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HomeMy WebLinkAboutNC0038377_Permit Renewal and Supporting Documents_20000623State of North Carolina Department of Environment and Natural Resources Division of Water Quality James B. Hunt, Jr., Governor BIII Holman, Secretary Kerr T. Stevens, Director ✓ � �CUt"01`S June 23, 2000 Mr Roosevelt Childress, Chief Surface Water Permits Section Water Management Division U S Environmental Protection Agency, Region IV Atlanta Federal Center 100 Alabama Street S W Atlanta, Georgia 30303-3104 Dear Mr Childress 0� IL � NCDENR Subject NPDES Permit No NCO038377 Carolina Power and Light Mayo Steam Electric Power Plant The Division of Water Quality (Division) sent the subject draft permit to public notice on 07/21/97 By letter dated 09/18/97, EPA Region IV raised several objections which they indicated must be corrected prior to permit reissuance Since that time, this permit has remained on our backlog The intent of this letter is to respond to the EPA objections, and ultimately reissue the permit and reduce the backlog EPA CORE OBJECTION The CP&L Mayo Steam Electric Power Plant is subject to EPA Steam Electric Effluent Guidelines per 40 CFR 423 The core issue raised by EPA pertains to whether the CP&L Mayo plant should be regulated by the 1974 Standards of Performance for New Sources (1974 SPNS, now NSPS), or be regulated to reflect the requirements of the subsequent 1982 regulations EPA contends that since the plant was in construction prior to the 1982 NSPS (with commercial operation beginning in March 1983), the 1974 SPNS should still apply EPA is therefore objecting to the subject draft permit which is based on the 1982 regulations 1617 Mail Service Center, Raleigh, North Carolina 27699-1617 Telephone (919) 733-5083 FAX (919) 733-0719 An Equal Opportunity Affirmative Action Employer Visit us on the INTERNET @ www enr state nc us ti Pe=t No. NC0038377 ` CP&L- Mayo Steam Page 2 Response The Division believes that the current draft permit is consistent with applicable regulations for the following reasons• • When 40 CFR 423 was promulgated in 1982, the preamble stated that the 1982 regulations contain both the 1974 and the 1977 limitations that EPA did not change, and the revised limitations that are the subject of the 1982 regulations [47 FR 52292, 11/19/821 Consequently, the 1982 regulations reflect a consolidation of both the 1974 and 1982 regulations and any NPDES permits written must conform to the 1982 promulgated regulations • 40 CFR 125 3 (c)(1) states that technology-based effluent limitations are not applicable to the extent that they have been remanded or withdrawn The preamble to the 1982 regulations states that the 1974 SPNS for Bottom Ash transport water and the segregated boiler blowdown source were withdrawn Consequently, with the promulgation of the 1982 regulations, the 1974 SPNS lost their legal applicability within the 40 CFR 423 regulations and the NPDES program in general • Although the EPA has cited several Headquarter's policy memos in support of their position, their regulatory argument, as required by 40 CFR 123 44, is primarily based on EPA's anti -backsliding regulations However, anti -backsliding is not relevant to this situation The anti -backsliding regulations at 40 CFR 12244(l) prohibit (with exceptions) a reissued permit from having effluent limitations that are less stringent than those in the previous permit However, in this case no relaxation of the effluent limitations in the previous permit is being proposed. The subject draft permit contains essentially the same limitations as the previous permit that was effective 02/01/96 The limitations in the previous permit were appropriately based on the 1982 revisions to the Steam Electric Guidelines Additionally, the two modified versions of the permit (September 1985 and January 1986) that immediately preceded the 1996 permit were also appropriately based on the 1982 revisions to the Steam Electric Guidelines. t Permit No NCO038377 CP&L- Mayo Steam Page 3 EPA SPECIFIC OBJECTIONS The EPA submitted six specific objections to the draft permit, which are presented below along with the Division's responses EPA Comment #1 Mass limitations are required in the permit by the 1974 SPNS We recommend that flow -weighted concentration limitations consistent with the "Guidance for NPDES Permits Issued to Steam Electric Power Plants" signed by Ms Rebecca Hammer on 08/22/85 be included in the permit also. Response As stated previously, it is the Division's belief that the exclusive 1974 SPNS requirements are no longer the regulations of record as they were superseded by the 1982 regulations The preamble to the 1982 regulations states that the 1982 regulation[s] "allows the permitting authority to establish either concentration or mass limits for any effluent limitation or standard, based on the concentrations specified in the regulations " [47 FR 52293] Also, EPA agrees that "the use of mass based limits in all circumstances is undesirable" [47 FR 52300] Accordingly the Division has exercised their option of writing the subject draft permit with concentration based limitations because with concentration based lirrutations the pollutants must be controlled at any discharge flow Comment #2 Reduction in limitations to include bottom ash recycle under 1974 SPNS (if applicable) The limitations developed for the bottom ash component of the discharge (OSN 002) should be divided by a factor of 20 Response The 1974 SPNS are not applicable The 1974 SPNS recycle requirement for 20 cycles of bottom ash sluice water was specifically withdrawn as stated in the preamble to the 1982 regulations [47 FR 522961 Therefore, according to 40 CFR 125 3 (c)(1) if a technology based lirrutation has been withdrawn, it is no longer applicable The reasdning provided for the EPA initiated withdrawal was, in part, that "a recycle system for bottom ash is substantially more expensive than other bottom ash handling systems" and "the `reasonableness' of [a 20X recycle system] using the cost tests for conventional pollutants did not pass the BCT test " [45 FR 68328, 68338-9]. Permit No NCO038377 CP&L- Mayo Steam Page 4 Comment #3 Discharge of pollutants in cooling tower blowdown is limited by both the 1974 SPNS and 1982 BAT standards Accordingly, the discharge of corrosion inhibitors and the 126 priority pollutants (including chromium, zinc, and phosphorus) in detectable amounts are prohibited Response. As previously explained, the 1982 regulations reflect a consolidation of both the 1974 and 1982 regulations Therefore the 1982 regulations are the current regulations of use Additionally, the preamble to the 1982 regulations states that the final BAT and NSPS lirruts for cooling tower blowdown allow for the discharge of chromium and zinc (based upon concentrations of 0 2 mg/l and 10 mg/1, respectively), and the limit for phosphorus is deleted [47 FR 52295] Comment #4 Mass (and concentration) limitations attributable to coal pile runoff and cooling tower blowdown, and other sources of dilution flow must be incorporated into the ash pond limitations (See Aug 22, 1985 Hammer Guidance) Response As indicated in the response to Comment #1, flexibility exists for mass or concentration limits In regard to other sources of dilution flow, the proposed permit can be reevaluated in this light Comment #5 'Boiler Blowdown" is a separate category from low volume wastes under 1974 SPNS Response The 1974 SPNS are not applicable The 1974 SPNS for boiler blowdown were specifically withdrawn as stated in the preamble to the 1982 regulations [47 FR 522971 According to 40 CFR 125 3 (c)(1) if a technology based limitation has been withdrawn, it is no longer applicable Comment #6 Both chemical and non -chemical metal cleaning wastes are subject to performance standards for metal cleaning wastes Although these wastes are not indicated in the application, they are generally present at steam electric power plants, unless disposed of in an offsite (sic) Response- Chemical metal cleaning wastes are currently incinerated The Division will reexamine non - chemical metal cleaning wastes. OTHER CONSIDERATIONS Environmental The viewpoint of James R Patrick Jr, previous Chief, EPA Permits Section, was that "the environmental benefits of the 1974 NSPS over the 1982 NSPS are minimal" (in letter dated 2/12/92 to James H Scarbrough, Chief, EPA Water Permits and Enforcement Branch). The Division concurs with this opinion Perrrut No NCO038377 CP&L- Mayo Steam Page 5 Economic Although the environmental benefits are considered minimal, the cost of compliance with the 1974 regulations for the per►nittee would not be minimal For example, in order to approach compliance with dust the 1974 bottom ash recycling requirements, the following costs have been estimated • Capital Material Cost, estimate for installation - $1,353,900 • Capital Installation Cost, estimate including engineering package, labor, ciN it work - $2,100,000 • O&M for the above installation would be $1,950,000 for each five year period • 3 megawatt loss in generation These costs do not address the additional potential costs necessary to comply with the other aspects of the 1974 regulations as presented in your letter In conclusion, the Division is certainly agreeable to reexarrumng the permitting concerns expressed in comments 4 and 6 After those issues are addressed, the Division believes that the subject draft perrrut should proceed to reissuance We do not believe that the permitted facility should be subject to regulations which have been withdrawn for almost 18 years We also believe that there is no backsliding of effluent limitations between the draft permit and the previous permit We will continue to work with you to resolve these objections If you require any additional information about this permit, please do not hesitate to contact me at (919)-733-5083 extension 517, or Tom Belmck at extension 543. Sincerely, David A Goodrich NPDES Unit Supervisor cc. NPDES Unit, Permit File Coleen Sullins, DWQ Bill Reid, DWQ Doug Mundrick, U S EPA, Water Management Division Mike McGhee, US EPA Mick Greeson, CP&L Fred Holt, CP&L SEP -22-97 16=30 FROM=G P T S BRANCH I13=404 562 9224 PAGE 1/3 a�%Ito S7ATFs, UNITED STATES ENVIRONMENTAL PROTEG`"ON AGENCY Y REGION 4 l 4&1 Awl� ATLANTA FI=DERAL CENTER 100 ALABAMA STREET, S -W. ATLANTA, GEORGIA $0303-3104 FACSnn7-R TRANSHISSION SHEET DATE: 22 7 PAGES TRANSMITTM.