Document 62QLOMOG9Mv6b01M633pYZyE
U.S. Environmental Protection Agency, Region 4 61 Forsyth Street SW, Atlanta, GA 30303
Water Compliance Inspection Report
FACILITY DATA
NPDES ID: GAIS12513
Effective Date: 06/01/2022
Facility Name: Radius Recycling (AKA SCHNITZER SOUTHEAST, LLC)
Expiration Date: 05/31/2027 SIC Code: 5093-01
Address: 950 Lower Popular Road, Macon, GA 31201
On-Site Representatives: Walter Massey, General Manager T: 478-746-6773 E: wmassey@schn.com
Responsible Official:
Mark Hall, Regional Environmental Manager T: 205-359-4248
E: cmhall@rdus.com
Mike Hollingsworth, Recycling Operations Director T: 404-332-1710 E: mhollingsworth@schn.com
Off-Site Representative: Danielle Owens, Environmental Manager T: 470-971-9578
E: dowens@rdus.com
INSPECTION ENTRY DATES/TIMES
Entry Date/Time: 10:00 AM / 08-14-2024
Exit Date/Time: 12:50 PM / 08-14-2024
NAMES OF STATE INSPECTORS
GA EPD: Anam Mustafa, Adefola Olateru, Michael Messinger
AREAS EVALUATED DURING INSPECTION (Check those areas evaluated)
X Permit
Self-Compliance Program
Pretreatment
X Records
Compliance Schedule
X Pollution Prevention
X Facility Site Review
Laboratory
X Storm Water
X Effluent/ Receiving Waters
X Operations & Maintenance
Combined Sewer Overflow
Flow Measurement
Sludge Handling/ Disposal
Sanitary Sewer Overflow
INSPECTION SUMMARY
The inspection included both a review of records and documents as well as a site walk around the facility. An inspection of Pond 1 and Pond 2 as well as a drainage ditch leading to Pond 2 were conducted. Eighteen (18) photos were taken during the inspection, but due to operator error only ten (10) photos were obtained. The same eighteen (18) photos were also taken by Mike Hollingsworth on behalf of Radius Recycling, Inc.
INSPECTOR SIGNATURE
OFFICE/PHONE NUMBER
Celina Russo, Environmental Engineer
USEPA Region 4/ECAD-WEB-WWES 404-562-9804
Jeremy Judd, Environmental Engineer
USEPA Region 4/ECAD-WEB-WWES 404-562-9505
Ahmad Dromgoole, Section Chief Waterways and Wetlands Enforcement Section
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USEPA Region 4/ECAD-WEB-WWES 404-562-9212
Sector N: NPDES Industrial Stormwater Worksheet (Georgia)
GPS Coordinates Receiving Water(s) or MS4 Site Acreage
Date of NOI
1. FACILITY LOCATION INFORMATION
Latitude UT of Ocmulgee River
32.824429 N
approximately 37 acres SIC Code
Longitude
Discharge to 303(d) or TMDL waters
5093-01
-83.610265 W No Weather Sunny, warm Condition
06/21/2022
Email on NOI
Walter Bentley wbentley@schn.com
2. STORMWATER POLLUTION PREVENTION PLAN (SWPPP) AND SUPPORTING DOCUMENTS
PLAN TOPICS - Section 5 of Permit
YES NO N/E
SWPPP available on-site
Part 5.3/7.6
The onsite SWPPP was dated August 2022 and prepared for Schnitzer Southeast, LLC (the previous
name of the company currently known as Radius Recycling). Inspectors requested that an electronic X copy be submitted via email. An electronic copy, also dated August 2022, was received via email on
08/14/2024. A newer version of the SWPPP, dated October 24, 2023, was submitted via email on
September 9, 2024. The 2023 version was prepared for Radius Recycling.
SWPPP Certification Signature/Date
Part 5.1.7 / Appendix B
X Neither the electronic nor hard copy was signed by Facility personnel.
