energy Progress, LLC. 2. The monitoring requirement for PCBs was removed on the basis that these materials have never been stored in the subject drainage areas. 3. The monitoring requirements were revised to reflect quarterly monitoring during ash transport and further clarification about when monitoring requirements are applicable. 4. The provision requiring fish tissue sampling results was modified to reflect that the NPDES Wastewater Permit only requires sampling once during that permit term (not annually). However, the direction to submit tissue sampling results within 30 days of receipt to DEMLR remains as proposed for consistency with previously issued stormwater permits for other Duke Energy Progress facilities. Language was modified to acknowledge the difference in reporting requirements. Page 3 Hearing Officer's Report December 8, 2016 Public Hearing W.H. Weatherspoon Plant 5. The Standard Conditions in Part III, Section A 1. were revised to clarify that a Stormwater Pollution Prevention Plan (SPPP) be developed and implemented prior to the beginning of discharges from the operation of industrial activity in this case. This facility is considered an "existing facility applying for coverage ahead of resuming stormwater discharges associated with industrial activity." In addition to the items noted above, staff identified a few needed changes in the permit to address typographic errors and areas where language needed to be clarified. These changes included some reference corrections and providing clarity about when the permit conditions and monitoring commences or must continue, as well as minor revisions to the electronic reporting requirements in Part II. Based on our review of the information associated with these permits, public comments received, and discussions with Stormwater Program staff, I recommend that the Director move forward to issue the final permit with the modifications that have been included. The final permit is attached to this package for your signature. In addition to the information contained above I would also like to provide some recommendations based on the comments from this process. A number of comments seemed to be concerned with assuring oversight of the permit conditions at the facility. Staff in the Regional Office focus on the proper implementation of permits on a daily basis, so I am confident in their efforts to assure compliance. To assist in assuring that these efforts are handled effectively I recommend: 1. With the issuance of this permit, the Fayetteville Regional Office should contact the facility to first assure that the facility contacts are aware of the DEMLR Stormwater Program contacts in the regional office if they have questions. They should also assure that the facility makes the regional office aware in advance of planned movement of any ash material on the site. This contact should be designated to allow the regional office to schedule an onsite visit early on in this process to review the procedures utilized and evaluate any potential stormwater issues. 2. DEMLR has multiple programs that may be involved with activities on the facility site — Stormwater, Erosion and Sedimentation Control, and Dam Safety. The Division should ensure that when regional staff is on site for site visits or inspections associated with any of these program areas, staff should also be aware of the conditions related to other programs; be ready to assess potential issues; and make appropriate programs aware of any concerns. In turn, DEMLR staff should be sure to provide similar information in coordination with other Divisions as well. If you have any questions, please contact me to discuss. Page 4 ATTACHMENTS A. Announcement of Public Hearings Hearing Officer's Report December 8, 2016 Public Hearing W.H. Weatherspoon Plant B. Stormwater Program Presentation at the Public Hearing C. Comments Received on Proposed Stormwater Permit Page 5 Attachment A: Announcement of Public Hearing PUBLIC NOTICE N.C. DEPARTMENT OF ENVIRONMENTAL QUALITY INTENT TO ISSUE NPDES WASTEWATER DISCHARGE PERMIT #NC0005363 AND NPDES STORMWATER DISCHARGE PERMIT #NCS000589 Public comment or objection to the draft permits is invited. All comments received by Dec. 8, 2016 will be considered in the final determination regarding permit issuance and permit provisions. PERMIT APPLICATION Duke Energy Progress, Inc. has applied for NPDES permits for the W.H. Weatherspoon Plant, 491 Power Plant Rd., Lumberton, N.C., in Robeson County, to discharge wastewater and stormwater to the Lumber River and Jacob Swamp in the Lumber River basin. The draft wastewater permit