Document 4QbyBN8MyDDo629pkdZGLVgQ
UNITED STATES
AGENCY
ENVIRONMENTAL
PROTECTION
REGION 1
BOSTON, MA 02109
Date:Dated as shown on electronic signature
Subj:Clean Water Act Inspection Report for Republic Services Inc.
Subj:Alex Rosenberg, EPA InspectorDigitally signed
by ALEX
Thru:Damian Bednarz, EPA InspectorROSENBERG
Date: 2024.10.30
To:File11: 02: 09-04'00 '
I.Facility Information
A. Facility Name:Republic Services Inc. (AKA Allied Waste of MA-Revere)
B. Facility Location:320A Charger St Revere, Massachusetts, 02151
C. Facility Contacts:Ed Veilleux, Supervisor
Jim Atkins, Maintenance Manager
Jatkins@republicservices.com
(617) 293-4318
Chris Ford, Environmental Manager
(508) 786-7022
cford2@republicservices.com
D. ID No (s).:MAR053364
II.Background Information
A. Date(s) of inspection: Oct. 7, 2024
B. Weather Conditions: 0.11 inches rain, 55 F
C. US EPA Representative(s): Alex Rosenberg
D. State / Local Representative(s): N / A
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E. Federally Enforceable Requirements Covered During the Inspection:
Oil Pollution Prevention Regulations, 40 CFR Part 112.
National Pollutant Discharge Elimination System (NPDES) Multi - Sector General Permit (MSGP)
for Stormwater Discharges Associated with Industrial Activities (September 21, 2021), 40 CFR
Part 122.
F. Previous Enforcement Actions: N / A
III. Type and Purpose of Inspection
I, Alex Rosenberg, a credentialled EPA inspector, conducted an unannounced site inspection at Allied Waste of
MA-Revere regarding compliance with federal Clean Water Act, particularly, MSGP permit requirements
concerning stormwater discharges associated with industrial activity and Oil Pollution Prevention regulations.
IV. Facility Description
Allied Waste of MA-Revere is a trash and recycler hauler vehicle maintenance yard, with an associated
primary Standard Industrial Classification (" SIC ") Code of 4212 (Local Trucking - solid waste collection without
storage) and is located at 320A Charger Street, Revere Massachusetts (the " Facility "). Allied Waste of MA -
Revere is operated by the entity with a legal name of Allied Waste according to the Notice of Intent to
discharge (NOI). According to the Facility's stormwater pollution prevention plan (" SWPPP ") the facility is
owned by Allied Waste Systems, Inc. (" Allied "). Public business records indicate that Allied Waste Systems Inc.
is owned by Republic Services Inc. (" Republic "), a national waste management company with 74 recycling
centers across the United States, according to Republic's website. The website also identifies that Republic
Services Inc. and Allied Waste Systems, Inc. merged companies and established a headquarters in Phoenix,
Arizona in 2008.
The Facility's parcel is approximately 4.4 acres and is located northwest of Charger Street. Diamond Creek and
saltmarsh wetlands are located north of the Facility with a concrete recycling facility between the Facility and
these waterbodies.
V. Inspection
I arrived on site unannounced at the Facility at approximately 10:50 a.m. on October 7, 2024.
A. Opening Conference
I presented my credentials to Mr. Ed Veilleux, the Garage Supervisor, and explained the purpose of the
inspection. I asked for a copy of the Facility's Stormwater Pollution Prevention Plan (SWPPP). Ed went to get
the SWPPP and also invited to the conversation Mr. Jim Atkins, the Maintenance Manager. Ed and Jim joined
me for the opening conference.
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The SWPPP provided was originally dated as being drafted in2012. The Facility site map from within this 2012
SWPPP was reviewed and utilized by Facility representatives to explain the Facility's ongoing industrial
activities and stormwater management practices.
