Document bO7RvLdOKjNBB5ONKR8aNLpDk
UNITED STATESUNITED STATES ENVIRONMENTAL PROTECTION AGENCY
* *REGION 1
ENVIRONMENTAL
AGENCY5 POST OFFICEB OSSTQOUN,A RMAE ,0 21S0U9-I3T9E12
100
PROTEC
Finalized Date:Dated as shown on electronic signature
Subj:Inspection Report
Clean Water Act - National Pollutant Discharge Elimination
System (" NPDES ")
Clean Harbors of Braintree
From:David Turin, Environmental Scientist
Digitally signed by Turin, David
Turin, David Date: 202-204.'010 0'
.24 14:23:28
Thru:Solanch Pastrana - Del Valle, Environmental Engineer
To:File
I. Facility Information
A. Facility Name:Clean Harbors of Braintree
B. Facility Location:1 Hill Ave
Braintree, MA 02185
C. Facility Contacts: David Medina, Facility Operations Manager
Don Smith, Environmental Compliance Manager
D. NPDES ID No (s).: MA0031551
II. Background Information
A. Date(s) of inspection: August 25, 2022
B. Weather Conditions: Low 80s and mostly sunny
C. US EPA Representative(s):
David Turin
D. State / Local Representative(s):
Gerald Podlisny, MassDEP
E. Federally Enforceable Requirements Covered During the Inspection:
NPDES Permit No. MA0031551, issued February 1, 2021
Clean Water Act Sections 301 (a) (33 U.S.C. 1311 (a)) and 311 (33 U.S.C
1321)
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F. Previous Enforcement Actions:
N / A
III. Type and Purpose of Inspection
Evaluation of the Facility's compliance with its National Pollutant Discharge Elimination
System (NPDES) permit and EPA's Spill Prevention, Control, and Countermeasure
(SPCC) program.
IV. Facility Description
From the NPDES permit Fact Sheet: The Permittee operates a treatment, storage, and
disposal facility (TSDF) for hazardous wastes at this location. The Facility functions
primarily as a hazardous waste storage and consolidation center, though some treatment
does occur on - site, including: stabilization of contaminated soils (mostly stabilization of
lead); solidification by adding cardboard or saw dust; neutralization of weak acidic and
caustic solutions, primarily by blending waste streams, gravity phase separation (mainly
for gas, oil and water); and on - site PCB storage. Most wastes that are handled at this
Facility are regulated under the Federal Resource Conservation and Recovery Act
(RCRA), Subtitle C and the Massachusetts General Law chapter 21C, Massachusetts
Hazardous Waste Management Act.
The stormwater that collects on the property, including within secondary containment
areas that are emptied using submersible pumps, flows via gravity to a stormwater
treatment system located in the northeast corner of the site. The discharges from the
stormwater treatment system is regulated by a NPDES permit issued by EPA, NPDES
No. MA0031551 (2021 Permit).
V. Inspection
The inspection was announced to the facility on or around August 15, 2022 by MassDEP.
While the MassDEP inspection was primarily intended to evaluate the facility waste
storage, handling, and treatment activities, EPA's purpose was to assess the Facility's
compliance with its NPDES permit and its compliance with EPA's SPCC program.
A. Opening Conference
I arrived at approximately 10 am and I presented my credentials and provided a copy of
the Small Business Resources Information Sheet. I explained the purpose of the
inspection for EPA. Representing the facility were David Medina, the Facility Operation
Manager; Don Smith, Senior Environmental Compliance Manager; and, Stephan Ganley,
General Manager.
The Facility described its ongoing construction of a new building to replace Building 2
The new building would house maintenance facilities and the environmental lab. We
discussed sampling regimes. Mr. Medina stated that routine samples are collected at the
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stormwater treatment plant and whole effluent toxicity dilution water and control samples
are collected from the receiving water. Mr. Medina indicated that one sample per quarter
is taken during discharge events from the tank farm secondary containment basin to
comply with the permit requirement that at least one sample per year be taken that
includes discharges of stormwater from the dike / tank farm secondary containment area.
Mr. Medina does not know if the NPDES Discharge Monitoring Report (DMR) indicates
when it reflects a discharge from the tank farm secondary containment tank. We
discussed the benefits for compliance and process control of recording these samples in
the applicable DMR or cover letter. Mr. Medina reported that the facility is not currently
conducting lead soil stabilization in the tank farm area but indicated that it may conduct
should activity in the future.