SWPPP modified and updated to current conditions
Part 5.2.1-2
In accordance with Parts 3.1, 3.2, 4.3.2e and 5.2 of the General Permit, the SWPPP will be modified within 30 calendar days of the following types of occurrences or changes at the facility:
knowledge of a release equal to or in excess of a reportable quantity under the Georgia Oil or Hazardous Materials Spills or Releases Act (O.C.G.A 12-14-2), 40 CFR 110.6, 40 CFR 117 or 40 CFR 302, to prevent the reoccurrence of such release and to respond to such releases;
existing control measures are not stringent enough to sufficiently minimize pollutants in
stormwater discharges to ensure that the receiving waterbody does not exceed applicable
water quality standards as a result of the discharges;
X
an inspection by a state or local agency determines that modifications to the control measures are necessary to meet non-numeric effluent limits;
it is determined during a quarterly Routine Facility Inspection, Quarterly Visual Stormwater Discharge Assessment, or annual Comprehensive Facility Inspection that control measures are not being properly maintained or operated;
construction or a change in design, operation, or maintenance at the facility, which has a significant effect on nature of pollutants discharged in stormwater from the facility or significantly increases the quantity of pollutants discharged; or
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annual sampling results exceed an applicable benchmark.
Pollution Prevention Team named in SWPPP
Part 5.1.1
SWPPP Section 3.1 does not identify the name and contact information of each member on the
pollution prevention team. SWPPP states that the pollution prevention team is to consist of the
X
General Manager, Yard Supervisor, and Regional Environmental Manager. SWPPP responsibilities
for those in each of these positions are identified.
Employee training schedule
Part 5.1.2.2
In accordance with the requirements of Parts 5.1.2 and 5.1.6.1 of the General Permit, training will be
conducted for all employees who work in areas where industrial materials or activities are exposed to
stormwater, or who are responsible for implementing activities necessary to meet the conditions of
X
this permit, including all members of the Pollution Prevention Team. Training will be conducted as
soon as practicable after hiring and then annually for existing employees.
At the time of the inspection, training records and documentation was validated. Site Description
Part 5.1.3
The major operations at this metal recycling facility include the following: 1) purchasing, receiving,
and off-loading ferrous and non-ferrous metals, paper, cardboard and plastic materials; 2) sorting
X
ferrous and non-ferrous metallic materials; 3) baling metallic, paper, cardboard and plastic materials;
4) machinery; and 5) shipping sorted and baled material.
Site Map
Part 5.1.3.3
In accordance with Part 5.1.3 of the General Permit, a general location map of the Schnitzer facility in
Macon, Georgia, and the stormwater discharge receiving stream are presented on Figure 1 in
Appendix A of this SWP3. In accordance with Part 5.1.3 of the General Permit, a site map is
X
presented as Figure 2 in Appendix A.
At the time of the inspection, the site map was validated to be current. Summary of potential pollutant sources and particular pollutants
Potential pollutant sources include the following:
Part 5.1.4
diesel fuel, hydraulic oil, motor oil, and used oil from petroleum bulk storage containers
X
(which are typically stored under roof);
equipment fueling area adjacent to bulk storage containers;
engine blocks area;
metal handling equipment; and scrap metal piles.
Description of the Control Measures
Part 5.1.5
Identified control measures include the two (2) stormwater detention ponds, multiple oil water
X
separators, and a grassed swale.
Schedule and Procedures for Good Housekeeping
Part 2.1.2.2, 5.1.6.1a
In accordance with Part 2.1.2.2 of the General Permit, good housekeeping practices will be implemented at this facility and will serve to minimize the exposure of potential contaminants to storm water. The procedures listed below will be implemented and maintained:
Containers, drums, and bags will be stored away from direct traffic routes to prevent
accidental spills. Containers will be stacked according to manufacturers' instructions to avoid
damaging containers from improper weight distribution. Where practical, containers will be
X
stored on pallets, or similar structures, to prevent container corrosion due to ground
moisture. All containers will be labeled to show the name and type of substance. Material
Safety Data Sheets (MSDSs) will be readily available for chemical substances that may be
exposed to storm water.
Petroleum products and petroleum wastes will be stored in DOT-approved steel drums with lids securely fastened and all other openings completely sealed. Drums that must be stored
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outdoors will be placed either on a paved area, or on wooden pallets to minimize the potential for drum corrosion and allow easy inspection for leaks. All drums stored outdoors will have the secure lid and bungs.
Prior to storage outdoors, scrap containing oil and out-of-service parts will have fluids (e.g., motor, transmission and hydraulic oils, coolants, fuels) drained and properly disposed. Batteries will be removed from scrap machinery and stored indoors prior to reuse or disposal.
All trash will be removed regularly from the facility.
No specific schedule was provided. Schedule and Procedures for Preventative Maintenance
Part 5.1.6.1
Schnitzer will also maintain in effective condition all control measures that are used to achieve the effluent limits required by the General Permit. The following procedures are implemented and maintained:
Preventive maintenance will be conducted on motors, pumps, fans and blowers to
minimize the potential for leaks from failed seals or equipment. Seals and gaskets will be
X
maintained and/or replaced in accordance with manufacturers' specifications.