According to information provided during the opening conference, the Facility consists of one building
containing offices, a Vehicle Maintenance Shop, a Lubrication Room, and a Container Maintenance Shop. The
Vehicle Maintenance Shop has seven vehicle bays, the Container Maintenance Shop has four bays, and the
lubrication room has two vehicle bays. The Lubrication Room (photo 8) was previously used as a vehicle
washing area (wash bay) but is now used to store oil - based fluids.
The Facility's 2012 SWPPP States that discharges from the interior floor drains within all bays flow to the wash
bay and through an oil water separator (" OWS ") prior to discharging into the sanitary sewer system. According
to Facility representatives the OWS discharges into a holding tank in the wash bay that does not discharge and
is emptied by a 3rd party when volume is observed to be high by Facility workers.
Upon initial questioning, Facility representatives were uncertain about whether the holding tank discharges
into the sanitary sewer system. I pointed out that the site map from the 2012 SWPPP has a line indicating the
discharge flow path from the holding tank into the sanitary sewer. The line is labeled as " covered ". After
seeing that, Facility representatives came to the consensus that the holding tank is now a tight tank (does not
discharge). This conclusion aligns with the additional information provided by Facility representatives which is
that the tank is pumped out by a third - party contractor on a semi - regular frequency (approximately every few
months). Daily visual inspection of the water level within the tank made through a floor grate (photo 9)
determines when the contractor is called to pump - out the contents.
Vehicles used for collection and transportation of solid waste and recyclables are parked on the large - paved
area located northwest of the building when not in use and / or awaiting maintenance. Additionally, empty
solid waste containers / bins used for solid waste disposal are mainly stored on the far northwestern end of the
paved area, beside parked hauling vehicles. A vehicle fueling area is also located on the paved area, directly
northwest of the building. According to the 2012 SWPPP Industrial activities at the Facility include:
Vehicle Fueling;
Vehicle Washing;
Vehicle and Equipment Maintenance;
Container and Bin Maintenance;
Solid Waste Hauling Vehicle Parking;
Container / Bin Storage; and
* Employee Parking.
Facility representatives stated that a third - party contractor comes on to site to do all truck washing every
other Sunday. They recycle and collect all wash water.
Facility representatives stated that a third - party contractor, Millennial, sweeps the Facility every other week.
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B. Facility Tour
Part 4.1 of the MSGP requires applicable monitoring (benchmark, indicator, etc.) to be applied at each
discharge point authorized by this permit. Part 3.2.1. of the permit requires visual assessment, once each
quarter for your entire permit coverage. A stormwater sample must be collected from each discharge point
(except as noted in Part 3.2.4), collected in such a manner that the samples are representative of the
stormwater discharge.
Facility representatives stated that stormwater samples are collected by an outside contractor from a metal 6-
inch diameter sampling port in between the northern entrances to the maintenance garage bays (Photo 12)
and CB-05, the sole discharge point permitted at the Facility. The sample port is located approximately 5 ft
south of a sewer drain cover (Photo 3).
Facility representatives stated that the Facility has seven catch basins which all contribute flow through CB-05
before discharging off - site into the Pines River. Considering catch basins capture stormwater from areas with
unique industrial activities (i.e. vehicle storage, refueling areas, maintenance, etc.) it is a requirement of the
MSGP that monitoring captures combined flow from all catch basins. It is unclear due to inadequate mapping
of stormwater infrastructure whether the sample point is representative of the combined flow from all seven
catch basins on site.
Catch basin CB-04 (Photo 4) has two solid metal drain grates approximately 5 feet to its'east (Photos 4, 5, 9
and 10). The water surface within the compartment under the closest of the two drain covers was covered by
approximately half an inch of oily white scum. When the surface was agitated by a metal stick, water below
the scum appeared slightly opaque. Water within the compartment under the second drain cover, located
approximately 10 feet from to CB-04, and 5 feet from the first drain cover, had no visible sheen and lower
opacity.
I stated that Part 2.1.2.3 of the MSGP requires the Facility to maintain all structural control measures so that
they remain effective, to minimize pollutant discharges. This includes but is not limited to all industrial
equipment and systems.
