Document MMGVRodxKBM5ne2gryLaoJm3a
UNITED STATESUNITED STATES ENVIRONMENTAL PROTECTION AGENCY
*REGION 1
ENVIRONMENTAL
AGENCY5 POST OFFICEB OSSTQONU,A RMAE ,0 21S0U9-I3T9E12
100
PROTECTION
Date:Dated as shown on electronic signature(s)
Subj:Inspection Report
Clean Water Act - National Pollutant Discharge Elimination
System (" NPDES ")
S & S Holding
From:Damian BednarzDAMIANDigitally signed by DAMIAN
BEDNARZ
Jeremy RolfeBEDNARZDate: 2023.04.14 09:58:09 -04'00 '
Thru:Alex RosenbergDigitally signed by
Artby ALEX RDOatSe:E 2N02B3.E04R.1G4
To:File
*******10:11:23 -04'00 '
I. Facility Information
A. Facility Name:S & S Holding
B. Facility Location:146 B Ashland Ave
Southbridge, MA 01550
C. Facility Contacts: Steve Frank, Operator S & S Holding
(860) 576-7297, Steve_frank82@icloud.com
D.NPDES ID No (s).: NA (unpermitted)
II. Background Information
A. Date(s) of inspection: February 8, 2023
B. Weather Conditions: 42 F, Cloudy, Recent Rain Event
C. US EPA Representative(s):
Damian Bednarz, Environmental Compliance and Assurance Division
(" ECAD ")
Jeremy Rolfe, ECAD
D. State / Local Representative(s):
None
E. Federally Enforceable Requirements Covered During the Inspection:
40 C.F.R. 122.26-NPDES Multi - Sector General Permit (" MSGP ") for
Stormwater Discharges Associated with Industrial Activity (modified
September 29, 2021)
ED_019088A_00004167-00001
F. Previous correspondence & Enforcement Actions:
In 2021, D & D Welding and Salvage (" D & D "), the previous operators of
industrial activity is located at 146 Ashland Ave, Southbridge MA did not reapply
for the reissued MSGP coverage. System generated email correspondence, as well
as attempts to call the operator were made in an attempt to notify about the need
to reapply for coverage under the MSGP. No response was received.
EPA then learned that a new operator, S & S Holdings was conducting activities at
the previously permitted address. On January 20, 2022, EPA notified S & S
Holding, via email of the need to apply for coverage under the MSGP. No
response was received, and another email notice was sent March 10, 2022. On
August 3, 2022, EPA sent a formal information request and instructions to apply
for MSGP coverage to Mr. Frank, operator of S & S Holding. EPA did not receive
any response. EPA attempted to correspond with the operator three more times
via phone on November 1st, 16th, and 17th during normal business hours. All
attempts at contacting Mr. Frank failed, including EPA's attempt to notify the
Facility of the impending inspection.
III. Type and Purpose of Inspection
United States Environmental Protection Agency (" EPA ") inspectors conducted an
evaluation of the facility described below to determine compliance with MSGP for
Stormwater Discharges Associated with Industrial Activity.
IV. Facility Description
S & S Holding, referred to hereafter as " S & S " or " Facility ", is a salvage operation owned
and operated by Steve Frank. S & S is located at 146 B Ashland Ave, Southbridge, MA
01550 on a rented parcel of land behind a locked gate and chain. Both S & S and D & D
Welding and Salvage are accessible via a 25'easement as shown on the city's
municipality website. The Facility is located at the top of a hill with two distinct areas,
one for stockpiling scrap metal and the other for sorting and an office building (Slide 47).
Mr. Steve Frank is the owner and operator of S & S. Mr. Frank works at the Facility full-
time and employs one yard assistant part - time. The business is open Monday through
Saturday (8 AM to 5 PM Mon - Thu, 8 AM to 1 PM on Friday, and 8 AM to 12 Noon on
Saturday). Mr. Frank explained that S & S has been in operation for around 4 years.
Before that, it operated as D & D Welding and Salvage (" D & D ") under the ownership and
operation of Mr. Marc Dipietro.
A separate area of industrial activity at the same address, is located at the southwestern
end of the inspected area (Slide 47). According to Mr. Frank, the activities outside of his
leasehold are associated with D & D. According to their 2015 MSGP Notice of Intent
(" NOI ") to discharge, D & D is a scrap metal recycler and garbage dump that includes
several frontage buildings directly to the northeast of S & S Holding. Materials associated
with D & D activities were observed from the entrance to S & S Holdings leasehold, a 25 '
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Municipal utility easement south of Ashland Avenue. Mr. Dipietro owns the land parcel
that encompasses both S & S and D & D operations.
The body of water running adjacent to the site is Lebanon Brook and was observed at the
time of the inspection. A beaver dam as well as a municipal stone spillway, has enlarged
the ponded area. This pond is observable from satellite imagery of the property (Slide
47). Stormwater discharges from the site reach the ponded area.