- -. (including cover) TO:, ` i ate, PHONE: C_ rl- /'q ' FROM: c, Darryl Williams Environmental Engineer Permits Section. Surface Rater Permits and Facilities Branch Water Management Division (404) 5(52-9297 FAX: (404) 562-8692 - n SPECIAL =STRUCTIONS : � � � -_ d� � Sc.t� f�►..Gc )_ ��' � : -` . - ,a• ",��.:.. may:...: �;-AF:&�(Y. ': .'C C2:. , S � " �4Y6R • fS: •r w•)+R:y. .catii`•��i RecycW/ReeyclaWe-Pdnced with Vegetable OU Based Inks on IDG%Receded Paper (40;6 Postconsumer) SEP -22-97 16:30 FROM:G P T S BRANCH ID:404 562 9224 PAGE 2/3 t� UNITED STATES ENVIRONMENTAL PROTECTION AGENCY REGION s ATLANTA FEDERAL CENTER 100 ALABAMA STREP, S.W. Nc t ATLANTA. GEORGIA 30308-2104 SEP 1 8 1997 REF: 4WM-SWPFS . Steve Tedder, Chief Water Quality Section Division of Water Quality NG Dept. of Environment, Health, and i4atural kesources P.O. Sox 29535 Raleigh, North Carolina 27626-0535 RE ArPDPS Overview ca.ralixa Power & big t; Co. Mayo H2ectric Generating P3aut 2WDE'S .Permit No. MC0038377 Dear Mr. Tedder: in accordance with the EPA/DWQ MOA, we have completed our review of the draft National Pollutant Discharge permit and supporting materials received on August 5, 1997, for the referenced facility and our comments are provided below. These comments were necessary in order to ensure that the permit complies with the applicable regulations and guidance. Unless appropriate changes are made, the permit may be subject to an EPA veto. Our Comments generally remain the same as those provided to your office during previous permit reissuances. Reference is made to our letter dated November 4, 1987 and reiterated in. Mx. James Elder's memorandum regarding New Source Performance Standards (attached) . The Standards of Performance for New Souroes (1974 SP14S) as promulgated on October 8, 1974 (40 CPR 423, 39 FR 36186, particularly § 423.15) remain the applicable standards for the Mayo plant and not the requirements of the 1982 promulgation (except for more stringent 1982 SAT requirements as noted below) . The following must be corrected prior to reissuance: 1. Mass limitations are requxxed in the permit by the 1974 SPNS. We reoolmmend that flow -weighted concentration limitations consistent with the "Guidance for NPDES Permits Issued to Steam Electric Power Plants" signed Flecyclod(AKyclabte .Printed with Vegetable of Basad IN3 on 100%Reg4ed Paper OM PG=Onsume SEP -22-97 16=30 FROM=G P T S BRANCH ID=404 562 92224 PAGE 3/3 2 . by Ms. Rebecca Harmer on August 22, 1.985 (attached) , be included in the permit also. 2. Reduction in limitations to include bottom ash recycle under 1974 SPNS (if applicable), The limitations developed for the bottom ash component of the discharge (OSN 002) should be divided by a, factor of 20. 3. Discharge of pollutants in cooling tower blowdown is limited by both the 1974 SPNS and 19$2 BAT standards. Accordingly, the discharge of corrosion inhibitors and the 126 priority pollutants (including chromium, zinc, and phosphorus) in detectable amounts are prohibited. 4. Mass (and concentration) limitations attributable to coal pile runoff and cooling tower blowdown, and other sources of dilution flow mush be incorporated into viae ash pond limitations. (See Aug 22, 1985 Hammer Guidance). 5. "Boiler Blowdown" is a separate category from low volume wastes under 1974 SPNS, 6. Both chemical and non-cheMical metal cleaning wastes are subject to performance standards for metal cleaning wastes. Although these wastes are not indicated in the application, they are generally present at steam electric power plants, unless disposed of .in an, off- site. If you have any cammR„ts or questiozxs, pZea.se contact D 1 Williams of my staff at (404) 562-9297. Sincerely, Douglas 4. Mundrick, P.E., Chief Surface Nater Permits and Facilities Branch Water Management Division- Enclosures ivision- Enclosures MAR -17-98 10=59 FROM=G P T S BRANCH ID=404 562 9224 PAGE 1/3 4 rk UNITED STATES ENVIRONMENTAL PROTECTION AGENCY Y REGION 4 ATLANTA FEDERAL CENTER 61 FORSYTH STREET, SW N4 ATLANTA, GEORGIA 30303-89M FACSIMILE TRANSMISSION SHEET DATE:- t PAGES T1-2N8MITTED :' (inn-luding cover) TO.- � � .. PHONE: ` 91 '7 3 3 ,.. ' � 4�3 FAX: (6) 113 --071j FROM: Dare. Williams, Environmental Engineer Permits Section Surface Water PermiLs and Facilities Branch Water Ma.nagement Division PHONE; (404) 562-9297 FAX: (404) 562-8592 SPECIAL MSTRUCTMONS: RecycleclAacyc M0 • Ptiftted wt h Vegetable Ott Smo Inks on 100% Recy*d P (40% Pwooci° meo MAR -17-99 10=59 FROM=G P T S BRAD ICH ID=404 562 9224 PAGE 2/3 ,TUESDAY, OCT013ER S, .1974 ; WASHINGTON, Dc� _ riFS Og - .. Volume" 39'19 Number 196 PART !ti � ENVIRONMENTAL R T�CTION AGENCY- STEAM ELECTRIC'. 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SAI a<�1' ATLANTA, GEORGIA34303-89051 15 0A 40 CU FG L a FACSIMILE TRANSMISSION SHEET IME M1121 WON. DATi?:� � PAGES TRANSMITTED: �( _ (iricl.ud.ir2g cvvex: ) TO: �_... �-_ PHONE: ( 4 7S a NC 'DW FAX:r Ixou; DdX\ yl. Williams Environmental Engineer Permits Section Surface Water Permits and Facilities Branch Water Management Division PHONE: (404) 552-9297 FAX: (404) 562--8692 SPUCTAT XxSTRVCTX0jgS: ME LVION"''I 1112MEW11). W-10 lip SAM ME Raeyc7 KMwydable • PAoW wdh Vegetable Oi18asod Inks Gn 100% R9gaW Paper(40% Posumsumer) 1/11 PART I- WASTEWATER MONITORING, CONTROLS AND LIMITATIONS FOR PERMITTED DISCHARGERS Page 1 of 6 A.(t ). EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS FINAL Permit Na, MC4038377 During the period beginning on the effective date of the permit and lasting until expirallon, the Permittee is authorized to discharge from outfall serial number 001 (Cooling Tower $lowdown System). Such discharges shall be limited and monitored by the Permittee as specified below: ;PFIUEI�ITx�_ HAftAT fi t <- [F Sf <iF xtifbn-x-r'dx�n .<^';: SK$2'+,Y xs% x `;t t-t`srx tit4.$]i '�•+ v ]� 'a9Y ,%: - XX�b. 'zo_�YS+�( _ •{< f.k v.v- Yx'�-x4J�^Q`j }i_ x :' r •_. •r 4.Y.,';afxr^rtviraadFa,c^i}z4-�;,_•'1F�,nfTf 4' ^xAb n4Pyr•�� lX70.9Li1,{4%fiJC-%b-SrMairrinil�rn: S7Ifu',�`' x " s'`;r _ xx vs�x �z, , x-'xr�af�Y-R �x_ x R : ;•a A37� p r A�1P $ � -t'tirc _ '.a �xxggx�L +iL j�' 7�,� =xi�llontltl 2�a y ,` r fi _asax- x » aF'y ;F ¢,• r. LlM1TS is°;n S ::4$ ;i�r,; avh<;;C}hIITORINC:.REt1IR �' }-'> f .:-y ,�.,.• ., t v`4nr 4-�• 2 if 4rrk'^'4r r% r r wy�jX{-.y �x+v yr '•i )%'•'+,^�v - _ 'r}n �- r{ tis ;_a r�^ a 3-f''4 4 �x-,�t r ` � s • r �^m� xx' p 1{Doll ^ r ,. v� , } ►�yy _ $':iv ,• Y� {• vv _v -_sn v r alt-•::MOasuemenl Sample ctx,v Y, r ' v' y:�_•, �? r1TP1G',r. k, 7_}.r^ _P +4+"xn }-� ,:.` {}fi_,•+ { ^I 'ifx mfm;g,r *k'prre ii6nc Flow Daily Pump Logs E Free Available Chlorine2 200 pqfl 500 PQA Weok[y Grab E Time of Chlorine AdditionL' 2 hours Weekly La s Total ChrorniurrP 0.2 mail 0.2 m fl 21 Month Grab E Total Zln ' 1.0 m 1I 1.0 m 1I 21 Month Grab E The 126 Priority Pollutants (40 CFR Part 423, No delectable Amount Annual Appendix A) Exclusive of Zinc and Chromlum3 Grab ii E FIa Weekl Grab IE ' Sample locations: E - Effluent, Samples taken in compliance with the monitoring requirements listed above shall consist of cooling tower blowdown after mixing with the fly and bottom ash, but prior to discharging into the ash pond. 2 Neither free available chlorine nor total residual chlorine may be discharged from any single generating unit for more than two hours per day, unless the Permittee dernror)strates io the Division of Water (duality that discharge for more than iwo hours is required for macroinvertebrate control. The 500 ug11 limitation is an instantaneous maximum and is to be measured during the chlorine release pariod, The 200 ggtl limitation Is an average during the chlorine release period. Simultaneous MUKI-unit chlorination is permitted, 3 These limitations and moniloring requirements apply only it these substances are added by the permittee for cooling tower maintenance. Compliance with the limitations for the 126 priority pollutants in 40 CFR 423.13 (d)(1) may be determined by engineering catculalions which demonstrate that the regulated pollutants are not detectable in the final discharge by the analytical methods in 40 GFR Part 136. Ail primary industries are required to submit a priority pollutant analysis with their application for permit renewal. 4 The pH shall not be less Than 6.0 standard units nor greater than 3.0 standard units. This permit does not authorize a discharge directly to the Mayo Reservoir except during times in which the cooling tower(s) are drained. The Permittee shall I�� notify the Division of Water Quality, Raleigh Regional 4lfice ((039) 571-4700), prior to draining the cooling tower(s), except during non -office hour emergencies ll� ro when notification muss be made the next working day, The abouo listed limitations for the pollutants shall apply during the draining of the cooling tower(s). 4z - Sampling shall be conducted during the lime of the evonl at the cooling tower blowdown area. The above listed effluent characteristics and pH shall be ,� M sampled daily while draining The cooling tower(s). Special permit conditions applicable to the subject facilly are listed under Part 1, Section 0 of this permit. PART I: WASTEWATER MONITORING, CONTROLS AND LIMITATIONS FOR PERMITTED DISCHARGERS A.(2). EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS FINAL. Page 2 of 6 Permit No. N00038377 During the period beginning on the effective dale of the permil and lasting until expiration, the Permillee Is authorized to discharge from outfall serial number 002 (Ash Pard Treatmant System), Such discharges shall be limited and monitored by the Permittee as specified below_ { ¢y %�_ ; ,x,rr EFFI;_UE}NT���HA�A.C7� _ ::nr-f X =' a yr i au✓_bY a[tiALCihb�h� F.bA{l �y y�i ia S .Cvy'�=iJrvti {rr ivk{ ,Y_.a.X},v%v SYYiix Rx_�b�C),RMYr�y��;C�i� x�x2- �1�-}-�IX�{Sin vSY Ifi7e� �,�y� SF J�°L` 3'33'��jFj��cYA * �43r'io]t^�`i-�}, fx�rr r.yv %".x� x M.�a�• -' x�;t= _b. s,Y:. IMIT �=«-•:��., , ;.-•' Q-,".itiAf}hltT4RIEVG REQtIIREFAENTS,;=-r,r' . r� x { / i4�syv G,K �. . A:•�Oia {� lv anx. iii 1 r Y r - r3+vry ui �a is { ir'kh srf.,xbA^yia.,a �vl�xf,S xYrrrrvyvn Fr r. inti e�'ri Ff r{4fxr _ xr}vX av vxyx grr: ri xx n �n-r l .,vti -br. { P=�r�'}-naL2 Mx a4- 0 X=Jonthly _.•Sxk^} �`�r• .. a�wr Ki'4rbi -0dG JCC „ r nx{Y {7a91y . pally }v rautrem'ent 1 >=x c,�z.. r A�tlaxi`tYtutl�.:„n$ Same ;, rSrn ie ,._. � {r_iyyy '-'+� rNS v-<-Y_.,�ll-vv,}}trb[ i4]v 40 t4i-K v2r"a a �aximt�m -tnhFf�A ridr�o T e' rrv} v+,Arr r, �oCat on Flow Weekly Pump Logs or E similar readings Oil and Grease 16.0 M211 20.0 M911 2 f Month Grab E Tota! Suspended Solids 30.4 m 11 100.0 mclil 2 f Month Grab E Tolal Selenium 3.8 lbs/day 21 Month Grab a E Acute Toxicit 2 Quarters Grab E Arserlic3 �'� , . Quarterly Grab E G4 er3 Grab E iron3 Quarlerly Grab E H° 21 Month Grab IE gates: .. o ' Sample locations; E - Effluent. Samples taken in compliance with the monitoring requirements listed above shall be laken prior to mixing with other waste streams. 