Document gD4Zn6rjjzxQNB93NqmbKo9ea
UNITED STATESUNITED STATES ENVIRONMENTAL PROTECTION AGENCY
REGION 1
NVIRONMAGEENBCYOS5 TPOOSNT, OFMFAIC E0 S2Q1U0AR9E-, 3S9U1IT2E
100
PROTECTION
Date:Dated as shown on electronic signature(s)
Subj:Inspection Report
Clean Water Act - National Pollutant Discharge Elimination
System (" NPDES ")
McConnell Enterprises
Digitally signed by
ALEX ROSENBERG
From:Alex Rosenberg, InspectorAntly Date: 2023.12.13
16:45:05 -05'00 '
Thru:Todd Borci, Manager
To:File
I. Facility Information
A. Facility Name:McConnell Enterprises
B. Facility Location:60 Garden Park
Braintree, MA 02184
C. Facility Contacts: Crosby Martin, General Manager
10 Icehouse Lane, PO Box 187
Essex, MA 01929
978-768-6078
mcc.essex@verizon.net
Mark Boudreau, Operations Manager
781-848-2870
D. NPDES ID No (s).: MAR053802
II. Background Information
A. Date(s) of inspection: November 7, 2023
B. Weather Conditions: Brief rain shower in the morning, clear during inspection
C. US EPA Representative(s):
Alex Rosenberg, Nafisah Ali
D. State / Local Representative(s):
none
ED_019088A_00012906-00001
E. Federally Enforceable Requirements Covered During the Inspection:
National Pollutant Discharge Elimination System Multi - Sector General Permit
(September 29, 2021) (40 C.F.R part 122), Oil Pollution Prevention
regulations (40 C.F.R. part 112).
F. Previous Enforcement Actions:
none
III. Type and Purpose of Inspection
Environmental Protection Agency (" EPA ") inspectors conducted a compliance evaluation
inspection of the Facility's applicability under the National Pollutant Discharge
Elimination System (" NPDES ") Multi - Sector General Permit (" " MSGP ") for Stormwater
Discharges Associated with Industrial Activity as well as the Federal Clean Water Act
(" CWA ") Oil Pollution Prevention Regulations.
IV. Facility Description
The business is a material recycling transfer and processing station located at 60 Garden
Park in Braintree, Massachusetts (the " Facility " or " site ").
According to Federal Emergency Management Agency (" FEMA ") flood information,
the site is within a federally identified Flood Hazard Zone and has reasonable potential to
discharge pollutants including oils directly and / or indirectly to a wetland area and the
Monatiquot River. As a preliminary matter, EPA recommends that the company review
areas where materials are stored or operations occur for elevated water levels and store
mobile and portable containers, industrial materials, chemicals, and other waste, if
possible, above potential flood elevation. For more information about preparing for
natural disasters and resilience go to: https://www.epa.gov/natural-disasters/flooding, and
https://www.epa.gov/sites/default/files/2015-08/documents/flood_resilience_guide.pdf.
The site is approximately 6.75 acres and is bordered to the west by a rail line and the
Monatiquot River. The entrance and exit are co - located at the north end. Wetlands border
the property to the south and east.
The Facility (refer to Attachment A, Photo Album, Slide 2) consists of processing
building (with associated office space), roll off containers, truck scales, and outdoor
stockpiling areas. The Facility's maintenance garage is located at 91 Forest Ave., an
adjoining property.
Public records indicate that the Facility is primarily engaged in industrial activity
classified under Standard Industrial Classification (SIC) Code 5093 (Scrap and Waste
Materials). The Facility was covered under the previous 2015 MSGP and reapplied for
1 https://msc.fema.gov/portal/home
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coverage under the 2021 MSGP on May 28, 2021. Coverage became effective on June
27, 2021 with a permit identification number, MAR053802, under subsector N1-Scrap
Recycling and Waste Recycling.