and related documents are available online at: hgps://deq.nc.gov/about/divisions/water- resources/water-resources-hot-topics/dwr-coal-ash-regulation/duke-energy-nnpdes-permits-for-facilities-with-coal- ash-ponds/duke-energ -nnpdes-modifications-renewals. The draft stormwater permit and related documents are available online at: https://deq.nc.gov/news/hot-topics/coal-ash-nc/npdes-permits. Printed copies of the draft permits and related documents may be reviewed at the department's Fayetteville Regional Office. To make an appointment to review the documents, please call 910-433-3300. Public comments on the draft permit should be mailed to: • Wastewater Permitting, Attn: Weatherspoon, 1617 Mail Service Center, Raleigh, N.C., 27699-1617 • Stormwater Permitting, Attn: Weatherspoon, 1612 Mail Service Center, Raleigh, N.C., 27699-1612 Public comments may also be submitted by email to: publiccomments@ncdenr.gov. Please be sure to include "Weatherspoon Wastewater" or "Weatherspoon Stormwater" in the email's subject line. PUBLIC HEARING The N.C. Department of Environmental Quality will hold a public hearing to accept comments on the aforementioned draft permits at 6 p.m. Thursday, Dec. 8 at the Robeson Community College A.D. Lewis Auditorium, 5160 Fayetteville Rd., Lumberton, N.C. Speaker registration begins at 5 p.m. Attachment B: Stormwater Program Presentation NPDES Stormwater Permit NCS000589 - Duke Energy/Weatherspoon Public Hearing Thursday December 8, 2016 "Good evening. My name is Bethany Georgoulias, and I work in DEMLR's Stormwater Permitting Program. Tonight I'll summarize the main features of the draft industrial stormwater permit for Duke Energy's Weatherspoon Plant. • As Tom explained, the Weatherspoon plant is undergoing closure, and there has not been any active coal power generation since 2011. In addition to the coal ash pond and large cooling pond remaining on site, there is also an access road leading to the plant site. • This draft NPDES Stormwater Permit regulates stormwater discharges to surface waters, not any wastewater discharges. • The purpose of this permit is to regulate discharges of stormwater associated with industrial activities that fall into one of ten (10) categories addressed in the federal regulations in 40 CFR Part 122.26. Those categories include Steam Electric Power Generation Facilities. • Some areas are excluded from permit coverage, such as areas without industrial activities, areas without a potential point source discharge, and areas draining to wastewater treatment or otherwise permitted under the wastewater permit. Most plant areas here drain to the cooling pond and are outside the scope of this draft permit. • This permit will cover discharges from three (3) stormwater outfalls that drain areas from the potential ash hauling route along the access road when ash removal begins. • This draft permit requires the development and implementation of a comprehensive Stormwater Pollution Prevention Plan, as well as quantitative (or analytical) and qualitative (or "visual") monitoring of stormwater discharges. • The Stormwater Pollution Prevention Plan is a written management plan that includes a detailed site map and overview; a pollution prevention and good housekeeping program; employee training; facility and stormwater system inspections; certification that any non-stormwater discharges are appropriately authorized; and a Plan review and update timetable; in addition to other measures. • Proposed analytical monitoring parameters include conventional pollutants, metals, and other potential coal ash constituents. • The frequency for both visual and analytical stormwater discharge monitoring is set to quarterly during any coal or ash transport. • Proposed monitoring does not include discharge limits. Instead the permit incorporates stormwater benchmark values that guide management responses. If sample results exceed any benchmark concentrations, the permittee must take action as outlined in the permit's tiered response structure. • Finally, like the wastewater permit, this draft stormwater permit does not regulate the ultimate fate of the coal ash. This determination will be made by DEQ in accordance with the Coal Ash Management Act of 2014. This concludes my overview of the draft NPDES Stormwater Permit. I will now turn the hearing back to the Hearing Officer." Attachment C: Comments Received on Stormwater Permit The following section (subsequent attached pages) includes the written comments submitted during the comment period and the comments received at the public hearing. r' DUKE ENERGY, PROGRESS October 18, 2016 Certified