2 Acute Toxicity (Fathead Minnow 24hr) No significant mortality al 90%; February, May, August, and November, See Special Condition 1 under Part I, Section m C of this permit. to %%m 3 These metals were monitored during the previous permit period. Allhoegh no level of 'allowable' can currently be established for these metals, continued r ` 10 47�monitoring should be requireddue to thelr presence In the efsluent until an'allowable' level can be determined. i 4 The pH shall not be loss than e.0 standard units nor greater than 9.0 standard units. There shall be no discharge of floating solidsor viSibfe foam in other than ]race amounis outside an area five(5) meters from the discharge pipe. No chemical metal cleaning waste may be discharged to tha ash pond. . ro b There shall be no discharge of polychlorinaW blphenyl compounds such as those commonly used for transformer fluid. M Special permil conditions applicable to The subjeot facility are listed under Part I, Section C of this permit. w MAR -12 -SS 10:42 FROM:G P T 5 BRANCH ID=404 562 9224 PAGE 4/11 SUPPLEMENT TO PERMIT COVER SHEET Carolina Power & Light Company is hereby authorized to: 1, Continue to operate the following systems located at Mayo Steam Electric Generating Plant, off of US Mghway 501, northeast of Poxboro, Verson County (See Dart III of this permit)_ Cooling Tower Slowdown System (outfall 001) This water is usually mixed directly with the ash sluice water_ Occasionally (once per year maximurn) it is not mixed with bottom and fly ash and is discharged directly into the ash pond. Heat exchanger water (low volume waste) is almost continuously discharged through outfall 001. Approximately once every two years the cooling towers are drained completely for maintenance. This discharge goes directly into Mayo Reservoir_ Outfall 001 discharges into the ash pond and is ultimately released into the Mayo Reservoir throygh outfall 002; Ash Fond Treatment System (Outfall 002) The ash pond receives ash transport water, coal pile runoff, stormwater runoff, Cooling tower blowdown, and vanous low volume wastes Such as boiler blowddwn, oily waste treatment, wastes/backwash from the waxer treatment processes, plant area wash down water, and equipment neat exchanger water. The domestic waste from the sewage treatment plant also discharges through outfall 002. • Stormwater Discharge System The facility is permitted to discharge storrmwater through the following outfaIIs Outfall 004 - Drainage from the outside storage area. Outfall 005 - Drainage :From the industrial area and the oil/gas storage area_ Outfalls 006,006a, 006b, 006c, 0064, 006e - Drainage from the chemical feed building and the cooling tower area. 2- Discharge from said treatment works at the location specified on the attached rnap into the Mayo Reservoir which is classified as Class C waters in the Roanoke River Basin. All discharges shah be in accordance with the attachCd schedules - past L Wastewater Monitoring, Controls and Limitations for Permitted Discharges Fart 11; Stormwater Monitoring, Controls and k4mitations for Permitted Discharges Part M- Standard Conditions for NIFDES Permits Part IV: Annual Administering and Compliance Monitoring Pee Requirements Part V: Limitations Reopener 'chis permit does not relieve the permittee from responsibility for compliance with any other applicable federal, state or local law, rule, standard, ordinance, order, judgment or decree. based effluent limltanonn =W MAR -12-98 10=42 FROM=G P T S BRANCH ID=404 562 9224 PAGE 5/11 Carolina Power & might Company Mayo Steam Eleenk Plant Nadowd Poftutant Mwcge mon System Permit Number NM38377 Water ]clow Rates dam 1 Dake 2 Cooling Tower (make-up) 3 Raw Watcz T=tl=nt 4 Sewage Treat nem PI= (STP) 5 Backwash 6 Treated Watzr 7 Oily Waste (infrequent) 8 Lown Vol=e Wastes 9 Boiler BIowdown ' 10 Cooling Tower Basin Drain I z Evaporation 12 Ash Transport 13 Intermittent blowdown of circulating water from heat exchangers Average Flow 14 MGD 13.7 MGD 0.36 MGD 0.002 MGD (O-01 5 design) 0.00175 MGD 0-36 MGD Soo GPM (Marc rare) 1.5 MCD 0.05 MOD at startup 2 MG/event, I/yr. 9 MGD 3.9 MOD ' variable, as needed (blowdown) 14 Heat Excdz=ger (primary► route) 8.5 MGD reci=Iatiag flow 15 Coal file Runoff U.0135 MGD a mal daily average 16 Ash pond 7.3 MGD NOTES: Flow rates xray notbalance due to mi=llaneous losses and system evapomtion �tctostzr$ 3 Carolina PdWar A Llont Company Mayo staam tioutrir. Planx Person County, N.C. Sahgmatie of Water Flow Page 2 of 2 Octobvr 18$6 ?vaparaUan �1 Cooling Towers 14 Misr.. Equipment Heat Exchangers ......_ �. Ash S€ufoe Water I - . I Conde- nsera Maya Reservolr s Raw Water Intake SttU re �' atrnent Fire Protedon Water StarApe a Condensate ion F.xoarige rlt% Boffar &Turbine Istarage rr �, Ash Pani -� oma. ��r� C�•��Kr� Fr dr3'r *s• � c1 4;"414 16 e�sly fI4 ��ia �I %ted . , r Coai-Pile Runoff xed ask uy"" 0-1 - ° / aye. logo, � Potobia & So nlfary Sysi S"Sue Treatment Ql ly Waste Treatment Miso, Low Volume E;afQlkna Pa"t & Ught Company Maya Sleam Eledit Plant Person Cou*, N. G. smemoib of Wow HOW Page 1012 NOvernbet 1996 a m Ln M N M to MAR -12-96 10=43 FROM=G P T S BRANCH ID=404 562 9224 PAGE 7/11 SEp 1 a 1997 REF: 4WM-SWP1?E Mr. Steve Tedder, Chief Water Quality Section Division of Water Quality XC Dept. of Environment, Health, and Natural Resources P.O. Box 29535 Raleigh, North Carolina 27626-0535 RE : NP,DES overview rolima Power & zight Co.. MaYV E3eCtr C Generating Plaut NPDBS Pezvdt NO- MC0038377 Dear Mr, Tedder: In accordance with the EPA/DwQ LOA, we have completed our review of the draft National Pollutant Discharge permit and supporting materials received on August 5, 1997, for the referenced facility and our comments are provided below. These comments were necessary in order to ensure that the permit complies with the applicable regulations and guidance. 'Unless appropriate changes are made, the permit .may be subject to an EPA veto. Our comments generally rema.ira, the same as those provided to your office during previous permit reissuanc4s. Reference is made to our letter dated November 4, 1987 and reiterated is Mr - James Blder's memorandum regarding New Source Performance Standards (attached), The Standards of Performance for New Sources (1974 SPNS) as promulgated on October 8, 1974 (40 CFR 423, 39 FR 36186, particularly 5 423.15) remain the applicable standards for the Mayo plant and not the requirements of the 1982 promulgation (except for more stringent 1982 BAT requirements as noted below) . The following must be corrected prior to reissuance: I. Mass limitations are required in the permit by the 1974 SPNS. we recommend that flow -weighted concentration limitations consistent with the "Guidance for NPDES Permits Issued to Steam Electric Power Plants" signed, MAR -12-96 10=43 FROM=G P T S BRANCH ID=404 562 9224 PAGE 2 by Ms. Rebecca Hanmer on .August 22, 3.985 (attached) , be included in the permit also. 2. Reduction in limitations to include bottom ash recycle under 1974 SPNS (if applicable) . The limitations developed for the bottom ash component of the discharge (QST' 002) should be divided by a factor of 20. 3. Discharge of pollutants in cooling tower blowdown is limited by both the 1974 SPNS and 1982 BAT standards. Accordingly, the discharge of corrosion inhibitors and the 126 priority pollutants (including chromium, zinc, and phosphorus) in detectable amounts are prohibited. 4. Mass (and concentration) limitations attributable to coal pile runoff and cooling tower blowdown, and other sources of dilution flow must be incorporated into the ash pond limitations. (See .Aug 22, 3.985 Hanmer Guidance), 5. "Boiler Blowdown" is a separate category from low volume wastes under 1974 SPNS. 6. Both chemical and non -chemical metal cleaning wastes are subject to performance standards for metal cleaning wastes. Although these wastes are not indicated in the application, they are generally present at steam electric power plants, unless disposed of Jza__aa off- site. If you have any comments or questions, please contact Darryl Williams of my staff at (404) 562-9297. Enclosures Please sign. & date: Proof Williams Sincerely, Douglas F. Mundrick, P.E., Chief Surface Water Perm=its and Facilities Branch Water Management Division Childress 6/11 MAR -12-98 10=47 FROM=G P T 5 BRANCH ID=404 562 9224 PAGE 8/11 2 by Ms. Rebecca Hanmer on August 22, 1985 (attached), be included in the permit also. 2. Reduction. in limitations to include bottom ash recycle under 1974 SPNS (if applicable). The limitations developed for the bottom ash component of the discharge (OSX 002 ) should be divided by a factor of 20. 3. Discharge of pollutants in cooling tower blowdown is limited by bath the 1974 SPNS and. 1982 BAT standards. Accordingly, the discharge of corrosion inhibitors and the 126 priority pollutants (including chromium, zinc, and phosphorus) in detectable amounts are prohibited. 4. Mass (and concentration) limitations attributable to coal pile runoff and cooling tower blowdown, and other sources of dilution flow must be incorporated into the ash pond limitations. (See Aug 22, 1985 Hanmer Guidance). S. "Boxier Blowdown" is a separate category from low volume wastes under 1974 SPNS. 6. Both chemical and non --chemical metal Cleaning wastes ars: subject to performance standards for metal cleaning wastes. Although these tastes are not indicated in the application, they are generally present at steam electric power plants, unless disposed of—Ra off- site. If you have any comments or questions, please contact Darryl Williams of my staff at (404) 562-9297, Enolosures Please sign. & date: Proof Williams ,J Sincerely, Douglas F. Mundrick, P.E., Chief Surface Water Permits and Facilities Branch Water Management Division Childress -% � Jy - h. +fK - %Rxp Y -x x � - x � 31CID � % x-X-]C•:xt Y- _ X �PAA-'.-4i�p %bR�« � -�X- -% r - KARK x- XxOWiC «X KR � OU -%w X�x- X�'���w�'x-� -s x_ �cx� Xo ..xx x� - "_' "" "' - %% X ?yyx Ttv x _ a9GF '� +C _y ' ]f � O ROS )F "�1Cp -C n '%.X%`WC n vXC�� % t L � -O�[- ]S _ b� - fix :ykCO" �0 % k'JC p q�. � • iw .. _- . x- w %.RY�% x yf �%��?Y xS�cjo '�- •=iE�aXc1k�z� f °xX v � _ - 03Y% x Xx _ _ �, • k �5x�if9X +6s Y, � - %n+A+' A �Y+,.+ Page 1 of 6 -zXP�%�sa _ � - kx n� cxr x iP }Rx a _ x- _ fR! � � �Kxk' cPxr �_ �-c x' zX�X ox- x - oi0x. mow aX �" xxox-z - x�cK� k- aaX a -'-kR R -bac Permit No. FL0038377 to X-'kAt-%ny >'. n -P - _ _ % t JOA ' ^-" oAx�+�C9C9C L '10 � PART I: WASTEWATER MONITORING, CONTROLS AND LIMITATIONS FOR PERMITTED DISCHARGERS FEaw, MGD ED A.(1). EFFLUENT LIMITATIONS AND MOMTORINC RFQUIRAFI VENTS -FINAL Pump Logs or Ex� During theperiod beginning on the effective data of this permit and lasting through expiration, the permittee is authorized to discharge from outfall serial number 001 (Cooling TOWL-rBlowdown System). Such discharges m shall be lirnited and monitored by the permittee as specified below: Free Available Chlor]142 WA � -% � Jy - h. +fK - %Rxp Y -x x � - x � 31CID � % x-X-]C•:xt Y- _ X �PAA-'.-4i�p %bR�« � -�X- -% r - KARK x- XxOWiC «X KR � OU -%w X�x- X�'���w�'x-� -s x_ �cx� Xo ..xx x� - "_' "" "' - %% X ?yyx Ttv x _ a9GF '� +C _y ' ]f � O ROS )F "�1Cp -C n '%.X%`WC n vXC�� % t L � -O�[- ]S _ b� - fix :ykCO" �0 % k'JC p q�. � • iw .. _- . x- w %.RY�% x yf �%��?Y xS�cjo '�- •=iE�aXc1k�z� f °xX v � _ - 03Y% x Xx _ _ �, • k �5x�if9X +6s Y, � - %n+A+' A �Y+,.+ xp _ %X °�# v' -zXP�%�sa _ � - kx n� cxr x iP }Rx a _ x- _ fR! � � �Kxk' cPxr �_ �-c x' zX�X ox- x - oi0x. mow aX �" xxox-z - x�cK� k- aaX a -'-kR R -bac •iu^_ _ sfi r PON_ xao2.,- X-'kAt-%ny >'. n -P - _ _ % t JOA ' ^-" oAx�+�C9C9C L -T�'X- _ %[9i%v.WO]n%-•JC �Y K.. 