V. Inspection
Inspection was unannounced.
Inspectors arrived at approximately 1:30 PM.
A. Opening Conference
Mr. Rosenberg presented his credentials to Mark Boudreau, the office manager. Mr.
Boudreau called the owner, Mr. Crosby Martin, who participated in the opening
conference via speakerphone. Mr. Martin requested that the inspection be rescheduled to
allow him to be present. Inspectors asked that because they were on site, to allow Mr.
Boudreau to be the guide. Mr. Martin agreed.
Mr. Boudreau provided the following information to inspectors regarding the Facility.
The company's main office is located in Essex, MA. The Facility is the
companies only location with industrial activities. Seven full - time employees
work at the Facility, Monday to Friday between the hours of 7:00 am to 3:15 pm
and on Saturday from 8:00 am to 11:45 am.
* Material is accepted from public as well as industrial contractors, such as
construction and demolition debris, bulky waste (such as air conditioners and
refrigerators), and metal.
Incoming recyclable material is weighed on a scale before being dumped inside
the processing building (non - ferrous) or within the accumulation area outside
(ferrous). Inside the processing building, once sorted and processed, material is
then either trucked off - site or transported off - site by rail car.
The processing building has a waste oil burner (slide 3).
Their trucks undergo oil changes within the processing building. Oil is collected
by the mechanic in 55-gallon drums;
There is an oil water separator outside the garage, fed by floor drains inside the
garage. It is cleaned annually.
The Facility stopped accepting brick, concrete, and marble.
Stormwater flows off the site via the driveway entrance where discharge enters
the catch basin. The catch basin discharges into a pipe that travels southwest
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underneath the northwest corner of the Facility where it discharges beyond the
railroad tracks. This discharge point is what the Facility has identified as their
outfall.
Samples are collected at this outfall, even though Facility representatives
acknowledge that this flow is comingled with stormwater runoff from neighboring
properties. Inspectors explained that the Facility's stormwater monitoring should
occur at the point that discharge leaves the site boundary.
Inspectors raised the fact that the Facility is currently in Additional Implementation
Measure (" AIM ") level 3 for exceeding the average annual benchmark threshold
concentrations for the parameter zinc. Facility representatives showed inspectors an e-
mail correspondence from November 7, 2023 from their consultant Roux Environmental
(slide 11 and 12) that stated the following:
* the value of water hardness used on the Facility's notice of intent to discharge
permit application (NOI), which determines the benchmark threshold for the
parameter zinc, was obtained at the Facility's outfall, " however, [Roux
Engineering] believe that a sample from the Monatiquot river is more appropriate
to evaluate the hardness of the river. "
Once the river hardness is determined if it is determined that zinc still exceeds the
benchmark threshold installation of waddles for filter socks designed to reduce
metal concentrations is recommended at catch basin inlets and the long berms.
* A round of sampling by a third party is recommended to evaluate and confirm
possible differences in sample location, selection, and collection methodologies
Inspectors noted that Part 4.2.2.1. of the MSGP states that " if your facility is in one of the
industrial sectors subject to benchmark thresholds that are hardness - dependent, you must
include in your NOI a hardness value, established consistent with the procedures in
Appendix J. " Appendix J explains that " to determine which hardness range to use, you
must collect data on the hardness of your receiving water(s). " The Facility's application
(notice of intent to discharge, NOI) certified by Mr. Martin on May 28, 2021, was
prepared by Roux Associates and indicates a receiving water body hardness of 37.5 for
the Monatiquot River.
Mr. Martin said that he had been struggling to identify the source of zinc. He said
although samples are regularly taken from the outfall outside of their Facility, he
recognizes that there might be influence from neighboring properties at this location. In
order to be confident that the zinc is coming from their Facility, samples have also been
collected at the Facility boundary (at the head of the driveway).