Mail # 7015 1520 0001 0801 5019 (2 copies) Mr. Bradley Bennett North Carolina Division of Energy Mineral and Land Resources 1617 Mail Service Center Raleigh, North Carolina 27699-1617 Subject: Duke Energy Progress, LLC Weatherspoon Plant, Robeson County Comments on Draft Permit NCS000589 Dear Mr. Bennett, W. H. Weatherspoon Plant 491 Power Plant Rd Lumberton, NC 28358 Mailing Address: Kent Tyndall L. V. Sutton Energy Complex 801 Sutton Steam Plant Rd Wilmington, NC 28401 o: 910.341-4775 f: 910.341-4790 Duke Energy Progress, LLC has received the draft Industrial Stormwater Permit NCS000589 for the W.H. Weatherspoon Plant. As an additional point of information for your staff as you review and prepare this permit for finalization, please be aware that the active erosion and sedimentation control plan for the demolition of the Weatherspoon plant was closed out this year. Therefore the demolition of the former coal plant is fully complete and the former plant area has been fully graded, seeded, and achieved final stabilization. Duke Energy appreciates the opportunity to review the permit and has the following comments on the draft. Title Page- the ownership entity for Weatherspoon Plant is Duke Energy Progress, LLC. 2. The draft permit includes a semi-annual monitoring requirement for PCBs. According to the fact sheet, the rationale for the PCB monitoring requirement is that "electrical equipment onsite prior to decommissioning may have contained PCBs, which persist in the environment if ever released." However, as also noted by the fact sheet and as acknowledged in previous industrial stormwater permit coverage, the stormwater drainage area for the former coal plant flowed to the cooling pond where it is comingled with wastewater and sampled at NPDES outfall 001. PCB containing materials have never been stored in the drainage areas for outfalls SW -1, SW -2 and SW -3. Therefore Duke Energy requests that the monitoring requirement for PCBs be removed from the permit. 3. The draft permit requires semi-annual monitoring for TSS, pH, and Oil and Grease during a period when the outfalls are not influenced by industrial activity. The Stormwater Permitting unit has previously taken the regulatory position that these three outfalls were only "active" when Duke Energy was engaged in the industrial activity of transporting industrial materials (ash). Although the fact sheet states that stormwater regulations also apply to "areas where industrial activity has taken place in the past and significant materials remain and are exposed to storm water", the draft permit materials acknowledge that stormwater from all of the former industrial areas of the plant is conveyed to the cooling pond. Industrial areas, as defined by the stormwater regulations do not drain to outfalls SW -1, SW -2 and SW -3. The only time that condition changes is when Duke Energy is engaged in the activity of moving ash. Therefore Duke Energy requests that no monitoring be required at outfalls SW -1, SW -2 and SW -3 unless Duke Energy has begun the industrial activity of removing ash from the plant site. 4. The draft permit requires that fish tissue sampling required under NPDES Permit NC0005363 be submitted within 30 days of receiving results from the lab. Duke Energy request that the reporting requirement for this condition align with the NPDES wastewater permit, which requires that the data be submitted with the renewal application. 5. Please clarify whether Part III, Section A requires that a SPPP be developed within 6 months after permit issuance, or "prior to the beginning of discharges from the operation of industrial activity" (i.e. prior to transportation of ash). If there are any questions, please contact either: • Mr. Kent Tyndall, Environmental Professional for the W. H. Weatherspoon Plant; phone (910) 341-4775 or e-mail Kent.Tyndall@duke-energv.com; or • Ms. LeToya Ogallo, Environmental Specialist at our North Carolina Regional Headquarters, phone (919) 546-6647 or email LeToya.Ogallo@duke-energy.