'i' • rt FEaw, MGD Daily Pump Logs or Ex� similar readin s Free Available Chlor]142 WA PIA 2o4 wAyi Soft E9111 weekly Grab E Time of Chlorine Dischar e2 IVA PIA NIA 2 hours VVeeklv Grab E Corrosion Inhibiting Cornpounds3 and the 126 No Detectable amount Annually Grab E Priority Pollutants (40 CFR fart 423 Appendix Ar Hs 1NeelciI Grab E Notes - 'Sample locations: E- Effluent, Samples taken in compiiancewith the monitoring requirements listed above shalt be taken prior to mixing with other waste streams. Neither free available chlorine nor total residual chlorine maybe dfsoharged from any single generating unit for more than two hours per day, unless the Permittee demonstrates to the Division of Water Quality that discharge for more than two hours is required for macro inverlebrate control, The 5D0 pgll limitation is an instantaneous maximum and is to be measured during the chlorine refease period. The 200 Nglf is an average during the chlorine release period. Simultaneous multi-unitchlorination Is permitted. s Including but not limited to zinc, chromium, and phosphorus. 4 These limitations and monitoring requirements apply only if chemicals containing these substances are added by the permittee for cooling tower malntenance. Compliance with thelimitations for corrosion Inhibiting eompounds3 and the 126 priority pollutants in 40 CFR 423.13(d)(1) may be determined by engineering calculations which demonstrate that the regulated pollutants are not detectable In the final discharge by the analytical methods 140 CFR Part 138. All primary mdustrlas are required to submit an priority pollutant analyses with their application for permit renewal, 5 The pH shall not be less than 6.0 standard units nor greater than 9.0 standard units. This permit does not authorize a discharge directly to the Mayo Reservoir except during times in whfch the cooling lower(s) are drained, The permittee shall notify the Division of Water Quality, Raleigh Office (919)571-4700), prior to draining thecooling tower(s), except during non -office hour emergencies when notification must be T made lite next working day. Trio above fisted limitations for the pollutants shall apply during the draining of the cooling tower(s). Sampling shall be conducted during the b time of the event at the cooling lower Blowdown area, The above listed effluent characteristics and pH shall be sampled dally while draining thecooling tower(s), ra Special permit conditions applicable to the subject facility are fisted under Part I, Sectlon G of this permit, Page 2 of 6 , s Permit No. FLD038377 PART h WASTEWATER MONITORING, CONTROLS AND LIMITATIONS FOR PERMITTED DISCHARGERS 03 m A,(2). EFFLUENT ifMITA TIONS AND MONITORING REQUIREMENTS -FINAL e 1. During the period beginning on the effective date of this Permit and lasting through expirailon, the perm Ittee is authorized to discharge from outfall serial number m 002 (Ash Pond Treatment System). a. Such discharges shall be limited and monitored by the permittee asspeoifled below; nuLay: ' Sample locations, E - Efiluent. Samples taken In compliancewith the monitoring requirements listed above shall betaken prior to mixing with other waste streams. Z Acute toxioity (Fathead Minnow 2411-11r) No signlllcant mortality at 80%; February, May, August, and November. See Special Condition ? under Part I, Section C of this permit, 'These metals were monitored during the previous permit period, Although no level of 'allowable' can currently be established for these metals, continued monitoring should be required due to their presence In the effluent until an'allowable' leve! cen be determined, 'The pH shall not be lass than 6A standard units nor greater than 9.0 standard units. There shall be no discharge of floating solids or visible foam in other than trace amounts outside an area five (5) meters from the discharge pipe. No chemical metal cleaning wastes may be discharged to the ash pond. There shall be no discharge of polychlorinated biphenyl compounds such as those commonly used for transformer fluid. SfaWal permit conditions applicable to the subject facility are listed under Part i, Section C of this permit, m m 0 T H U7 �tl b z 0 x N m ry m N N T b 0 M ATTACHMENT A 0P.&LIMayo Steam Electric Plant Ash Pond OSN 002 AVERAGE ............ _................ ..........__ .............. .FLOW TSS O&G ....... ....... ........... ..... .............. ........ ,....... Waste Stream MGD mgli bid mgA Ibld ......................... ............................ CASE f: DRY WEATHER LIMITATIONS Fly Ash Transport water[1 ] Bottom Ash Transport wategl,21 Low volume wastes Oily Wastes Treatment Boiler Blowdown ' Raw Water Treatment Sewage Treatment Condensate Storage[3] Heat Exchanger Blowdown[31 Ion Exchange[4] Cooling Tower Blowdown[5] Ory W eather Lfanitalions [6] � � N q' m MAXIMUM ........................... ......._......_.. FLOW TSS O&G ..... .. ............... .............. MGD mg1I Ibld mgfl ..._..Ipld.. . 1.300 2.600 30.00` 30.00 325.46 32.65 15.00 162.73 1.300 100.00 1084.85 24.00 216.97 1.500 30.00 375.63 15.00 15.04 16.27 187.76 2.600 1.500 100.00 100.00 108.49 20.00 21.70 0.432 30.00 108.15 15.00 54.08 0.432 100.00 1251.76 360.5 20.00 20,00 260.35 72.1 0.500 0.042 34.00 0.00 125,18 0.40 15.00 62.59 0.600 100.00 417.25 20.00 83.46 4.402 30.00 0.50 0.00 0.00 0.00 0.00 0.042 0.002 0.00 46.00 0.00 0100 0.00 0.75 0.40 0.00 .............. �!� 8.376 867.36 8.fl9 3.42$ 6.376 $--59 3223.52 12.11 6.04.574 11 ] Flows Indicated are assumed for fly and bottom ash, equinient to a total flow for Ash Transport Nater of 3.9 MGD; [2] Ash Transport component divided by a factor of 20 based on'74 SPNS [Section 423.16(6)] [3] Not included in calculations since discharge Is infrequent to the ash pond, however, uncontaminated dryweather flow; can give credit based on BPJ and/or available data. [4] Not included in Oak'ulaticins since discharge Is infrequent to the ash pond; however, guidellIn"mited dry weather flow. [6] Not included in calculations since cooling tower bfowdown does not occur simultaneously with ash transport water. [6] Assumes Ash Pond has sufficient capacity; excludes: metal cleaning waste pond effluents, coal pile runoff pond effluent. EO In M 0 z a H N as x b z n x d m A N W N [0 N N A FEB 85 198 88:46AM OPERATIONS & ENVIRONMENT SUPPORT C P&L Carolina Power & Light Company Environmental Services Harris Energy & Environmental Center 3932 New Hill -Holleman Road P.O. Box 327 New mill, NC 27562-0327 FAX TO: FROM: DATE: Dave a drich Fred dolt 362-3558 February 5, 1998 P.1 No. of pages attached: 2 RE: CP&L Mayo Plant NPDES Permit NCO038377 Attached is a "white paper" discussing the issue of anti -backsliding in regard to EPA's concerns with the Mayo draft permit. We looked at all aspects of the anti -backsliding issue (legal, technical, policy & common sense) and decided that the best initial approach to this legal -type issue is a legal -type response. Therefore, this white paper presents a legal approach to the issue. This approach simply presents the fact that the statute and reqs. state that anti -backsliding from the previous permit is prohibited. In the case of the Mayo permit, the proposed draft permit is not less stringent ;from the previous permit so anti -backsliding isn't applicable. I would like to meet at your convenience to discuss. Give me a call if there are any questions. Thanks, ,A • FEB 05 '98 08:46AM OPERATIONS & ENVIRONMENT SUPPORT P.2 10 Back rg_ound NC DENR proposed to reissue a NPDES permit for the CP&L Mayo facility in July 1997. This proposed draft permit contained essentially the same limitations as the previous permit that was effective 02/01/96 and expired 04/30/97 (previous permit). The limitations in the previous permit were based on the 1982 revisions to the Steam Electric Guidelines (40 C.F.R. Part 423) and not the 1974 NSPS since the 1974 NSPS were withdrawn by the 1982 revisions. Additionally, the two modified versions of the permit (September 1985 and January 1986) that immediately preceded the 1996 permit did not contain 1974 NSPS. By letter of September 18, 1997, EPA Region IV objected to the reissuance of the draft permit. Part of the basis for their objection (implied in their objection letter) is that anti -backsliding prohibits the relaxation of permit limitations that were based on the 1974 NSPS. However, the permit proposed by NCDENR does not contain limitations that are less stringent than the limitations in the previous permit since the previous permit did not contain the 1974 NSPS. Analysis Anti -backsliding is not relevant to the circumstances associated with the Mayo NPDES permit. The two sources of authority prohibiting backsliding are Section 402(o) of the Clean Water Act, and 40 C.F.R. § 122.44(1) (including §122.62 by reference). Both sources are limited in scope to restricting a reissued permit from containing effluent limitations that are less stringent than the comparable limitations in the previous permit. However, the current permit proceeding for the Mayo Plant does not involve the reissuance of a permit that contains effluent limitations that are less stringent than the limitations in the previous permit. Rather, the effluent limitations in the proposed reissued permit will remain the same as the limitations in the previous permit. Because no relaxation of the previous permit limitations is J FEE BS '98 oe:49AM OPERATIONS & ENVIRONMENT SUPPORT P.3 s being sought, the backsliding issue is not applicable to the Mayo permit proceeding. • Mayo Plant's previous permit does not contain 1974 NSPS-based limitations. In effiect, EPA is attempting to impose those stricter limitations in the renewed permit. The Agency lacks the authority to do so. When EPA withdrew the 1974 NSPS in 1982, the 1974 NSPS lost their legal effect within the 40 C.F.R. Part 423 rules. Even if the 1974 NSPS retained a residual legal effect by virtue of their having been imposed as a legally binding requirement in an NPDES permit, any such legal effect dissolved once the 1974 NSPS-based effluent limitations were removed from the previous permit. EPA now lacks authority to impose the 1974 NSPS-based limitations in this 1998 proceeding. Both the 1974 rule on which the 1974 NSPS-based limitations were predicated, and any previously expired permits containing 1974 NSPS-based limitations, no longer have any legal sigiuficance. And neither 40 C.F.R. § 125.3 nor any other provision authorizes EPA to reinstate the 1974 NSPS in the renewed Mayo permit. CP&L Carolina Power & Light Company Mayo Electric Generating Plant 10660 Boston Road Roxboro NC 27573 9i A1111ii 19 PH 3: 68 Mr David A. Goodrich, Supervisor NPDES Permit Group North Carolina Division of Water Quality P O Box 29535 Raleigh, North Carolina 27626-0535 Subject. CP&L - Mayo Steam Electric Plant Person County NPDES Permit No. 0038377 Comments on Draft NPDES Permit Dear Mr. Goodrich. 