Mr. Martin told inspectors that a water sample from the receiving water body has been
collected to determine the hardness. He said that once the sample results have been
received, further analysis based on a potentially updated zinc threshold concentration will
be conducted.
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B. Facility Tour
Mr. Boudreau showed EPA inspectors around the Facility.
Inspectors observed the inside of the processing building (slides 3-7).
Inspectors observed three above ground storage tanks in a storage container (one red 200-
gallon, and two black 150-gallon) (slide 14).
Inspectors observed a pallet of lead acid batteries outside, uncovered. Facility
representatives stated that the batteries were delivered earlier that morning and would not
be stored outside (slide 13).
Inspectors observed material and trailers stockpiled or parked along the border of the site
(slide 15-18, 32). Inspectors recommended that Facility representatives walk the property
boundary during rainfall to determine whether additional discharge points exist (see Part
3.1.6.4.b.).
Inspectors observed material stockpiled in different areas around the site (heavy steel,
light iron, structural (slide 23), aluminum, refrigeration units (slides 19-20), railroad ties
and PNS plates (rotors) (slide 24). The Facility representative told inspectors that railroad
ties and rotors are transported off site by rail, everything else is trucked off site.
Inspectors observed a channelized flow path entering the wetlands (slides 28-29) where
stormwater discharges off - site between two cement blocks a few yards away from the
rotor stockpiling area at the end of the railway spur (slides 25-27, 30). Inspectors
explained to the Facility representative that their observations are evidence of an
additional stormwater discharge point at the southwest boundary of the Facility.
Inspectors observed a water tank, approximately 15 ft tall by 10 feet in diameter, on the
site (slide 22).
The Facility representative told inspectors that an excavator with a magnet is used to
collect metal and clean the site (slide 31).
An oil spill kit was observed by inspectors stored in a trailer and contains speedy dry.
Inspectors observed the outfall where hay bales are present as a stormwater control
measure (slide 35-36) located just to the West of the railroad track (slide 34).
C. Records Review
EPA inspectors asked to see the Facility's Stormwater Pollution Prevention Plan
(" SWPPP "), training records, and the most recent quarterly site inspection record,
quarterly visual assessment record, and quarterly sampling documentation.
The Facility's SWPPP was dated October 2013 (see certification page, slide 9).
Inspectors explained that the permit have been reissued twice since that date. The
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Facility's stormwater drainage plan (Slide 10) showed the paved versus unpaved areas of
the site, stormwater flow direction, and the two off site catch basins as well as their
underground pipe and discharge point location. No training records were available.
Mr. Boudreau told inspectors that he did not know what a quarterly visual assessment
was. EPA inspectors explained the requirements of MSGP Part 3.2.
The Facility representative provided a quarterly water sample memo dated May 30, 2023,
which inspectors reviewed (slide 8).
D. Closing Conference
Inspectors held a brief closing conference outside of the processing building. Inspectors
reiterated the following observations and areas of concern;
The Facility has no documentation to conclude whether or not additional
discharge points exist, such as the one identified by inspectors at the southwestern
edge of the property;
Quarterly visual assessments are missing;
Monitoring of stormwater should be done at the property boundary where
stormwater discharges and not a location where the flow is comingled with offsite
run - on;
The Facility's SWPPP is out of date;
The Facility representative could not locate training records on - site;
The Facility should submit a change NOI with the receiving water body hardness
value; and
AIM level three response plans must be communicated to, and approved by, EPA
if not conducted within the required time frames.
Inspectors departed at approximately 3:30 pm.
Upon exiting the property, inspectors observed the two catch basins that drain to the
Facility's outfall (slide 37). Inspectors also observed the hydraulic connection between
the wetlands that surround the Facility and the river to the west of Garden Park. Two 36-
inch concrete culvert pipes (slide 38) carry flow from the wetlands underneath Garden
Park where they discharge into the river (represented by northern most red dashed line on
slide 2).
Unless otherwise noted, this report describes conditions at the Facility / site 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
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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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