Document gEQkwyB0EwKBqOpx43K8o5O7Q
UNITED STATES
* *
ENVIRONMENTAL PROTECTIAOGENNC
Y
REGION 9
SAN FRANCISCO, CA 94105
August 1, 2024
Via Electronic Mail and Certified Mail
Return Receipt Requested
Liane Otake, General Manager
360 Ewa Beach Golf Club
91-050 Fort Weaver Road
Ewa Beach, Hawaii 96706
lotake@ewabeachgc.com
RE: Request for Information Pursuant to Section 1445 of the Safe Drinking Water Act (42 USC 300j-
4) for the Wastewater Disposal System(s) that serve the 360 Ewa Beach Golf Club Comfort Station
and Maintenance Facilities located by North Road, Tax Map Key (TMK): 1-9-1-001-030.
Dear General Manager Otake:
Pursuant to section 1445 of the Safe Drinking Water Act (SDWA), 42 U.S.C 300j-4, the United States
Environmental Protection Agency, Region IX (EPA) conducted a compliance evaluation inspection on
July 22, 2024, of the 360 Ewa Beach Golf Club located at 92-460 Farrington Highway Kapolei, HI 96707
(TMKS: 1-9-2-050-005 and 1-9-2-050-006). The purpose of the inspection was to determine the 360
Ewa Beach Golf Club's compliance with the SDWA's, Underground Injection Control (UIC) regulations
provided in the Code of Federal Regulations (CFR) Title 40, Parts 144-148. Specifically, EPA was
investigating the potential usage of non - residential large capacity cesspools at the 360 Ewa Beach Golf
Club's Comfort Station and Maintenance Facilities located by North Road.
The underground injection control (UIC) regulations promulgated by EPA pursuant to the Safe Drinking
Water Act (SDWA) required that all existing large capacity cesspools be closed by April 5, 2005. 40
C.F.R. 144.81 (2), 144.88. The UIC regulations define large capacity cesspools as residential cesspools
that serve multiple dwellings or non - residential cesspools that have the capacity to serve 20 or more
persons per day. Id. 144.81 (2). Cesspools allow raw sewage to be discharged into the ground and are
a public health and environmental concern, particularly with regard to the threat they pose to
underground sources of drinking water. Additional information on the impact of large capacity
cesspools and EPA's efforts to address these impacts can be found at EPA's website:
https://www.epa.gov/uic/cesspools-hawaii.
Since EPA was unable to determine the manner in which the Comfort Station and Maintenance
Facilities located by North Road disposed of sanitary wastewater during the time of the July 22, 2024
compliance evaluation inspection, EPA requires a written response to this correspondence which
formally seeks information related to the subsurface wastewater infrastructure that serves the
buildings. The SDWA provides EPA with the authority to request information for the purpose of
determining compliance with the SDWA and its UIC regulations. Section 1445 of the SDWA, 42 U.S.C.
300j-4, and 40 C.F.R. 144.17.
As follow - up to the compliance evaluation inspection, EPA hereby requires the 360 Ewa Beach Golf
Club to provide the following information about the methods of sanitary wastewater disposal at the
Comfort Station and Maintenance Facilities:
1. Copies of the following existing documents that confirm the Comfort Station and Maintenance
Facilities connect to the City and County of Honolulu municipal sewer system:
a. any blueprints or drawings showing sewer connections;
b. any permits issued by the City and County of Honolulu for the construction or use of
sewer laterals; and
c. any reports and data from any tests that have been performed at the Comfort Station
and Maintenance Facilities, including, but not limited to, records of installation of sewer
laterals, inspection reports, and camera and video records.
If the 360 Ewa Beach Golf Club is unable to confirm that the Comfort Station and Maintenance.
Facilities connect to the City and County of Honolulu municipal sewer system, please provide the
following information about the wastewater disposal unit(s) that the serve the Comfort Station and
Maintenance Facilities:
1. A narrative description of the nature and physical characteristics of each subsurface
wastewater disposal unit(s) / system(s) (e.g., cesspool, septic tank, seepage pit) associated with
activities at the Comfort Station and Maintenance Facilities. The description must include the
depth, width, and volume of the unit(s) / system(s) (including any associated tanks); and the
material, nature, and porosity of the lining, floor, and roof / cap / ceiling of the unit(s) / system(s)
(including any associated tanks).
2. For each subsurface wastewater disposal unit / system identified in response to Request # 1, a
description of how the unit / system operates to treat and / or dispose of wastewater and
whether it is currently in use.
3. A map or drawing, made at a minimum 1:10 scale (or some other easily readable scale) of the
Comfort Station and Maintenance Facilities (and surrounding areas if necessary) that clearly
identifies the location of each wastewater disposal unit identified in response to Request # 1
and the dwellings, buildings or facilities that are contributing wastewater to those unit(s).