V. Inspection
The inspection was conducted without notice to the site owner and operators, due to
multiple failed attempts to provide notification. Inspector team arrived at approximately
10 AM.
A. Opening Conference
Mr. Bednarz and Mr. Rolfe (" Inspector Team " or " Inspectors ") arrived at 146 Ashland
Ave, Southbridge, MA 01550 at approximately 10 AM. Inspector team searched for an
office for S & S Holding and discovered through a conversation with nearby warehouse
workers that the D & D Welding shop had been sold to a new business and that S & S
Holding operations were located further back on the parcel. The Inspector Team then
proceeded through the 25'easement towards S & S. Inspector team arrived and was
greeted by the part - time yard worker. She explained that the owner of S & S was not
present but will return shortly. Inspector team waited for approximately 15 minutes until
Steve Frank, the owner of S & S arrived. Mr. Bednarz explained that the purpose for the
visit is to conduct a stormwater evaluation under the MSGP. Inspector team presented
their credentials and further explained that the inspection had been informed by a lapse in
MSGP coverage.
Inspector Team asked Mr. Frank about land ownership agreements. Mr. Frank informed
the inspectors that the owner of the land was Mr. Marc Dipietro, who resided in Sarasota,
Florida at the time of the inspection. He had previously owned and operated a salvage
business, D & D Welding & Salvage, on the industrial areas of the property (S & S and
D & D) before moving to Florida and renting S & S their portion approximately three or
four years ago. According to Mr. Frank, in December of 2019, Mr. Dipietro had sold the
welding building (Slide 47) and land adjacent to it as a warehouse to another business
while retaining ownership of the rest of the land behind the gate directly leading to S & S.
Further, inspectors learned that Mr. Frank operates S & S under a land rental agreement
with Mr. Dipietro. Mr. Frank explained Mr. Dipietro's son still resides in Massachusetts
and visits both S & S and D & D periodically.
Mr. Frank asked if there were specific issues to be covered by the inspection. He was
informed that the site had lapsed in MSGP coverage upon termination of the 2015
MSGP. Mr. Frank stated that he was not informed about the need for permit coverage
despite communication attempts and enforcement history with D & D. Inspector team and
Mr. Frank exchanged contact information. When asked to produce a current or previous
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Storm Water Pollution Prevention Plan (" SWPPP "), Mr. Frank stated that he did not have
one.
Mr. Frank asked if the Inspector Team was part of the State which had been conducting a
groundwater sampling operation on the property, to which the inspectors responded that
they were not. It was discovered that MassDEP had conducted groundwater monitoring
on the site in the past. Several groundwater wells were present on the site. These wells
were observed to be capped (Slide 5), although Mr. Frank stated that state personnel still
occasionally ask for access to his site to utilize the wells.
Inspector Team asked about the nature of industrial activity on the site. Mr. Frank stated
the following operations occur at S & S:
Dry salvage of cars (no draining or storing of car fluids);
b d a C....
Salvage reclamation of metals, machines, and cars;
Smashing of cars via large backhoe; and
Sales of used automobiles.
Inspector Team asked if any part of the salvage operation used water and were told that it
did not. Mr. Frank informed inspectors that the site did not have running water and that
water is trucked to site for use in its bathroom that discharges to a septic system.
If cars are brought to the site with oil or fuel, they are turned away unless they can be
used for the operation as " yard cars " or re - sold as - is. Cars with fluids are therefore
neither drained nor salvaged.
Inspectors then asked what was done with car batteries. Mr. Frank stated that they are
collected and sold off in bulk at predetermined intervals. This is the same procedure used
for air conditioning units, which are palletized, wrapped in plastic, and sold in bulk. S & S
does not drain refrigerants from recyclable machinery on - site and sells material in bulk to
a contractor a few times a month.
When asked what machinery the yard uses, Mr. Frank stated that there were 4 large
machines. Major vehicle maintenance is done by a contractor onsite, but Mr. Frank does
oil changes himself roughly 3 times a year. Oil is drained and put back into empty oil
containers and immediately disposes of it at public oil collection locations. Multiple
small consumer oil containers were observed in the scrap yard (Slides 8, 20).
Propane welders were observed on - site and are used out in the scrap yard area to break
down material (Slide 19).
Cars are crushed at a designated area directly in front of the facility office / breakdown
building (Slide 47). The crushing is done by a large excavator which presses down on the
cars to crush them flat for more compact storage when they are put onto trucks. The
crushing area itself is located next to a 15'high retaining wall (Slide 32, 35). A frozen
pool had accumulated from runoff that flows between this wall and one of D & D's
buildings, as it had rained the day before (Slide 35). This runoff pathway is demarcated
by the label " ditch " in Slide 54. The source of this water accumulation is in part due to a
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a discharge point of water, observed to be flowing at the time of the inspection and
referred to as " Outfall 002 " in this report (Slides 36-39, 47).