During the Facility Tour, Facility representatives stated that the OWS downstream of CB-04 has never been
inspected or maintained.
C. Records Review
Upon request to review the current SWPPP, Facility representatives provided a SWPPP dated May 17, 2012.
This SWPPP was reviewed while on - site.
I explained that the Multi - Sector General Permit (" MSGP ") was re - issued in 2021, and as part of this re-
issuance, the Facility was required to redraft or update the SWPPP to meet the new requirements of the 2021
MSGP. The SWPPP from 2012 had dated signatures indicating plan review and " recertification ". These
recertification signatures were recorded within the a table almost every year. The date of the most recent
recertification is April 26, 2024. No updates or changes to the 2012 SWPPP were noted.
The site map within the 2012 SWPPP (Photo 1) depicts the flow path of discharge from CB-04 as flowing
through an Oil Water Separators (OWS) and then towards a junction manhole where it confluences with flow
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from CB-01, CB-02 and CB-03 before flowing to a drain manhole and then into CB-05, the Facility's sole
discharge point.
Section 2.4 of the 2012 SWPPP describes how two OWSs are present on - site. One inside the washing bay and
one downstream of CB-04.
Facility representatives were unaware of the existence of the outdoor oil water separator downstream of CB-
04 (photo 4).
The 2012 SWPPP states the outdoor OWS was installed in 2013, and it must be maintained.
Facility representatives explained that regular clean - out of the holding tank down - gradient of the indoor
OWS's is conducted, but no maintenance or inspection of the outdoor OWS has been conducted in their time
working at the Facility, which began before 2012.
The 2012 SWPPP describes how hay bales and or filter socks are used around catch basins. Neither hay bales
and or filter socks were observed on the site walk.
On October 8, 2024, the day following the inspection, Mr. Atkins submitted an unsigned electronic copy of a
SWPPP dated May 28, 2021, which he stated is the current SWPPP. The site map from the 2021 SWPPP (see a
clipped portion below in Figure 1.), does not depict the outdoor OWS downstream of CB-04.
The outdoor OWS described is also omitted from within the narrative description of Structural Control
Measures in the 2021 SWPPP. Section 2.0 of the 2021 SWPPP describes the stormwater conveyance system as
all draining to CB-05, without mention of an OWS.
An OWS " located outdoors north of the building " is listed as a potential pollutant source in Table 3-2. It is
assumed this refers to the OWS that treats water from internal floor drains.
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DA-1
CB-3
(CB-4)
(SMH)
TO PINES RIVER
SK
CONTAISNHEORP
MAINTENANCE
LUBRIRCOATOIMON
SK
Figure 1-Portion of Site Map from 5/28/21 SWPPP
"H
ICLE NANCE
CB-5
DMH
(SMH)
(CB-6)
OIL / WATER
SEPARATOR
Section 4.2.4. of the 2021 SWPPP states that the Facility implements a preventative maintenance program
that involves routine inspections and maintenance of Facility equipment and Structural Control Measures
(" SCMS "). The 2021 SWPPP also states that the Facility will maintain the SCMs such that they stay in effective
and operating condition by performing routine maintenance. Preventive maintenance is coordinated and
documented by the SWPPP Coordinator and / or Team Members., and these efforts include the completion of
inspections and preventive maintenance of SCMs, and Facility equipment and systems that could fail and
result in contamination of stormwater.
Section 4.2.7. of the 2021 SWPPP states that " the vehicle bays in the Vehicle Maintenance Shop are equipped
with a floor drains that are piped to an oil / water separator which discharges to the sanitary sewer system. "
The Facility's Notice of Intent to discharge dated May 21, 2021 also states that the OWS from the wash bay
discharges into the sanitary sewer. The 2021 SWPPP site map, includes the depiction of a discharge route from
the indoor OWS into the sanitary sewer.
Facility representatives'statements and the 2012 SWPPP site map both indicate that the indoor oil water
separator no longer (since 2013) discharges to the sanitary sewer system.