4. Copies of the following existing documents pertaining to the subsurface wastewater disposal
unit(s) / system(s) identified in response to Request # 1:
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a. any blueprints or drawings for the unit(s) / system(s);
b. all permits issued by any local, state, or federal agency for the construction or use of the
unit(s) / system(s); and
c. any reports and data from any tests that have been performed on or at the
unit(s) / system(s), including, but not limited to, pumping records, records of installation,
inspection reports, percolation tests, and camera and video records.
5. A description of each dwelling, building, and facility that contributes sewage or wastewater to
each subsurface wastewater disposal unit / system identified in response to Request # 1 and
provide any copies of site plans or as - built drawings for each.
6. A description of the ownership and operational control of the Comfort Station and
Maintenance Facilities, including, but not limited to, the percentage ownership of each owner,
the nature of operational control for each operator, and the contact information for all owners
and operators or managers of the 360 Ewa Beach Golf Club. Provide copies of any / all
documents which support the ownership and / or operational control of the Comfort Station and
Maintenance Facilities, including, but not limited to, leases, sales agreement, management
agreements, operator agreements, etc.
7. A description of the ownership and operational control of each wastewater disposal
unit / system identified in response to Request # 1 (e.g., ownership by a homeowner's
association) as well as contact information for each owner or operator of the wastewater
disposal unit(s) / system(s). If the wastewater disposal unit / system is located off - site (e.g.,
located on an easement on an adjacent property), provide information regarding this
arrangement.
8. For each subsurface wastewater disposal unit / system identified in response to Request # 1, an
identification and / or description of the following:
a. any time during the past three years, the maximum daily number of persons that
cumulatively use or visit the 360 Ewa Beach Golf Club, along with an identification of the
source of the data.
All submittals made in response to this letter must be accompanied by the following certification,
which is to be signed by a duly authorized representative in accordance with 40 C.F.R. 144.32 (b) and
(d):
" I certify under penalty of law that this document and all attachments were prepared under my
direction or supervision in accordance with a system designed to assure that qualified personnel
properly gather and evaluate the information submitted. Based on my inquiry of the person or persons
who manage the system, or those persons directly responsible for gathering the information, the
information submitted is, to the best of my knowledge and belief, true, accurate, and complete. I am
aware that there are significant penalties for submitting false information, including the possibility of
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fine and imprisonment for knowing violations. "
The 360 Ewa Beach Golf Club's response to this information request must be submitted by September
6, 2024 to Jelani Shareem at shareem.jelani@epa.gov. In lieu of submitting the information by email,
the 360 Ewa Beach Golf Club may submit its response to the following address if post - marked by
September 6, 2024:
Jelani Shareem
USEPA, Region 9
Enforcement and Compliance Assurance Division
Drinking Water Section (ECAD-3-3)
75 Hawthorne Street
San Francisco, CA 94105
Please be advised that failure to submit the information requested pursuant to Section 1445 (a) of the
SDWA, 42 U.S.C. 300j-4 (a), and 40 C.F.R. 144.17, is a violation of SDWA and may subject the 360
Ewa Beach Golf Club to an enforcement action by EPA, including an action for monetary penalties.
Pursuant to Section 1445 (c) of the SDWA, 42 U.S.C. 300j-4 (c), EPA may seek penalties of up $ 69,733
in any such action.
The EPA has promulgated regulations to protect the confidentiality of business information it receives.
These regulations are set forth in 40 C.F.R. Part 2, Subpart B. A claim of business confidentiality may be
asserted in the manner specified in 40 C.F.R. 2.203 (b) for part or all of the information submitted in
response to this letter. EPA will disclose business information covered by such a claim only to the
extent authorized by 40 C.F.R. Part 2, Subpart B. If no business confidentiality claim accompanies the
information when EPA receives it, EPA may make it available to the public without further notice. The
360 Ewa Beach Golf Club may not withhold any information from EPA on the ground that it is
confidential business information.
This request for information is not subject to review by the Office of Management and Budget under
the Paperwork Reduction Act because it is not a " collection of information " under 44 U.S.C. 3502 (3).
It is directed to fewer than ten persons and is an exempt investigation under 44 U.S.C. 3518 (c) (1).
Thank you for your attention to this matter. Please feel free to Jelani Shareem at (415) 972-3095 or
shareem.jelani@epa.gov with any questions and / or concerns.
Sincerely,
LAWRENCE
TORRES
Digitally signed by LAWRENCE
TORRES
Date: 2024.08.01 08:46:34 -07'00 '
Lawrence Torres, Manager
Drinking Water Section
Enforcement and Compliance Assurance Division
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CC: Johnathan Nagato, Hawaii Department of Health Wastewater Branch
(jonathan.nagato@doh.hawaii.gov)
Mark S. Tomomitsu, Hawaii Department of Health Wastewater Branch
(mark.tomomitsu@doh.hawaii.gov)
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