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, 1r Jason V. Haynes Station Manager Winyah Rivers Foundation, Inc. PO Box 261954 Conway, SC 29528-6054 christinet@winvahrivers.org (843)267-3161 Regarding Weatherspoon coal ash and the draft permits to discharge. wastewater and stormwater to the Lumber River and Jacob Swamp in the Lumber River Basin. WE ARE HAPPY THAT DUKE WILL EXCAVATE AND REMOVE WEATHERSPOON'S COAL ASH BUT WHILE WE WAIT FOR THIS TO BE FINISHED MANY YEARS FROM NOW WE ASK FOR THE MOST STRINGENT REQUIREMENTS TO BE IMPOSED AND ENFORCED TO PROTECT OUR COMMUNITY AND OUR RIVER. It is good that Duke will excavate the coal ash at Weatherspoon and when completed that this will eliminate the threats we face today. But given the extended timeline for this excavation and removal, we ask for changes in the provisions to be implemented to control pollution from stormwater runoff at the site and from wastewater discharges during dewatering and excavation of the coal ash impoundment. Draft Stormwater Permit: WITH RESPECT TO THE DRAFT STORMWATER PERMIT, WE ASK THAT DEQ SET FIRM LIMITS FOR POLLUTANTS IN STORMWATER RUNOFF FROM THE SITE THAT ARE APPROPRIATE ENFORCED. THE BENCHMARK CONCENTRATIONS SET IN THE DRAFT PERMIT DO NOT PRESCRIBE WATER QUALITY STANDARDS, ARE NOT TREATED AS VIOLATIONS IF EXCEEDED AND ALLOW FOR POLLUTED RUNOFF WITH MINIMAL TO NO CONSEQUENCES. We ask that DEQ set firm limits for pollutants with the potential to be discharged into surface water. The benchmark concentrations identified in the permit do not adequately protect water quality as they don't prescribe standards and, if exceeded, are not considered violations and are not enforceable. Rather, they allow exceedances without any real consequences. And without a clear understanding of the future activities with respect to excavation and movement of coal ash on the site, benchmarking provides the opportunity for discharges to occur for 3 — 6 months, based on the identified frequency of monitoring, before any real action is inspired. It's a kind of three strikes philosophy; exceed the benchmarks once and increase the frequency of sampling to monthly (from quarterly or semi-annually), exceed the benchmarks twice and Duke can propose an alternative monitoring plan, exceed the benchmarks four times and seek advice and an alternative monitoring plan. I understand that this is a performance based approach but Duke's performance with controlling water pollution at the site has not met our criteria. Also past performance is not a predictor of future performance, especially given the as yet unknown details of coal ash excavation and movement on the site. While we appreciate that coal ash excavation will take place at the site, we also think every effort to ensure that water quality standards are met and enforced and that pollutants do not enter surface waters. Establishing firm numbers and consequences that are implemented immediately to require eliminating the pollutant discharges would make this permit more effective. Winyah Rivers Foundation, Inc. PO Box 261954 Conway, SC 29528-6054 christine @wi nya hrivers.or¢ (843) 267-3161 DUKE RECENTLY PROPOSED A PERMANENT REPLACEMENT WATER SUPPLY TO 7 ELIGIBLE WELL OWNERS AND 7 HOUSEHOLDS AROUND THE WEATHERSPOON PLANT. THIS UNDERSCORES THE NEED FOR GREATER PROTECTIONS IN PERMITS FOR STORMWATER AND WASTEWATER AT THE SITE. And we recently learned that Duke is proposing a permanent replacement water supply to eligible households around the Weatherspoon facility. Duke proposes that seven eligible well owners be offered the option of a connection to a public water supply or the installation of a water treatment system, and seven households (all on Taylor Drive) be offered a water treatment system. We know that there are problems with contamination of our groundwater and surface water and we expect that every measure be implemented and enforced to eliminate these contaminants and protect our water quality and the health of our community. WE DESERVE BETTER... COMPLIANCE WITH STATE AND FEDERAL STANDARDS FOR WATER QUALITY... ELIMINATION OF EXISTING POLLUTION ... NO NEW THREATS TO WATER QUALITY... PROTECTION OF OUR NATURAL AND SCENIC RIVER... PROTECTIONS THAT WE HAVE A RIGHT TO. Our community and our river deserve better than what is currently proposed in these draft permits. While we wait for the coal ash to be excavated and removed from the site, we expect these permits to require compliance with state and federal standards for discharges of wastewater and stormwater into waterways. We expect that these permits will ensure that existing pollution will be eliminated and that no new pollution will be allowed. We expect that every measure to ensure pollution cleanup and water quality protections will be implemented and enforced. We expect this not only because our community deserves this but also because our river is truly special, designated s6'by the state (Natural and Scenic River Program) and the federal governments (Wild And Scenic River Program). We ask that this river and our community not be asked to bear any more pollution. Correct the provisions in these two permits that allow for unrestricted pollution and that don't guarantee the protections we have a right to. 