'AUG 1 5 1997 Carolina Power and Light Company (CP&L) has reviewed and prepared comments on the subject draft National Pollutant Discharge Elimination System (NPDES) permit pursuant to the North Carolina Division of Water Quality's (NCDWQ) letter dated July 21, 1997 As stipulated, CP&L's comments (Enclosure 1) are being submitted in writing. CP&L appreciates the continued cooperation demonstrated by the NCDWQ staff in resolving often complex issues involved in renewal of NPDES permits. If you have questions regarding the enclosed information please contact Mr. Ricky Miller at (919)362-3566 Enclosures Sincerely yours, Rodney W P efield - Manager Mayo Electric Generating Plant 10660 Boston Road Tel 910 599-0218 Fax 910 597-7415 Na0 6 Enclosure 1 Carolina Power & Light Company Mayo Electric Generating Plant Comments on Draft NPDES Permit No. NCO038377 The following comments on Carolina Power & Light (CP&L) Company's Mayo Electric Generating Plant National Pollutant Discharge Elimination System (NPDES) permit are submitted pursuant to the North Carolina Division of Water Quality letter dated July 21,1997, from Mr David A Goodrich to Mr Rodney W Patefield The comments address items in sequence that they appear in the draft NPDES permit and transmittal letter Transmittal Letter • The transmittal letter stated that the Division had not received the 1996 yearly study on selenium and its effect on the reservoir as required by Part I, Section C of the current NPDES Permit. This report was submitted to Mr. Preston Howard by letter dated March 21, 1997. In the future a separate copy will be submitted to the Permits and Engineering Unit to avoid confusion on this issue. Permit Cover Sheet V/ • In the section that begins, "to receiving waters designated as the Mayo Reservoir in the Roanoke River Basin in accordance with effluent limitations, monitoring requirements, and other conditions set forth in Parts 1, II, III, and IV hereof', an Y P A additional Part V needs to be added Supplement To Permit Cover Sheet In the first bulleted item under "Cooling Tower Blowdown System (outfall 001)" the cooling tower is referred to as cooling towers Throughout the permit the cooling tower is identified as the cooling tower(s) CP&L requests that cooling towers be changed to cooling tower(s). This change would make the permit more consistent V/ • Under the third bulleted item "Stormwater Discharge System" Outfall 005, CP&L requests that the sentence be modified to read as follows Drainage from the industrial area and the oil /bottled gas storage area The addition of the word "bottled" clarifies the type of gas �• Under the third bulleted item "Stormwater Discharge System" Outfalls 006, 006a, 006b, 006c, 006d, 006e, CP&L requests that the sentence be modified to read as follows Drainage from the cooling towers) chemical feed building structure and the cooling towers) area This would better identify the area covered Part I , Page 1 of 6 p0 I 1 • Effluent Characteristics, Under Effluent Characteristics pH, is required to be �n monitored. Since the Cooling Tower(s) normally discharges to the ash pond and the % ash pond discharge has a pH limit CP&L requests that pH monitoring requirement be deleted from this outfall and Note 4 be removed from the page It should be noted that when the cooling tower(s) drain directly to the receiving water, pH is required to O'k-4„��"� be monitored &6� • The free available chlorine limit of 500 pg/l is described as an instantaneous maximum. The effluent guidelines at 40 CFR 423 13 (d)(1) express the limitation as ({ a "maximum” but does not explicitly state "an instantaneous maximum." The preamble to these effluent guidelines at FR 47, No 224, November 19, 1982, Page 52295, first column, states that these limits are "daily maximum concentrations". Consequently, the limitation of 500 pg/1 should be expressed as a daily maximum and not as an instantaneous maximum. �/ • The last sentence of Note 3 states that all primary industries are required to submit a priority pollutant analysis with their application for permit renewal All primary industries (including steam electric industries) do not have to analyze for all priority pollutants for their application for permit renewal Consequently, CP&L recommends that in order to avoid possible misinterpretation of this permit statement in Note 3, this last sentence be deleted or phrase to read: All primary industries are required to submit a priority pollutant analysis in accordance with 40 CFR Part 122 with their application for permit renewal V/ • In order to clarify the sampling time and the location during the draining of the cooling tower(s), CP&L requests that the last two sentences that authorize draining of the cooling tower(s) be changed by dropping the first sentence and changing the second to read The above listed effluent characteristics and pHshall be sampled daily, at a location prior to discharge to Mayo Lake, while draining the cooling tower(s) Part I, Page 2 of 6 6 4 ,3,)'L - V/• Effluent Characteristics, The metals arsenic, copper, and iron should be identified as either "total", "dissolved", or "total recoverable". 2 • Note 3, Since an `allowable' level has not been established for the above mentioned ° metals CP&L requests that the continued monitoring frequency be reduced to annuals J ® sampling Combined with past data, this reduced frequency should continue to provide a characterization of the effluent Also, a toxicity test is in place to insure the protection of the receiving stream. W Part I, Page 3 of 6 V Analytical Monitoring, CP&L requests that the phrase, "or expansion" be removed from the first sentence As the sentence is currently written, if CP&L did any expansion, even a properly permitted expansion, we would not be authorized to discharge from the stormwater outfalls Under Note 1, the phrase "unless a significant change in facility operations or configuration" already covers the intent of the "expansion" restriction r/• Where, CP&L requests that in 005 the word "bottled" be inserted between oil and gas to clarify the type of gas and 006 a, b, c, d, e be modified to read: Drainage from the cooling tower(s) chemical feed building structure and the cooling towers) area • CP&L requests that 007 a, b be removed from this page in the permit. Note 2, Measurement frequency, In order to clarify when the samples should be taken, CP&L suggests that the words "full year" be inserted between the words "first" and "and". The sentence would then read "The facility must perform analytical sampling during the first full year and last year of the permit regardless of cut-off concentration conditions" Part I, Page 5 of 6 Section A requires the permit to be reopened if "toxicity testing or other studies" indicate "detrimental effects." This reopener is unrestricted, and unqualified and could theoretically require the DWQ to reopen the permit to include limits in the permit if anyone conducted a study and found "detrimental effects" regardless of who conducted the study, what type of study was conducted, or the significance of the "detrimental effects" indicated CP&L believes that the intent of this reopener is to give DWQ the authority to reopen the permit if legitimate studies conducted by or under the supervision of DWQ or the permittee indicate that there is a reasonable potential for the water quality standards for toxicity to be exceeded. Consequently, CP&L requests that this reopener be replaced with the following language. This permit may be modified or revoked and reissued to incorporate alternate monitoring requirements or toxicity limitations in the event that toxicity testing or other studies conducted on the effluent or receiving waters by or under the supervision of DWQ or the permittee indicate decisively that there is a reasonable potential for water quality standards excursions in the receiving stream Part I, Page 5 of 6 P"jh,1e�`,�/ yDk1, • Section B 2. is contradictory to the O&M requirements found at Part III, C 2 Since Part III, C.2 is the only provision of the two that is based on regulation, CP&L requests that condition B 2. be deleted or the phrase "at optimum efficiency" be replaced with "in accordance with Part III C 2 " PartI' g of Pa e 6 6 i` � ►Jq ch • In light of the above comment regarding the permit reopener on page 5 of 6, CP&L ��°�1 requests that the fourth paragraph on this page be deleted Vj 01) • Selenium Study, The permit requires that the permittee conduct biological and © physical /chemical studies by April 1 for the prior calendar year CP&L requests that the due date be changed to May 1. Most of the CP&L reports are due April 1, so by �(f allowing the date to be changed, CP&L could utilize it's resources more effectively. .1 • Crutchfield Branch, The permit as written requires Crutchfield Branch to be ,( monitored quarterly This discharge has been monitored quarterly since 1985. CP&L AT1 believes that this amount of data should be sufficient to conclude that the ash pond does not impact Crutchfield Branch CP&L requests that this monitoring be R e� OVIIJ eliminated or reduced t annually yc— V)0#�� 6 Part III, Page 10 of 21 w• Section B. 3. Civil and Criminal Liability lists "Bypassing" and "Power Failures" as �1 relief for noncompliance. Since an "Upset" also constitutes an affirmative defense for noncompliance with technology based effluent limitations, CP&L requests that "Upsets" also be listed in B.3. as an exception to noncompliance 4 TO �e ..,............_... Fax{ -33-..01 ).9'......,...... 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AllqqrnmentsrecoIved'pfl0f,16'1haQdaIe will beF—�-ITdetermin�tions',Wre6aiding�, the'proposed pqrmitA public meetingald where the Director of themay be heDIVISIC V,Management finds �a, significantd aft permit sA 'copt, of ther calling the",,of �0 EnvironmentalBox 29535,,olina 27626-0535,Raleig North CanWo appllcatlon',,and otherd at theselocations during normal office hours.Copies of the information on file areavailable upon request and pagentof the costs of reproduction A hdomments or requests regarding aproposed permit should makereference to the NPDES permitnumber listed below.Public notice of intent to issue aState NPDES permitto the following J;NC �7662,jPlant, off US Highway 501, northeastof Roxboro 16 Person -County I TheMGDP1qf4treated,-'domestic and,.industrial w4stewiter from two outfallsw jter�,, body 'in, that, Roanoke River,,,Basi6'.,Fors,soi�'k,pararneters theavailable 16adic4acity of the,ImM6dlate r66eivihg, water will beconsdmed.jhii,ma affect futurewater Ua itwithin this -ad Itl6opi,69, in 014MeVIPTT N1,1377, _erqon,,Oounty, The facility'domestic and"diate receiving�illable loadaled. This may''quality 'based',166 orgirs In q p,Ppj ton Howard Jr.P.5. Director,,VI jRq,%Pnv1 ' ED BECEIV. 1997" ~ AUG�� �� ' �"v - ' DVVOBUDbE|n~c`-- F�F PERSON COUNTY v vy PRINTER'S AFFIDAVIT =------------ S��"------- ------ ------------- -- ----------- being duly sworn, deposes and says: That he is-----------_f_'_1:� --- ------------------------ of The Courier -Times, with its principle place of business located in the City of Roxboro, County of Person, State of North Carolina; that the foregoing or attached newspaper notice was published in The Cour'er-Times, once a week for -------- k ---- _--- successive weeks, be- ginning y _-_ _ ----------, 19 9�., ands ending with its issue of____ �-___-_ innin wit its issue of __ __�_____da of _ _ _ __ day of _ __ _ __ _______________________ 19_?7__; that The Courier-Times,giepowner and publisher of said ne paper, The Courier -Times. - -- -----------------------.