Document O3DjOr4RYEv6VMwmGJD3Vq8KX
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY REGION 4
ATLANTA FEDERAL CENTER 61 FORSYTH STREET
ATLANTA, GEORGIA 30303-8960
ELECTRONIC MAIL CONFIRMATION OF E-MAIL RECEIPT REQUESTED
Mr. Dino Heathcott Plant Manager Solmax Geosynthetics 1245 Eastland Avenue Kingstree, South Carolina dheathcott@solmax.com
29556
Re: Industrial User Reconnaissance Inspection Report
Dear Mr. Heathcott:
Thank you for the time and cooperation extended to the representative of the United States Environmental Protection Agency, Region 4 during the February 23, 2022, inspection of the Solmax Geosynthetics facility in Kingstree, South Carolina. Enclosed is a copy of the report for this inspection. If you have any questions about the report, please contact Mr. David Phillips at (404) 562-9773 or via email at phillips.david@epa.gov.
Sincerely,
Digitally signed by
Castillo, Jairo Date: 2022.05.04 Castillo, Jairo
15:15:26 -04'00'
Jairo Castillo, Chief Wastewater Enforcement Section Water Enforcement Branch
Enclosure
cc: Mr. Brian Wisnewski South Carolina DHEC
Internet Address (URL) http://www.epa.gov
United States Environmental Protection Agency Region 4 Clean Water Act - Reconnaissance Inspection Report
PT - Solmax - 022322
NPDES No. N/A
SECTION A: Data System Coding
MO/DAY/YR
Inspection-Type
Lead Inspector
2/23/2022
ROS (Reconnaissance
David Phillips
without Sampling)
Facility-Type Unpermitted Industry
SECTION B: Basic Field Data
Name and Location of Facility Inspected:
Entry Date/Time:
Permit Effective
(For industrial users, add recipient's NPDES permit number)
2/23/2022 10:55 AM
Date: N/A
Solmax Geosynthetics
Exit Date/Time:
Permit Expiration
1245 Eastland Avenue Kingstree, South Carolina 29556
Receiving POTW: SC0035971 2/23/2022 11:45 AM
Date: N/A
Facility Representative(s) / Title / Contact Info:
Other Facility Data / Permits Held:
Mr. Dino Heathcott, Plant Manager
SC00023200035 (CAA Minor) SCRNE0895 (Stormwater - No Exposure)
Facility Responsible Official / Contact Info:
Additional Inspectors / Agency / Department:
Mr. Dino Heathcott, Plant Manager (843) 201-1513 dheathcott@solmax.com
Ms. Lori Baxley / SCDHEC / Columbia Mr. Danny Nicholas / SCHDEC / Columbia Ms. Shauna Stevens / SCDHEC / Myrtle Beach
SECTION C: Areas Evaluated
Permit
Potential for Discharge Regulated Processes
Industrial Pretreatment System
Record keeping Compliance
Self-monitoring Compliance
Self-reporting Compliance
Municipal Sewage Treatment System
Slug Discharge Controls
Monitoring Data
Self-Monitoring Equipment Solids Handling/Disposal
Compliance with Enforcement Other: Action -
See attached Section D.
SECTION D: Summary of Findings / Comments
Lead Inspector Digital Signature:
DAVID PHILLIPS
Digitally signed by DAVID PHILLIPS Date: 2022.05.04 15:26:21 -04'00'
Supervisor Digital Signature:
Digitally signed by
Castillo, Jairo Date: 2022.05.04 Castillo, Jairo
15:15:40 -04'00'
ECAD Unit / Phone Number / E-mail WEB/WES - (404) 562-9773 - phillips.david@epa.gov
ECAD Unit / Phone Number / E-mail WEB/WES - (404) 562-9257 - castillo.jairo@epa.gov
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PT - Solmax - 022322 (Continued)
Section D: Summary of Findings / Comments
On February 23, 2022, the EPA was accompanied by SCDHEC representatives to conduct an unannounced Reconnaissance Inspection (RI) of the Solmax Geosynthetics facility located at 1245 Eastland Avenue in Kingstree, South Carolina. The inspectors were greeted by Mr. Dino Heathcott, the facility's Plant Manager, and presented credentials.
This RI was conducted in support of a broader investigation of the pretreatment program that the receiving publicly owned treatment works (POTW) is authorized to implement. The EPA interviewed Mr. Heathcott to learn more about the facility's processes and potential for discharge before conducting a brief inspection of the facility, which was not in full production at the time. The following is a summary of the RI findings and observations.
I. Records/Reports
The EPA's Enforcement and Compliance History Online system indicates this facility holds a minor Clean Air Act permit (SC00023200035) and does not hold a CWA direct discharge permit. The facility has a state noexposure certification for its stormwater. The POTW servicing the vicinity (SC0035971) has not been reporting the facility to SCDHEC as an industrial user, or as a user requiring an individual pretreatment permit.
II. Facility Site Review
The facility representative shared that Solmax Geosynthetics, also known as Solmax, is a specialty thermoplastic non-woven geotextile manufacturer. The facility produces polypropylene structural products for clients in the landfill and landscaping industries. The resins employed in production are purchased rather than being produced onsite (i.e., Part 414 exempt). There are three primary product lines: netting/matting, felts, and bentonite GCL.
The netting/matting production began in 2000. Resins for that process are acquired in the form of pellets that are melted and extruded into the netting and matting products. The felts production began in 2002; bailed poly-fibers are received and then pressed into felt. The bentonite GCL matting production began in 2012, which is an entirely dry process. Sodium bentonite is used for producing an underlayment.
The facility representative conveyed that the matting process uses a quench pit that is filled with water. The quench water and pollutants that it may acquire are cycled into a storage tank outside the production building until it is reused together with make-up water. Any losses associated with the quench tank are evaporative. Production additives are not introduced to the pit or the quench water itself.
The facility also employs an evaporative cooling tower. The facility representative pointed out a bypass valve on the cooling tower that was observed to be locked out. It was explained that, approximately 18 years prior, the valve had been opened errantly so now it is secured.
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The facility representative, present since operations began in 2000, stated the POTW has never asked Solmax to complete a wastewater survey or user permit application. III. Findings/Recommendations The production wastewater generated at Solmax Geosynthetics is recycled and is not discharged to the POTW. Non-contact water may discharge, but the facility has taken material steps to prevent the occurrence. Present operations offer a low risk of any process discharge to the POTW; pretreatment control is therefore unnecessary at this time. Notwithstanding these findings, the authorized POTW pretreatment program should have surveyed the facility to evaluate its potential for a discharge prior to production in 2000, and thereafter with each successive production expansion. The facility's account suggests this did not occur.
- END OF REPORT -
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