'ENERGY,, ENERGY,, Draft NPDES Permit Public Hearing Comments December 8, 2016 Good Evening. Thank you for the opportunity to be a part of tonight's meeting. My name is David McNeill and I serve as a district manager for Duke Energy's Government & Community Relations Department. I am proud to serve 8 counties in this region, including Robeson County, and I represent Duke Energy employees who have supported this plant and call this community home. The Weatherspoon Plant provided Safe and reliable energy to customers for 62 years and always strived to be a good neighbor during that time. So making sure that the ash basin at the retired Weatherspoon Plant is closed properly is important to me - and it's important to Duke Energy. Finalizing the new wastewater permit is a critical step to advance the ash basin closure process. While the site has been operating under an NPDES permit, the new draft permit is part of the renewal process and must be in place in order to proceed with safely closing the ash basin. The draft permit includes strict standards that ensure people and the environment remain protected, and are consistent with federal guidelines that apply to countless businesses that manage wastewater. State permit writers use an analysis recommended by the Environmental Protection Agency to determine the reasonable potential for exceeding water quality standards specific to each site. The appropriate limits were then added or maintained in the permits. Duke Energy must be in compliance with the Clean Water Act for all appropriate water quality standards. There are also new provisions in the draft permit. For the first time, seeps will be regulated, requiring rigorous testing and monitoring of that water. The permit also provides a framework to treat and safely remove water from the ash basin, a necessary step toward closure and an effective way to reduce or eliminate seeps altogether. Last summer, Duke Energy announced plans to close the ash basin at Weatherspoon by removing all of the material currently stored in the basin. We will continue to update the community as we finalize our plans to begin this work. Meanwhile, as you may know, we are researching options for providing a permanent water solution to plant neighbors within a half mile of the basin, as required by the state's coal ash law. Options for these residents may include offering public water connections or water filter systems with long-term maintenance. Georgoulias, Bethany From: Christine Ellis <christine@winyahrivers.org> Sent: Thursday, December 08, 2016 1:17 PM To: SVC_DENR.publiccomments Subject: Weatherspoon Comments - Draft Stormwater Permit Dear Sir/Madam, We ask that DEQ set firm limits for pollutants with the potential to be discharged into surface water. The benchmark concentrations identified in the permit do not adequately protect water quality as they don't prescribe standards and, if exceeded, are not considered violations and are not enforceable. Rather, they allow exceedances without any real consequences. And without a clear understanding of the future activities with respect to excavation and movement of coal ash on the site, benchmarking provides the opportunity for discharges to occur for 3 — 6 months, based on the identified frequency of monitoring, before any real action is inspired. It's a kind of three strikes philosophy; exceed the benchmarks once and increase the frequency of sampling to monthly (from quarterly or semi-annually), exceed the benchmarks twice and Duke can propose an alternative monitoring plan, exceed the benchmarks four times and seek advice and an alternative monitoring plan. I understand that this is a performance based approach but Duke's performance with controlling water pollution at the site has not met our criteria. Also past performance is not a predictor of future performance, especially given the as yet unknown details of coal ash excavation and movement on the site. While we appreciate that coal ash excavation will take place at the site, we also think every effort to ensure that water quality standards are met and enforced and that pollutants do not enter surface waters. Establishing firm numbers and consequences that are implemented immediately to require eliminating the pollutant discharges would make this permit more effective. Regards, Christine Ellis Fishable, Swimmable, Drinkable Water for Our Families and Our Future. Christine Ellis Deputy Director / River Advocate Winyah Rivers Foundation, Inc. www.winyahrivers.org Christine @ winyahrivers.org (843) 267-3161 A proud member of WATERKEEPER® ALLIANCE. Georgoulias, Bethany