___(Affiant) Sworn to and subscribed before me, th' the5 ------ day of -- -------------------r 193-7 4d)--- = - ---------- ------------- Notary P lic _ __-CjQ My commission expires the-��_day of__ _ _ _----__---_--------------------- 19_! U _. , - (Publication Fee $ 8 7 L L ) (Notarial Seal) t` is y, `PUBLIC NTiCE'°`'� 7 i STATE OF, NORTWCAR&1114 `` ENVIRONMENTALI,';!,< ,:;;1 �IANAGEMENT,COMMISSION s; POST OFFICE.BOX 29535. t<' RALEIGH, NORTH CAROLINA'f 1":'27626-0535 NOTIFICATION OF INTENTYTO,.; r$ I ISSUE A STATE NPES PERMIT. ` ', EIV ED ' On the tiasis�"o};ihoidughylstaff`�� ' review and application of Aiticlei21 df Chapter, 143,' GenfiraI',Statutes'i of; n North Carolina„ Public; L'aw? 92-5b0 h AUG 0197 and other, lawfur, tand, i -i and -� • regulafin a,!tHa North' C5t51in4A' Envir0nmen4al!'?� Maria bment 1 Commission pproposes' to; s§ue',a;, DWQ BUDGET OFFICE permit to discti5rge"to this' 'e'rsBriS'; listed below effe6tive'9/1%97,and ;',subject to speclal 66dition's, vitt``"°„fxt Person'swisliiri�tocdmme�til�o'riF�P tdr object{;,toy; thej,,Ipropnsedw ' deteiminati3ns'�aretfn�ited'i`di;5i(bihitt', � , �`sa"m� In Julitih�tb t�'e'�tibriii''a'�d�ess3' i � " ' , � no latei,ifihWl 115197�tAll;,ctitriifi is ;; 1 •"•"" •";' " "'"•�;' " ` _ raeefvfifl pNB�; d,�t l`dlj Qt�; L f i • '' , i , , j' } ' � 1 a f q -- - - `” Coiislderedllia df idfi onbf,li"al r1 r'il ; ,ry ' 44' {; ;L' , t,�,,N"G;: I,t,r�t:F4': •ii.,1�'� '•fir, .l ,,y�"S.\10 j,• tdf�tel�rTlinatlon �''f�r�� dIh^.4Fn�'i'Op S�fJd�Cmr�lspapyyg,be`IiS�,WrD vitlon'. .t: Ivironmeni d��na� �L&t �,15 � t ���i'i� 4? �- f� �t d •�r .`.� t•%•�d 'y+ ��,�ti;�. tt t���S. �y�7�`��1{f3`'�t_yh',?{ t�,t = r ••��_-��. 9. ; 'r',S e�• •Y,,=�• '.c� lye r atJ=��;�! .�},�.rd�t`3iJ.{;:+, 4,x.�k.,E,. �,• s,�f�i.�,!'V��ia,,��.�'h;9r, �`itL�y `r j'S�r•:�tR}'+�!;; �i ' , r4', ,��•. la 'r !+�{ t' � p,y ; �t�',jr�. a(on' ?Y,� t l 3J ',I' t. �," r,,::, •�.� � �fRl� `6:', �' �� a,K' s d�' w+�ibi tl' :7�,• t'�j ti `�3 k� Y � ���! 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'•� ;} yri;r{._bt:� r`:. 1. r''=.;;•C,(ndustr'a11n!a`stewatrfrorniwdouNallst` a%«1' _`+• ; „ : '.•r �; '{k `,,i ` i r�i." 1• ,f e= -'`, t r ri, w,,'{M� I Pr ared B Q--- Date Ap roved By Date - Rf: e(ved By Date Da a Entered By Ve dor ID#- D / 2Z Group# Co trol# Date: Company Amour ACCOUnt Cent .r Tha You For Your Business' EI =j AUG 0 4 1997 DWQ GUOGEt OFFICE e xa St w e t ,'Mc'AM U � * !�A YOUR NE s .,, n gr a r � i k rpt=SzaBALAf�GE'(S # i iv 300It15 OD Y '3 `]Me Courier-T3=e PUBLISHED WEDNESDAYS AND SATURDAYS • 109 Clayton Ave - P 0 Box 311 STATEMENT ROXBORO, NORTH CAROLINA 27573 ACCOUNTw,IDATEQ— PHONE 910-599-0162NUMBE�I .0 onv YR stabl�shed FAX 910-597-2773 b101750 08!01197 1881 TERMS. Net due first of month following service MS. FRANCES COTTEN charge 1'/2% per month on past due NCDEHNR DIV. OF ENVIRONMENTAL accounts - $1 00 minimum P.O. BOX 29535 RALEIGH, NC 276264125 $ 9 9. INDICATE AMOUNT PAID RETAIN THIS PORTION ACCOUNT STATEMENT DATE CHECK NO PREVIOUS BALANCE .00 b101750 NUMBER 08/01/97 DATE PAID 17/12/97 b5 s'520 NPSES No. NC0038377 Carolina 10.75 L gal Notices 8.15 87.61 f ' I Pr ared B Q--- Date Ap roved By Date - Rf: e(ved By Date Da a Entered By Ve dor ID#- D / 2Z Group# Co trol# Date: Company Amour ACCOUnt Cent .r Tha You For Your Business' EI =j AUG 0 4 1997 DWQ GUOGEt OFFICE e xa St w e t ,'Mc'AM U � * !�A YOUR NE s .,, n gr a r � i k rpt=SzaBALAf�GE'(S # i iv 300It15 OD Y Of DEHNR/DWQ FACT SHEET FOR NPDES PERMIT DEVELOPMENT NPDES No NC0038377 Wasteload Allocation Summary 1982 looks as it plant had not yet been completed I-acllrty chd receive permit for doinestic waste tre lted to Secondaly levels 1987 WLA perfoimed with limits foi vartou� pipe 1991 notes indicate that EPA objected to ptevunn D1aft perntt .ind the hsue5 had not been settled, therefore facility had been operating without a permit since 1987, (EPA's reasons for objecting not outlined) WLA was tot combination of pipe 003 (domestic) to the ash pond, (pipe 002) Recommendations included BOD, TRC, and fecal coliform limits These were dropped after consideration of dilution involved in this effluent Metals Even with a conservative estimate of' 1 2 dilution, mon1to11ng was recommended Crutchfield Branch This tributary used to have its head at the location of the Ash Basin Because of this, it was suspected that the clay berm which creates the dam for this ash basin may be leaking into this waterbody Therefore, a requirement to do quarterly Facitity Information A phcant/Facility Name: CP&L / Mayo Steam Electric Generating Plant Applicant Address 10660 Boston Road, Roxboro, NC 27573 Facility Address US HW 501, Northeast of Roxboro Permitted Flow Not Limited Type of Waste Industrutl - 99 8% Domestic 0 2°c Facility/Permit Status Existing/Renewal County Person Stream Characteristics Receiving Stream Mayo Resei volr Stream Classification C Subbasin 03 02-05 Drainage Area (m12) Lake Summer 7Q10 (cfs) Lake Winter 7Q10 (cfs) Lake Average Flow (cfs) Lake IWC (%). Lake Miscellaneous Regional Office Raleigh USGS Topo Quad I A23SW Wasteload Allocation Summary 1982 looks as it plant had not yet been completed I-acllrty chd receive permit for doinestic waste tre lted to Secondaly levels 1987 WLA perfoimed with limits foi vartou� pipe 1991 notes indicate that EPA objected to ptevunn D1aft perntt .ind the hsue5 had not been settled, therefore facility had been operating without a permit since 1987, (EPA's reasons for objecting not outlined) WLA was tot combination of pipe 003 (domestic) to the ash pond, (pipe 002) Recommendations included BOD, TRC, and fecal coliform limits These were dropped after consideration of dilution involved in this effluent Metals Even with a conservative estimate of' 1 2 dilution, mon1to11ng was recommended Crutchfield Branch This tributary used to have its head at the location of the Ash Basin Because of this, it was suspected that the clay berm which creates the dam for this ash basin may be leaking into this waterbody Therefore, a requirement to do quarterly CP&L Mayo Steam Electric Generating Plant NCO038377 Page 2 of 2 monitoring of this waterbody was required in the permit, (Part I, Section C) Below is the data from the beginning of 1995 to the present. Total Total Total Date Copper Arsenic Selenium Comments June 3, 1996 < 1 1 < 5 March 4, 1996 < 1 < 1 < 1 arsenic December 6, 1995 99 26 < 1 July 10, 1995 < 20 < 1 < 1 April 27, 1995 < 20 < 1 < 1 January 12, 1995 < 20 < 1 < 1 Proposed Schedule for Permit Issuance previously given in mg/l, now µg/1 Iron 3,400 µg/l - facility believes this to be an anomaly, probably lab error as they were switching labs at that time. Iron 2,000 µg/l Iron 2,500 µ/I Iron 3,600 µg/1 Draft Permit to Public Notice: July 16, 1997 Permit Scheduled to Issue: September 1, 1997 State Contact If you have any questions on any of the above information or on the attached permit, please contact Jeff Myhra at (919) 733-5038 ext 597 Facility Notes for CP& -L Mayo (NC0038377) May 1, 1997 MEMORANDUM TO: File FROM: Jeff Myhra DATE: May 1, 1997 SUBJECT: Permit file review for CP&L Mayo (NC0038377) Facility Information: Qw = Flow Not Limited Mayo Reservoir 03-02-05 Stream Class: Mayo Reservoir C 9-1-57 22-58-15 There are currently two permitted discharge points at the facility (outfall 001 and outfall 002) In addition, four outfalls (outfalls 004, 005, 006a, b, c, d, e, and 007a, b) were established to monitor facility stormwater flow. The following is a description of each outfall at the CP&L Mayo facility (see attached map for outfall locations): Outfall 001: Cooling tower blowdown. This water is usually directly mixed with the ash sluice water. Occasionally (once per year maximum (if ever)) it is not mixed with bottom and fly ash and is discharged directly into the ash pond. Heat exchanger water (low volume waste) is almost continuously discharged through outfall 001. Approximately once every two years the cooling towers are drained completely for maintenance. This discharge goes directly to the Mayo Reservoir. The established permit limits still have to be met with this discharge (see attached flow chart for further clarification). • Outfall 002: The ash pond receives ash transport water, coal pile runoff, stormwater runoff, cooling tower blowdown, and various low-volume wastes such as boiler blowdown, oily waste treatment, wastes/backwash from the water treatment processes, plant area wash down water, and equipment heat exchanger water. The sewage treatment plant effluent is also routed to the ash pond. • Outfall 003: Domestic sewage use to discharge here. It now discharges into the ash pond. • Outfall 004: Drainage from the outside storage area. • Outfall 005: Drainage from the industrial area and the oil/gas storage area. • Outfall 006a,b,e.d,e: Drainage from the chemical feed building and the cooling tower area. l� Ac4e.,, IWd/ �c ✓ 'b-" el l • Outfall 007a,b: Drainage from the railroad area. �`� � .7 -`o -r ��� Facility Notes for CP<&L Mayo May 1, 1997 Page 2 of 3 The facility currently has a daily maximum limit of 3 8 lbs/day for selenium Apparently during the last renewal, CP&L questioned Se as a daily maximum limit The old model run for Se in Mayo used the 5 µg/1 cntena under design conditions Therefore, the daily maximum limit is appropriate. This information is dust a FYI I think CP&L will closely scrutinize the Se limit during this renewal Special condition 4 under Part I, Section C was included to ensure proper maintenance and operation of the domestic plant to secondary standards. Staff report was prepared on March 3, 1997 by Steve Mitchell • Staff report identified the following constituents as having a possible toxic effect on the receiving stream Selenium, Arsenic, Cadmium, and Chlorine • Region recommend reissuance of permit The facility has a history of compliance with the permit limitations and monitoring requirements WLA was prepared by Ferrell Keough on 4-6-97 See attached summary sheets (40 CFR requirements) prepared for modeler review • Special Condition 3 requires an ongoing study of Crutchfield Branch. The ash pond was built such that the headwaters of Crutchfield Branch might be affected by the leaching of metals or other toxicants through the berm into the receiving stream Samples taken in December 1995 indicated very elevated levels of copper, arsenic, and selenium. Arsenic, Copper, and Iron monitoring was added to outfall 002 The following conclusions were drawn by performing a reasonable potential analysis: Parameter Maximum Predicted Concentration Gtg/O Allowable Concentration Arsenic 46 8 g/1 26 0 µg/l Copper 8.5 0 µg/1 50 0 µg/l Iron 1 2 mg/1 0 6 m g/1 The monitoring requirements for the parameters listed above were included in the draft due to the fact that the maximum predicted concentration for each parameter, determined by performing a reasonable potential analysis, is greater than the allowable concentration as stated above Facility Notes for CP&L Mayo May 1, 1997 Page 3 of 3 Upon review of the available DMR data, it was noticed that data was missing for the following two months : 5-96 and 6-96. I contacted Ricky Miller on 1-14-97 to discuss this issue. Evidently they were in a maintenance outage during these two months. The existing permit listed specific stormwater definitions under the Part III "Other requirements; Special Condition G." These definitions were removed from the special conditions section since they are covered in the boilerplate language under Part III, Section A of the draft permit. pH monitoring was added to outfall 001 and outfall 002. Monitoring for pH is required as per 40 CFR 423.12 (b)(1) BPT. '_ _ _ --t �iLt_e � %`�''S C9'%��,� � �L2�� E� -•vn11%62 Ce_Utclti��Fle�, �elaNCl-I '� -L- 3j(G FOR APPROPRIATE DISCHARGES, LIST COMPLETE GUIDELINE LIMITATIONS BELOW Effluent haractg�ri outrall 060t Monthly .A.ver4ge Daily Maximum - Comments H Shall be in the ran e of 6.0 to 9.0. 