I provided a printout of DMR data since the 2021 Permit was issued and discussed the
relatively high levels of bacteria reported (enterococci up to 4520 MPN / 100mL and fecal
coliforms of up to 9800 MPN / 100 mL). I acknowledged that while the 2021 Permit does
not include numeric limits, the reporting required is to enable the Permit Office to assess
the need for bacteria limitations in the future and that it might be appropriate for the
facility to begin to assess the source(s) of bacteria in its wastewater.
B. Facility Tour
The facility tour began at the stormwater treatment system [see photos 1 and 2] and Mr.
Medina described the treatment process. I checked the ISCO composite sampler
refrigerated sample compartment but there is no bulb thermometer. Mr. Medina believed
(and subsequently confirmed) that the ISCO sampler monitors and records the
temperature in the sample compartment.
Leaving the treatment system, we walked by a conventional solid waste dumpster [photo
3]. I recommended that these types of containers be covered when not in active use as a
general good housekeeping practice to prevent exposure to stormwater.
In Building # 4, we observed hazardous waste and oil drums. Mr. Medina did not know if
the oil storage at this location is recorded in the facility Spill Prevention, Control and
Countermeasure plan. A subsequent review of the SPCC plan confirmed that this storage
was included in the plan.
We inspected a # 2 fuel oil tank with secondary containment outside building # 5 [see
photos 4 and 5]. No issues with either the tank or secondary containment were evident.
Under the roofed area tank farm, there are 9 waste storage tanks within secondary
containment walls. Also under the roofed area, outside of the tank containment area, were
approximately 10 tanker trucks, presumably offloading or onloading waste materials to or
from the tanks. At the north side of the roofed area is an old fuel dispenser [see photo 6].
I was told that this dispenser and an associated tank, located within the tank secondary
containment area, are no longer used and have been replaced by a new fuel tank and
dispenser located just south of the tank farm. I was told that the old dispenser and tank
are going to be removed.
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We proceeded to the fuel tank and dispenser located to the south of the tank farm.
According to the SPCC Plan, this is a double - walled 12,000 gallon # 2 fuel oil tank [see
photo 7].
Following the site tour, we inspected the laboratory. The pH calibration solutions dates
were current and the pH probe was stored in deionized water. I saw that the facility had a
container of storage solution and I was told that this solution was likely used for longer-
term storage of the probe. Recommended practice is to always store the probe in storage
solution to prolong the life of the probe.
C. Records Review
Preliminary review of Stormwater Pollution Prevention Plan (SWPPP), as facility had not
provided attachments to the SWPPP at the time of this review.
1. The plan was revised in Aug 2022.
2. The updated plan does not contain all of the monitoring requirements of the 2021
Permit, such as monthly bacteria (fecal coliform and enterococcus), and does not
accurately reflect the monitoring frequency for several pollutants.
3. Outdated copies of the NPDES permit and SPCC plan in the appendices were
replaced during the inspection.
The SPCC plan updated in Aug 2022, was briefly reviewed on site. The body of the
SPCC plan was sent to me by email following the inspection, but it did not contain the
attachments, which are necessary for a complete review; this review will be completed
after receiving a complete plan.
D. Closing Conference
I summarized the inspection by noting the following observations:
1. The facility should confirm documentation of temperature control in the ISCO
sampler refrigerator; I recommend adding a calibrated bulb thermometer to the
unit for spot temperature checks.
2. I recommended that the dumpster(s) be covered when not in active use.
3. The pH probe should be stored in appropriate storage solution.
4. The facility should record and report when the DMR reflects discharges from tank
farm secondary containment basin.
5. The facility should consider investigating elevated bacteria results reported in its
DMRs.
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6. I indicated that I would send a copy of an SPCC inspection form and copies of the
photos that I took during the inspection. I provided this information in an email to
Mr. Smith in an email on 9/2/22.
7. I indicated that I would review the SWPPP and SPCC plans in more detail. I will
do this after receiving complete versions of the documents, including the
attachments, which were not included in the submissions provided after the
inspection.
I departed the facility at approximately 11:45 am.
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 investigation or action.
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Photo 1: Intake to Stormwater Treatment System
Photo 2: Portion of the Stormwater Treatment System
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Photo 3: Uncovered Solid Waste Dumpster
Photo 4: No. 2 Fuel Oil Tank Outside Building # 5
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Photo 5: Oil Tank Outside Building # 5 Photo 6: Old Fuel Dispenser
Photo 7: 12,000 gallon # 2 Fuel Oil Tank
TNKFU032
NO SMOKING
U-FUEL
DESEL
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