From: Hope Taylor < hope@cwfnc.org > Sent: Thursday, December 08, 2016 11:31 PM To: SVC_DENR.publiccomments Subject: Weatherspoon Wastewater and Weatherspoon Stormwater The following comment is an addendum to Clean Water for North Carolina comments submitted in writing (part of them orally) at this evening's public hearing in Lumberton. Based on a study published in Environmental Science and Technology, there is reason to expect more concentrated radioactivity in coal ash derived from coal from all major US coal basins. Clean Water for North Carolina calls for monitoring for lead -210 and radioisotopes of radium in all discharges and routine sampling of cooling pond, discharges of interstitial water from coal ash to the cooling pond and all seeps until contained or stopped, as well as monitoring points in stormwater discharges. ""Naturally Occurring Radioactive Materials in Coals and Coal Combustion Residuals in the United States," Nancy E. Lauer, James C. Hower, Heileen Hsu -Kim, Ross K. Taggart, Avner Vengosh. Environmental Science & Technology, Sept. 2, 2015 Press released for this study is found at: https://nicholas.duke.edu/about/news/radioactive-contaminants- found-coal-ash Yours truly, Hope Taylor, MSPH, Executive Director, Clean Water for North Carolina Georgoulias, Bethany From: Jessica Abbott <jessica.abbott.03@gmail.com> Sent: Tuesday, December 06, 2016 10:16 AM To: SVC_DENR.publiccomments Subject: Weatherspoon Stormwater Dear DEQ, Please do not allow Duke Energy to pollute our waterways with toxic coal ash. Our community has already been devastated by Hurricane Matthew, and these permits would only put us in even more jeopardy. At Weatherspoon, Duke Energy may be allowed to pump out most of the wastewater from the coal ash pit into the Lumber River and nearby Jacob Swamp, a beloved fishing destination, with no limits on toxic pollutants. This is unacceptable. The current permit as written would do little to protect our waterways. Please strengthen the draft NPDES permit. Thank you. Sincerely, Jessica Abbott 24 Bird Song Ln Parkton, NC 28371 Georgoulias, Bethany From: Lucille and Johnny Christian <lucillechristian@att.net> Sent: Tuesday, November 29, 2016 10:45 PM To: SVC -DEN R.publiccomments Subject: Weatherspoon Stormwater Dear DEQ, Please do not allow Duke Energy to pollute our waterways with toxic coal ash. Our community has already been devastated by Hurricane Matthew, and these permits would only put us in even more jeopardy. At Weatherspoon, Duke Energy may be allowed to pump out most of the wastewater from the coal ash pit into the Lumber River and nearby Jacob Swamp, a beloved fishing destination, with no limits on toxic pollutants. This is unacceptable. The current permit as written would do little to protect our waterways. Please strengthen the draft NPDES permit. Thank you. Sincerely, Lucille and Johnny Christian 602 Park Avenue Fairmont„ NC 28340 Georgoulias, Bethany From: Megan Gregory <meganmgregoryl@gmail.com> Sent: Monday, November 14, 2016 8:03 AM To: SVC_DENR.publiccomments Cc: Megan M. Gregory Subject: Deny Weatherspoon Stormwater & Wastewater Permits To permitting officials in the North Carolina Department of Environmental Quality: I write today as a concerned citizen of North Carolina and a member of the Environmental Justice Team at Trinity Presbyterian Church (Winston-Salem, NC) to respectfully request that you deny Duke Energy stormwater and wastewater permits that would allow them to continue discharging polluted wastewater through leaks from their unlined coal ash pond at their Weatherspoon plant. Instead, you must require that Duke Energy fulfill its legal and moral responsibility to eliminate coal ash pollution by removing this waste from the unleaking pit at Weatherspoon and storing it in safe, dry, lined landfills away from our rivers. The proposed permits threaten public health and environmental justice and must not be granted. First, they allow for the continued discharge of wastewater into the Lumber River through leaks, which has been unlawful for years, according to the Southern Environmental Law Center. Second, the proposed permit sets lax limits on contamination from these illegal seeps, including daily arsenic limits that are 34 times higher than groundwater and surface water safety standards. Even worse, the proposed limits on discharges from the cooling pond into the Lumber River include a daily arsenic limit over 600 times the groundwater safety standards. Finally, the infrequent monitoring requirements proposed by the DEQ will not ensure the protection of our clean water, the Lumber River