40 CFR 423.12 (b)(1) BPT TS S2 30.0 m 100 0 m 40 CFR 423 12 (b)(3) BPT Oil, and Grease 15.0 m 20.0 m 40 CFR 423.12 (b)(3) BPT Free Available Chlorine 0.20 m 0.50 m 40 CFR 423 13 (d)(1.) BAT 126 Priority Pollutants No Detectabae Amount 40 CFR, 423.13 (d)(1) BAT Chromium, Total 0.20 mgil 0.20 m 40 CFR 423.13 (d) (1) BAT Zinc, Total 10 m 10 m 40 CFR 423 13 (d)(1) BAT 40 CFR 423 13 (d)(2) BAT 40 CFR 423.13 (d)(3) BAT Cooling tower blowdown. This water is usually directly mixed with the ash sluice water. Occasionally (once per year maximum (if ever)) it is not'mixed with bottom and fly ash and is discharged directly into the ash pond. Heat exchanger water, (low volume waste) is almost continuously discharged out 001 Approximately once every two years the cooking towers are drained completely for maintenance. This discharge goes directly to the Mayo Reservoir. The established permit limits still have to be met with this discharge, (see attached flow chart for further, clanfication). 2, This provision applies to outfall 001 since low volume wastewater is discharged through this outfall. I believe these limits were not applied to this outfall in the last renewal because these parameters are monitored at outfall 002 Outfall 001 discharges into the ash pond and the ash pond then discharges into the Mayo Reservoir through outfall 002 The limits are being met at outfall 002 so it would not make sense to monitor there parameters at outfall 001. See attached flow diagram for clarification Type of PriiAiict Produced Mwe P66dikid Effluent Gu,idelines ReNrence Electricity (the facility is an electric 745 40 CFR Part 423 - Steam Electric Power generating plant using coal-fired boilers to Generating Point Source Category produce steam for turbine generators with a combined net capacity of 745 MWe. FOR APPROPRIATE DISCHARGES, LIST COMPLETE GUIDELINE LIMITATIONS BELOW u[en haracteristi,cs 0!! aall 'P ]G Monthly Av rag -7... Daily Maximum comments H TSS Shall be in the range, of 6.0 to 9 0. -11 40 CFR 423 12 (b)(1) BPT Oil & Grease 30.0 m 15.0 10 0. 0 T mg 40 CFR 423 2 (b)(3) BPT Free Available Chlonne2 m 0 20 m 20.0 mo 0 5'0 m 40 CFR 423 12 (b)(3) BPT 40 CFR 423.13 (d)(1) BAT 126 Priority, Pollutants ' No Detectable Amount 40 CFR 423.13 (d)(1) BAT Chromium, Tota12 0 20 m 0.20 m 40 CFR 423.13 (d) (1) BAT Zinc, Totah o �„ 1.0 m '10 m 40 CFR 423.13 (d) (1) BAT 40 CFR 423.13 (d)(2) BAT 40 CFR 423 3 (d)(3 BAT The ash pond receives ash transport water coal pile runoff, stormwater runoff, cooling tower blowdown, and vanou low volume wastes such as boiler blowdown, oily waste treatment, wastes/backwash from the water treatmen processes plant area wash down water, and equipment heat exchanger water. The sewage treatment plant effluent is also routed to the ash pond These parameters are monitored at outfall 001. Outfall 001 discharges into the ash pond. The ash ,pond discharges into the Mayo Reservoir through outfall 002. See attached flow diagram for clarification. Ty -0e of Piodu_cT7Fr_Mu&da ro uce dent Guid0ifies Raki6ce Electricity (the facility is an electric generating plant using coal-fired boilers to produce steam for turbine generators with a combined net capacity of 745 MWe 745 40 CFR Part 423 Steam Electric Power Generating point Source Categoy MEMORANDUM SUBJECT: Facility Review Questions for CPc&L, Mayo May 2, 1997 Dave GoodripJi Jeff Myhra May 2, 199 Review Questions for CP&L Mayo (NC0038377) The following is a list of questions I came up with as I put the draft permit together. • In reference to stormwater monitoring: The facility acknowledged the fact that they have not completed EPA form 2F to date. Evidently the facility has been unable to sample representative stormwater discharges at the outfalls because of abnormal meteorological conditions. The facility will submit form 2F once th are able to col�ect a the proper samples. Is this a major problem?? V G�(41a4l #V- 17-1 • Special Condition 2 requires the subject facility to perform a selenium study. The results of this study are required to be submitted each year by April 1 for the prior ��, ��O'fp4' calendar year. To date, this report has not been received Farrell made a call to the ' 1' facility and it is expected that a copy of the report will be submitted in the near future v Would this holdup reissuance of the permit??,� l7 �, F P'� � (.-,���t��8�0s1 «, • I assumed that the stormwater monitoring requirements as stated in previous permit would remain unchanged in the renewal (Page A.(3)) It would probably be a good idea for us to sit down and discuss this. I really do not know that much about the stormwater program. D(, • The following questions pertain to the "new" boilerplate language for CP&L facilities (the format that you e-mailed to me): • Under Part II ... I assume that the facility has already prepared ae r,, Stormwater Pollution Prevention Plan since this language was included,'' L� J in the last permit cycle. I did not see record of this in the permit file. Should this language be included again? I kept this language in the draft permit. • On the Supplement to Permit Cover Sheet .... Part V " Limitations Reopener" language was not included in last permit cycle. I included it . as part of the draft permit since it is part of the new boilerplate language you sent to me. • On the Supplement to Permit Cover Sheet The second to last paragraph " Any other wastewater. " was included to the draft since it was included in the last permit cycle This language was not part of the / new boilerplate you sent to me Should it be included as part of the draft? • On the Supplement to Permit Cover Sheet . I mcltided Part II "Stormwater Monitoring, Controls and Limitations for Permitted Facility Review May 2, 1997 Page 2 of 2 Questions for CP&L Mayo Discharges." I assume this is how we should reference these conditions. All the language in the existing permit is covered under the {/ new boilerplate just in a different order. • On the Supplement to Permit Cover Sheet .... I deleted Part III "Other Requirements" on existing permit. I revised this to match the boilerplate you sent to me. Special conditions are now covered under Part I, / Section C. v Under Part II ... The language in the new boilerplate, under Minimum Monitoring and Reporting Requirements, you sent to me is somewhat as different than what was listed in the last permit cycle. Paragraphs a, b, c, d, e, and f are all new This text was not included in last permit cycle. Should I keep it in the draft permit? Under Part III, Section A . The definition for Representative Storm�� • Event (Number 16) was somewhat different in the last permit cycle. Ir included the definition as stated in the existing permit not what was listed in the boilerplate language you sent to me. • Should the 126 Priority Pollutant analysis be applied to outfall 001 or outfall 002? Does it make sense to perform this monitoring at outfall 001 since 001 is an internal `U outfall (see outfall descriptions under facility notes)? The existing permit has the 126 I,t priority pollutant analysis (performed monthly by grab sample) at outfall 001 and the priority pollutant analysis (performed annually by grab sample) at outfall 002. Maybe the monitoring at 001 was the old APAM monitoring and we should actually apply the priority pollutant analysis at 002. The WLA only indicated priority pollutant analysis at 001. What do you think? • In Susan's notes from the last renewal, she stated that the facility requested a reduction CG�! in monitoring from 2 / month to monthly. Evidently this was not possible in 1995, but (% she stated that it may be possible at time of renewal. Let's sit down and discuss the monitoring frequencies here. F 1, To: Permits and gi erin nit Water Qu ity Section Attent ' n: ,Lef f Myrha^ Date c NPDES STAFF REPORT AND RECOMMENDATION County--P-ex-s-on Permit No. NC0038377 PART I - GENERAL INFORMATION 1. Facility and Address:CP & L Mayo 2. Date of Investigation:March 3, 1997 3. Report Prepared by: S. Mitchell 4. Persons Contacted and Telephone Number:Ricky Miller 362-3566F �6Z-3Zb �� 5. Directions to Site:501 n to Bethel Hill. Right CD to plant. 6. Discharge Point(s), List for all discharge points: Latitude: 36"31'15" 001 Longitude: 78952'56 Latitude: 36"3203_ 002 Longitude: 78953'27 Attach a USGS map extract and indicate treatment facility site and discharge point on map. U. S. G. S. Quad No. --A2.3_S-W—U . S. G. S. Quad Name C1ust-e-r- B-ps in gs-_ 7. Site size and expansion area consistent with application ? Yes Yes No If No, explain: 8. Topography (relationship to flood plain included): rolling hills 9. Location of nearest dwelling:1/2 mile 10. Receiving stream or affected surface waters: MAYO LAKE a. Classification:C b. River Basin and Subbasin No.:Roanoke 030205 C. Describe receiving stream features and pertinent downstream uses:Mayo Reservoir PART II - DESCRIPTION OF DISCHARGE AND TREATMENT WORKS 1. a. Volume of Wastewater to be permitted: 0-012.5 MGD(Ultimate Design Capacity) b. What is the current permitted capacity of the Waste Water Treatment facility?0.0125 MGD C. Actual treatment capacity of the current facility (current design capacity)?0.0125 MGD d. Date(s) and construction activities allowed by previous Authorization to Construct issued in the previous two years: e. Please provide a description of existing or substantially constructed wastewater treatment facilities: 001 discharge from Cooling Towers 002 discharge from Low Volume Wastes (coal pile, package plant), f. Please provide a description of proposed wastewater treatment facilities: g. Possible toxic impacts to surface waters:Se, As, Cd, C1 h. Pretreatment Program (POTWs only): in development approved should be required not needed 2. Residuals handling and utilization/disposal scheme: a. If residuals are being land applied, please specify DEM permit no. Residual Contractor Telephone No. b. Residuals stabilization: PSRP PFRP Other c. Landfill: d. Other disposal/utilization scheme (Specify):On site in ash pond 3. Treatment plant classification (attach completed rating sheet): 4. SIC Code(s):4911 Wastewater Code(s) of actual wastewater, not particular facilities i.e.., non -contact cooling water discharge from a metal plating company would be 14, not 56. Primary 14 secondary 16-, 12, 60,x$, 70, 73, Main Treatment Unit Code: D3-%5= 0 — 2 PART III - OTHER PERTINENT INFORMATION 1. Is this facility being constructed with Construction Grant Funds or are any public monies involved. (municipals only)?No 2. Special monitoring or limitations (including toxicity) requests:None 3. Important SOC, JOC or Compliance Schedule dates: (Please indicate) Date Submission of Plans and Specifications Begin Construction Complete Construction 4. Alternative Analysis Evaluation: Has the facility evaluated all of the non -discharge options available. Please provide regional perspective for each option evaluated. Spray Irrigation:NA Connection to Regional Sewer System:NA SubsurfaceNA Other disposal options: 5. Other Special Items: PART IV - EVALUATION AND RECOMMENDATIONS This facility has a history of compliance with the permit limitations and monitoring requirements of the NPDES Permit and the Raleigh Regional Office recommends the renewal of the discharge permit for a period of time consistent with the river basin policy. Signature of report p:Ceparer �p Water Qua ity Regional Supervisor Date cP&L Carolina Power & Light Company Mayo Electric Generating Plant 10660 Boston Road Roxboro NC 27573 Mr. A. Preston Howard, Jr. Director North Carolina Division of Water Quality 512 N. Salisbury Street P O. Box 29535 Raleigh, North Carolina 27626-05354 Subject: Carolina Power and Light Company Mayo Steam Electric Power Plant National Pollutant Discharge Elimination System (NPDES) Permit No. NCO038377 Dear Mr. Howard- On October 28, 1996, Carolina Power & Light Company (CP&L) requested that the NPDES permit for the Mayo Steam Electric Plant be renewed. At the time the renewal request was made abnormal meteorological conditions prevented representative stormwater samples, associated with industrial activity, from being obtained from the applicable outfalls. Since then CP&L has been able to obtain representative samples from all outfalls except outfall 007. CP&L has still not been able to collect a sample from discharge point 007, which is drainage form the railroad area. As a result of conversations and meetings with Bradley Bennett, the Stormwater Supervisor, and with Steve Mitchell, Raleigh Regional Office, it is believed that this discharge point should be deleted in the new permit because of the small amount of drainage area and the sufficient buffer area between the discharge points (A&B) and the lake. This action is further supported because there has not been an opportunity to sample this discharge location because of the retention time that this drainage area has. CP&L requests that this be considered when the new permit is issued Enclosed are the 2-F forms required to be submitted. CP&L appreciates the continued cooperation demonstrated by the NCDWQ staff. If there are any questions regarding the information provided, please contact Mr. Ricky Miller at (919)362-3566. Sincerely, Rodney W. Patefield Mayo E. G. Plant - Manager DFP/dfp Enclosures c: Mr. Dave Goodrich, Permits Supervisor 10660 Boston Road Tel 910 599-0218 Fax 910 597-7415 JUL 1 0 1997 —' C— On October 28, 1996, Carolina Power & Light Company (CP&L) requested that the NPDES permit for the Mayo Steam Electric Plant be renewed. At the time the renewal request was made abnormal meteorological conditions prevented representative stormwater samples, associated with industrial activity, from being obtained from the applicable outfalls. Since then CP&L has been able to obtain representative samples from all outfalls except outfall 007. CP&L has still not been able to collect a sample from discharge point 007, which is drainage form the railroad area. As a result of conversations and meetings with Bradley Bennett, the Stormwater Supervisor, and with Steve Mitchell, Raleigh Regional Office, it is believed that this discharge point should be deleted in the new permit because of the small amount of drainage area and the sufficient buffer area between the discharge points (A&B) and the lake. This action is further supported because there has not been an opportunity to sample this discharge location because of the retention time that this drainage area has. CP&L requests that this be considered when the new permit is issued Enclosed are the 2-F forms required to be submitted. CP&L appreciates the continued cooperation demonstrated by the NCDWQ staff. If there are any questions regarding the information provided, please contact Mr. Ricky Miller at (919)362-3566. Sincerely, Rodney W. Patefield Mayo E. G. Plant - Manager DFP/dfp Enclosures c: Mr. Dave Goodrich, Permits Supervisor 10660 Boston Road Tel 910 599-0218 Fax 910 597-7415 OUTFALLS Narrative Description Outfall 004 - Drainage From Outside Storage This outfall is located on the west side of the plant site and drains to the reservoir, using catch basins and storm sewer. The industrial activity drained to this outfall is primarily the facility's outside storage area including a loading dock. Materials that are not weather sensitive are stored in this area. These include empty lubricant drums, structural steel, pipes, and some large equipment parts Virtually the entire area is loose gravel, except for the unloading dock which is concrete. There is a small storage shed in the back of the outside storage area. This shed contains any chemicals or oils that would be stored in this area. Outfall 005 - Drainage From Industrial Area The outfall is located on the west side of the facility and is the end point of the plant's primary storm sewer system that drains the "power block" of the plant, including the area around the boilers and turbine buildings (both are open, no roof or walls), precipitators, and the roofs of the machine shops, administrative buildings, warehouse, parking lot, and miscellaneous support facilities, such as the water supply treatment, ash storage silo, and transformers. Also draining to this outfall through sewers is the grassed area intended for Unit 2 at some time in the future. The potential pollutants that could be in this discharge include coal, coal ash, sediment, and the chemical make-up of the rain water. Outfall 006a b.,c,d,e - Cooling Tower Area Outfall 006 is located at the eastern end of the site and drains the area around the cooling towers, including the roof of the chemical feed building and associated roads and parking. There are five separate outfalls in the cooling tower area. All these outfalls involve catch basins ans storm sewers that drain to swales and then to the reservoir. The cooling tower itself has a basin for recirculating cooling water and therefore, does not directly contribute to storm water runoff. The potential pollutants that could be in this discharge could include sediment and the chemical make-up of the rain water. Outfall 007a,b - Drainage From Railroad Area Outfall 007 drains the terminal end of the railroad spur used to temporarily store coal cars. This outfall discharges to a swale that leads to the reservoir. The distance along this swale to the reservoir is approximately 300 yards through natural vegetation and a pine tree stand. Based on the area and discharge make-up, no potential pollutants would be expected. DISC\OUTFALLS EH\KJ Carolina Power & Light Company Mayo Steam Electric Plant National Pollutant Discharge Elimination System Permit Number NCO038377 2 F Form ATTACHMENT 3 IV C Narrative Description Taken from the Mayo Steam Electric Plant's Storm Water Pollution Prevention Plan MATERIAL HANDLING Four areas of coal handling were evaluated for their potential to create dust or particles. Also the methods of controlling the dust were evaluated to ensure they were satisfactory in maintaining dust control. The areas evaluated were the coal car dumper, transfer boom, conveyor belt system and coal pile. The primary method of coal car unloading at the Mayo Plant is the coal car dumper. The coal car dumper is equipped with a dust suppression system that is used to minimize the generation of dust clearing coal car unloading. Water spray nozzles are positioned such that as the coal car is dumped into the transfer pit, the spray suppresses any dust that could be created due to the unloading activity. Different conditions such as wind, rain and coal condition dictate the need for the dust suppression system. Whenever the operators feel the system is needed, it will be used to prevent the creation of a dust that could enter the storm water system. Another operation where there is the potential to create dust is the transfer of coal from the conveyor belts to the coal pile. Dust is controlled by the raising or lowering of the boom tower, as needed, to minimize dust. The conveyor belt system was evaluated for its potential to create dust. The possibility of the conveyor belt system to create dust or come in contact with storm water has been reduced because the system is covered. Efforts are made to ensure the conveyor belts stay covered. The coal pile is known as a "live pile". This is because of the way coal is fed into the unit. Coal is pulled from the bottom of the pile, therefore reducing the possibility of dust. Storm water that comes in contact with the coal pile is routed to an NPDES discharge point 002. EH kI/DISC/MATLHDLG Carolina Power & Light Company Mayo Steam Electric Plant National Pollutant Discharge Elimination System Permit Number NCO038377 2 F Form ATTACHMENT 4 V1 Significant Leaks or Spills Taken from the Mayo Steam Electric Plant's Storm Water Pollution Prevention Plan F -Z 40 1 - s' Completed by: E1 i 7ah th Hutchins LIST OF SIGNIFICANT SPILLS AND LEAKS Title: rn�neexing Techrni ri an Date: March 1996 Directions- Record below all significant spills and significant leaks of toxic or hazardous pollutants that have occurred at the facility in the three years prior to the effective date of the permit Definitions Significant spills include, but are not limited to, release of oil or hazardous substances in excess of reportable quantities 1st Year Prior Description Response Procedure Date Location Preventive Material No (month/day/year) Spill Leak (as indicated Type of Am Amount of Longer Exposed 1\1easures on site map) Material Quantity Source, if Known Reason Material to Storm Water Taken Recovered (Trac/False) X Fuel Oil Fuel Oil 250 Fuel oil Pipe 250 gals True Pipe Storage gals relief valve failurE repaired 2nd Year Prior Description Response Procedure Date Location Preventive nlatcri.rl No (month/day/year) Spill Leak (as indicated Type of Amount of Longer Exposed pleasures Oil site map) Material Quantity Source, if Kuown Reason Alaterial to Storm Water Taken Recovered (Ti uc/False) 3rd Year Prior Description Response Pr ocedure Date Location Preventive Material No (monlli/day/yeas) Spill Leak (as ►ndicated Type of Amount of Longer Exposed Measures on site map) )\'falci ial Quantity Source, if Known Reason I17aterial to Storni Water Taken Recovered (True/False) X I ILake Intake Oil 1 cit.Make—up Pump Over— 1 quar True Booms Motor filled kept on tianil