The breakdown building, located in the southwestern corner of S & S, is near a large
amount of empty scrap propane canisters, as well as dozens of unidentifiable empty
canisters (Slides 44, 45). The building itself contained organized receptacles of scrap
metals (copper, wirers, etc). There is a moderately - sized wood stove inside the building
which is used for heat. That is also where the facility stores its forklift. The S & S facility
does not have municipal power or water. Water is brought to site in a large plastic
container and electricity is obtained using a small gas - powered generator.
B. Facility Tour, S & S Holding
At approximately 10:30 AM Inspector Team and the S & S operator conducted a facility
tour around the scrap yard in a clockwise direction. Mr. Frank pointed out specific points
of his facility, including the main scrap areas and the areas he uses to park yard cars
which are used for operating the facility (Slides 2, 3, 4). Incoming scrap and vehicles are
weighed on a scale at the entrance (Slide 4).
Cars waiting to be broken down for parts are parked in a ring around the dirt road that
circles the scrapyard (Slides 6-12). Mr. Frank explained these cars are dry with no oil,
fuel, or other fluids.
At the easternmost edge of the site, Inspector Team observed multiple palettes of AC
units in shrink wrap, stacked tires, more automobile scrap parts, and three standing gas
tanks (Slide 13). Additionally, a deconstructed truck with remaining engine parts and
piles of scrap (Slide 13). About a dozen more vehicles and a scrap excavator were
observed on the property (Slide 14).
Some larger pieces of scrap captured water, an indicator of the amount of rainwater the
site experienced the day before (Slide 15).
Inspector Team observed metal and wooden fencing along the edges of the scrap yard
(Slide 8, 16). This fence is backed, in most of the site, by a ditch and a sharp
topographical decent (Slide 16, 17). At the bottom of this incline the inspectors observed
a large volume of stormwater flow running through a metal culvert pipe (Slide 17, 46). It
is undetermined where this stormwater flows, as it continued towards residential
properties to the east.
Puddles of water were observed in the main area of scrap metal collection and salvage
automobile stockpiling. Stormwater was observed flowing downgradient from the S & S
leasehold and past a D & D warehouse (Slides 23-30, 47) into Lebanon Brook. This
flowpath is marked in the slides using letters. Flow runs from " A " downgradient in
alphabetical order (i.e. flow direction is from 66 " A " to " B ", " B " to " C ", and so on).
The Inspector Team moved to the front of the facility. Stormwater flows down the access
road away from the S & S entrance (Slides 23, 24), referred to as Outfall 001 in this report.
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Inspector Team observed stormwater collection within muddy depressions in the area
used for vehicle storage (Slides 25-30). All mentioned flow paths were observed to
discharge directly into Lebanon Brook (Slide 29, 30, 47). Pools of water (Slide 27) and a
concentration of muddy leaves were observed along this flowpath (Slide 28, 29) that
leads directly into Lebanon Brook.
Inspector team observed the car crushing area and the metal separation breakdown
building at the area of the site furthest from Lebanon Brook. An outfall pipe, referred to
here as Outfall 002 (Slides 36-39), was observed to be discharging water. Water entering
the pipe comes from an eroded channel or ditch (Slide 35).
The breakdown building housed a forklift and a wood - burning stove for heat. Mr. Frank
stated that no water is used in the metal separation processes, and the site is not hooked
into municipal water. There is a large water tank outside of the building that is filled via
an external service. Inspectors observed dozens of empty canisters directly next to this
breakdown building as well as a large scrap container that was covered by a large piece
of sheet metal (Slides 43-45).
Mr. Frank explained that the buildings and materials stored further down the road are not
part of S & S operations but belong to D & D, the address'previous operator.
C. Closing Conference
After conducting the inspection, the inspectors asked Mr. Frank to reiterate the extent of
his lease. According to Mr. Frank, his lease area stops at the entrance to S & S (Slide 23).
The lessor is Mr. Marc Dipietro. When asked why Mr. Frank had allowed MSGP permit
coverage to expire in 2021, Mr. Frank stated that he was told anything about the specific
requirements of the EPA and received no notice when he started operating S & S Holding.
It was also at this time that the inspectors inquired more about the groundwater test wells
that were present at the site. Mr. Frank stated that " someone from the state " had
requested day and night access to his site to monitor them, but that he did not feel
comfortable allowing unescorted personnel onto his site outside of normal business
hours. Mr. Frank stated that the last time he spoke with a state representative had been
only a few weeks prior to the time of the inspection.
Further contact information was exchanged, as well as contact information for Mr.
Dipietro. Inspectors informed Mr. Frank that he would receive an inspection report within
90 days. This concluded the inspection for S & S Holding.
Inspector Team departed at approximately 12:30 PM.
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
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concern. Nothing in this report affects EPA's authorities under federal statutes and
regulations to pursue further investigation or action.
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