or Jacob Swamp. It is the responsibility of the DEQ to set and enforce limits on contamination that protect public health by meeting or exceeding water safety standards. I ask that you do this for the communities surrounding the Weatherspoon plant by denying Duke Energy stormwater and wastewater permits, and instead require proper removal and storage of the dangerous waste stored there. Together with people of faith and conscience across North Carolina, I look forward to your response on this important matter. Sincerely, Megan M. Gregory 3540 Castleford Ct, Apt H Winston-Salem NC 27106 meganmgregoryl @ gmail.com 847-287-7794 Georgoulias, Bethany From: Rachel Cummings <oxendine6S@yahoo.com> Sent: Wednesday, December 07, 2016 11:09 PM To: SVC_DENR.publiccomments Subject: Weatherspoon Stormwater Dear DEQ, Please do not allow Duke Energy to pollute our waterways with toxic coal ash. Our community has already been devastated by Hurricane Matthew, and these permits would only put us in even more jeopardy. At Weatherspoon, Duke Energy may be allowed to pump out most of the wastewater from the coal ash pit into the Lumber River and nearby Jacob Swamp, a beloved fishing destination, with no limits on toxic pollutants. This is unacceptable. The current permit as written would do little to protect our waterways. Please strengthen the draft NPDES permit. Thank you. Sincerely, Rachel Cummings po box 792 pembroke, NC 28372 Georgoulias, Bethany From: Susan Bosworth <Sboss6711@gmail.com> Sent: Tuesday, December 06, 2016 1:17 PM To: SVC_DENR.publiccomments Subject: Weatherspoon Stormwater Dear DEQ, Please do not allow Duke Energy to pollute our waterways with toxic coal ash. Our community has already been devastated by Hurricane Matthew, and these permits would only put us in even more jeopardy. At Weatherspoon, Duke Energy may be allowed to pump out most of the wastewater from the coal ash pit into the Lumber River and nearby Jacob Swamp, a beloved fishing destination, with no limits on toxic pollutants. This is unacceptable. The current permit as written would do little to protect our waterways. Please strengthen the draft NPDES permit. Thank you. Sincerely, Susan Bosworth 6711 Chickenfoot rd St Pauls, NC 28384 910-303-1833 Georgoulias, Bethany From: Steve Martin <Smartinl3@nc.rr.com> Sent: Tuesday, December 06, 2016 2:43 PM To: SVC_DENR.publiccomments Subject: Weatherspoon Stormwater Dear DEQ, Please do not allow Duke Energy to pollute our waterways with toxic coal ash. Our community has already been devastated by Hurricane Matthew, and these permits would only put us in even more jeopardy. At Weatherspoon, Duke Energy may be allowed to pump out most of the wastewater from the coal ash pit into the Lumber River and nearby Jacob Swamp, a beloved fishing destination, with no limits on toxic pollutants. This is unacceptable. The current permit as written would do little to protect our waterways. Please strengthen the draft NPDES permit. Thank you. Sincerely, Steve Martin 202 Barker Ten Mile Rd lumberton, NC 28358 Georgoulias, Bethany From: Timma Locklear <Timmapjones@gmail.com> Sent: Wednesday, November 30, 2016 3:02 AM To: SVC_DENR.publiccomments Subject: Weatherspoon Stormwater Dear DEQ, Please do not allow Duke Energy to pollute our waterways with toxic coal ash. The Lumber river is part of my heritage... Lumber River is and has always been a major part of my life ... I grew up swimming in the Lumber River with my parents, this river has played a major role in my child hood, adolescent and now adult life ... I have many fond memories of the Lumber river, canoeing, fishing, pic nics, family outings all consisted of the Lumber River ... I am a Lumbee Indian ... the Lumber River is home to my tribe ... my brother lives on this river and we fish on a regular basis ... my 5 year old grand daughter loves going fishing in our Lumber River... allowing this permit would devastate our cultural rights, our community, causing sickness disease and even death for many who depend on the Lumber river for basic survival needs as well as recreation, because my community has already been devastated by Hurricane Matthew, and these permits would only put us in even more jeopardy. At Weathersp oon, Duke Energy may be allowed to pump out most of the wastewater from the coal ash pit into the Lumber River and nearby Jacob Swamp, a beloved fishing destination, with no limits on toxic pollutants. This is unacceptable. The current permit as written would do little to protect our waterways. Please strengthen the draft NPDES permit. Thank you. Sincerely, Timma Locklear po box 3656 Pembroke, NC 28372