Operating equipment will be regularly inspected, and any leaking or malfunctioning
equipment will be repaired or taken out of service.
Vehicles will be inspected by the driver on a regular basis to detect fluid leaks. Leaking
vehicles will be repaired.
Secondary containment systems will be cleaned and repaired as necessary to maintain
integrity and minimize the potential for leakage.
Contains Spill Prevention and Response Procedure
Part 5.1.6.1.c
X Section 5.5 of the SWPPP details the Facility's spill control procedures.
Schedule & Procedures for Monitoring
Part 5.1.6.2
X Section 6.0 of the SWPPP details the Facility's schedule and procedures for monitoring.
Schedule & Procedures for ROUTINE Inspections
Part 5.1.6.2.d.i
Inspections of all industrial areas of the Facility that are exposed to stormwater are to be inspected at
least quarterly. At least once per year, one of these inspections shall be done while a stormwater
X
discharge is occurring.
Schedule & Procedures for QUARTERLY VISUAL Inspections
Part 5.1.6.2.d.ii, 4.2
In accordance with Parts 4.1.1 and 5.1.6.2 of the General Permit, the facility conducts quarterly
Routine Facility Inspections (RFIs) of all areas where industrial materials or activities are exposed to
stormwater and of all stormwater control measures used to comply with effluents limits. On a
X
quarterly basis each calendar quarter, or more frequently if needed, a Pollution Prevention Team
member conducts the RFI to identify conditions that may contaminate stormwater runoff.
Schedule & Procedures for ANNUAL COMPREHENSIVE Inspections
Part 5.1.6.2.d.iii, 4.3
The Annual Non-Stormwater Discharge Evaluation is performed by the Pollution Prevention Team
Leader or their designee once each calendar year for the duration of the General Permit to verify the
X
continued absence of non-stormwater discharges other than the allowable non-stormwater
discharges identified in Section 4.4 of the SWPPP.
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3. SITE DESCRIPTION AND SWPPP
Facility was permitted as Schnitzer Southeast, LLC (GAIS12513), but was renamed to Radius Recycling during the Fiscal Year of 2023. Facility is in the scrap and waste metals industry.
Major operations at this metal recycling facility include the following: 1) purchasing, receiving, and off-loading ferrous and non-ferrous metals, paper, cardboard and plastic materials; 2) sorting ferrous and non-ferrous metallic materials; 3) baling metallic, paper, cardboard and plastic materials; 4) machinery; and 5) shipping sorted and baled material.
This site is in a basin formed by a levee next to the Ocmulgee River. All runoff from the site drains to the two retention ponds located in the southeastern corner of the property. These two ponds are connected such that they discharge through the same outlet structure at Outfall 001 towards the railroad tracks. According to Facility personnel, the upper pond was added about 2-3 years ago. Facility reports no discharges during the previous permit term, due to the size and retention capacity of the pond system. Both ponds were dry during the inspection.
4. RECORD REVIEW
Representative on-site
YES NO N/E X
NOI Submitted to EPD
Part 5.4.1
Facility was permitted as Schnitzer Southeast, LLC under the 2022 General Permit. Due to a change in company name in 2023 (rebranded name is now Radius Recycling), a modified NOI X may need to be submitted to EPD. The date of the current NOI submitted by Schnitzer Southeast, LLC is 06/21/2022. According to a letter from the Facility dated September 09, 2024, Facility has since initiated the NOI modification process.
Records available onsite or "readily available"
Part 5.4
A physical copy of the SWPPP was onsite, and an electronic copy of the SWPPP was submitted to X inspectors on 08/14/2024 via email. The newest version of the SWPPP was provided on
09/09/2024.
Records of incidents with spills, leaks, pollutant releases
Part 5.4.3 X
Records of maintenance and repairs of control measures Records of employee training Records of ROUTINE quarterly inspections
Part 5.4.4 X Part 5.4.11 X Part 4.1/5.4.5
X
Records of QUARTERLY VISUAL inspection of sw discharge (Collected in first 30 min of discharge; 0.1-inch storm; 72 hrs min from last rain)
Part 4.2.1.2 X
Records of ANNUAL Comprehensive inspections Records of Benchmark Monitoring (annual unless exceeded)
Representative Sampling Samples are collected at the pond outlets. Non-stormwater certification onsite?