At the time of the inspection, benchmark monitoring data did not indicate the presence of pollutant
concentrations in excess of benchmark concentration thresholds.
The SPCC plan I reviewed was dated May 17, 2012, and had a recertification signature dated April 26, 2024. All
tanks listed within the plan were observed during the inspection. A couple of 55-gallon drums located in the
Lubrication Bay did not have their own respective sized secondary containment. It was discussed that the
building and its internal drains might provide adequate secondary containment, if the holding tank does not
discharge to the sewer system.
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D. Closing Conference
I went over some observations regarding compliance with the MSGP including:
- The 2012 SWPPP was required to be updated based on the reissuance of the MSGP in 2021;
Site maps and narrative SWPPP language must be updated to represent current conditions;
Structural Controls Measures (SCMs) for stormwater pollution control as described in the
SWPPP must be implemented (i.e. hay bay bales, etc.);
SCMs (i.e. OWS) require regular inspection and maintenance; and
Stormwater samples for monitoring must be taken at a location that is representative of all the
industrial activity occuring on - site.
Facility representatives stated that Republic Waste Systems Inc. has multiple locations within New England.
Operations located in Roxbury, Quincy and Holbrook were mentioned by staff.
I departed at approximately 12 p.m.
Unless otherwise noted, this report describes conditions at the facility / property as observed by EPA
inspector(s), and / or through records provided to and / or information reported to EPA inspector(s) by facility
representatives and as understood by the inspector(s). This report may not capture all operations or activities
ongoing at the time of the inspection. This report does not make final determinations on potential areas of
concern. Nothing in this report affects EPA's authorities under federal statutes and regulations to pursue
further.
Enclosures
PHOTO LOG
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Project: Casella Waste Systems, Revere, MA
Photo Log
Photos:
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Maxar, Nearmap | Esri,... Powered by Esri Earthstar Geographics |... Powered by Esri
Photo 1: 2012 SWPPP MAP
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2.3 FacilityStormwater
Stormwater Systemat the Facility
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tem of
structuressingle outfall (Outfall 1).stormwater run - off to the Pines
and outfalls are depioctne dFStiorgmwuarteer fl2o.w dicreoctnivones,y
ance
The facility maintainstwo oil / water separators. The
from floor drains withinthe building prior to beingfirst oil / water separatorcollects drainage
Resources Authority (MWRA) sanitary sewer system.discharged to the MassachusettsWater
A second oil / water separator
vehicleand equipment storage area,was installed at CB-4 in 2013. A largeportion of the outdoor
(see Figure 2). As anas well as the diesel AST area drain to CB-4
bales to remove residual oil andadditional layer of protection, Allied usesabsorbent socks and hay
sediment from runoff entering CB-4 during storm
events.
sBeoatsho nosi l( f/ awlalt earn ds espparriantgo)r,s aanrde airnes pcelcetaendedr oauntniunaelllyy .at
the beginning and end of the main storm
2.4 Facility Stormwater Flow
Stormwater flow volumes at the Facility were estimated using EPA's National
Stormwater
Calculator (Release 1.1.0.0). Based on variables including the area of the Facility, the
ground cover, slope and climate data from the region, the calculator was used to provide an
estimate of stormwater parameters including average annual runoff and the smallest rainfal
that would generate runoff. Based on EPA's National Stormwater Calculator, approximatel
83,635 gallons of stormwater runoff from the Facility enters the ground through infiltratio
or the stormwater catch basin system on a monthly basis. In addition, EPA's Nation
Stormwater Calculator indicates that rainfall equal to or greater than 0.17 inches will produ
runoff from the Facility.
The Pines River is identifiedas an " impaired " water with fecal coliform listed as the pollutant causin
impairment
ROW ASSOCIATES, INC.
Photo 2
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Photo 3
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Photo 4
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Photo 5
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Photo 6
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Photo 7
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DEF
NCG
Photo 8
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Photo 9
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Photo 10
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Photo 11
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Photo 12
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