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Part 4.3/5.4.5 X
Part 6.1.3-4/8 X
App B.14.1 X
Part 5.1.4.4
X
(once/five years comprehensive e.g., dye/smoke testing)
Impaired Stream Segment Sampling and Requirements? Not applicable. Annual Reporting of Monitoring Data to EPD Indicator Monitoring
SPCC? The facility had developed a SPCC plan.
Appendix C X
Part 7.1
X
Part 8.N.7 X
X
5. FIELD EVALUATION & PLAN IMPLEMENTATION
Pollutant Sources Loading/Unloading Area
Note location, quantitative description, design issue, O&M deficiencies, and pollutants offsite
Incoming metals, which the Facility purchases from either industrial customers or the public, typically arrive via truck and are first evaluated at the scale house under the Facility's Inbound Material Control program.
Industrial materials and material handling areas include the following:
diesel fuel, hydraulic oil, motor oil, and used oil from petroleum bulk storage containers (which are typically stored under roof);
equipment fueling area adjacent to bulk storage containers; engine blocks area; metal handling equipment; and scrap metal piles.
Outdoor Storage
Photo DSCN3023 indicates the designated area for used oil storage, which is located under cover.
Photo DSCN3024 indicates the designated area for material separation for the finished goods that are ready to ship.
Photo DSCN3028 indicates the designated area for steel turnings storage with the intent of the facility to sell the product.
Outdoor Manufacturing/ Processing Operations
Outdoor processes include torching, shearing, and baling. Facility processes some automobiles (approximately 6 per month). Batteries are removed and fluids are drained under cover at the wet rack and car staging area.
Major operations at this metal recycling facility include the following: 1) purchasing, receiving, and off-loading ferrous and non-ferrous metals, paper, cardboard and plastic materials; 2) sorting ferrous and non-ferrous metallic materials; 3) baling metallic, paper, cardboard and plastic materials; 4) machinery; and 5)shipping sorted and baled material.
Treatment/Storage/Disposal Areas
Sediment & Erosion Controls (BMPs)
Photo DSCN3025 indicates the maintenance area for processing wet car drainage.
The facility needs to implement sediment controls for dust suppression on the unpaved roads located at the facility.
The facility needs to implement sediment and erosion controls for the drainage ditch located in the middle of the facility near BLDG - Shop Maintenance.
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Spills / Leaks Handling / Good Housekeeping
The facility needs to conduct good housekeeping and cleanup at the stormwater inlet located near and in front of the main office building.
The facility needs to implement best management practice (BMP) control device at the stormwater inlet located near and in front of the main office building. Since this storm drain inlet is located in a frequently trafficked roadway, Facility has instead been removing sediment at the drain's outlet (system outlets into the conveyance at the front of the property that discharges into the upper pond. Accumulated sediment is cleaned and removed as needed, which is approximately annually. The oil-water separators are cleaned approximately once per quarter and maintenance records are maintained onsite. Unpaved parts of the yard are re-graded about once per quarter; moved dirt is added to the stockpile in the yard for later screening. Facility's vehicle wash station is under cover near the maintenance shop. Wash water is captured by a trench drain and conveyed to an oil water separator. The mobile fuel tank is stored here when not in use. The fuel bay is located near the maintenance shop. Some used motor oil is also stored in secondary containment inside the shop.
6. OUTFALL, STORMWATER DISCHARGE & RECEIVING WATER OBSERVATIONS
OUTFALLS, STORMWATER
YES NO DESCRIPTION
DISCHARGE, RECEIVING WATER
Number & location of stormwater discharge(s)/outfall(s) consistent X with SWPPP
Evidence of off-site accumulation of pollutants observed in receiving water
Non-stormwater discharge observed
One outfall at the ponds' overflow/outlet structure, which is consistent with the location described in the NOI and SWPPP. the two drainage basins described in Section 4.1 of the SWPPP are visually inspected for evidence of non-storm water discharges.
X None observed.
X None observed.
Exit interview conducted with: Walter Massey and Mike Hollingsworth, and Danielle Owens and Mark Hall via telephone conference.
Preliminary findings discussed during the exit interview included:
- Because of the new company name, the Facility may need to coordinate with GA EPD to modify/update their
NOI.
- Storm drain inlets required both maintenance and good housekeeping as well as best management practices (BMPs) protection to be installed and maintained.
On September 9, 2024 inspectors received a letter from the Facility responding to comments discussed during the closing conference. Facility has since initiated the NOI submittal process, cleaned up sediment, and installed sediment booms at the outlet of the drainage system to control sediment reaching the pond system. Photos were also provided as well as a copy of a newer version of the SWPPP (dated 2023 and prepared for Radius Recycling).
Photo Log is attached.
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