Document yre7xbNMg35GNzRxJM6y0G0Br
UNITED STATES
AGENCY
ENVIRONMENTAL
PROTECTION
REGION 1
BOSTON, MA 02109
Date:Dated as shown on electronic signature(s)
Subj:Inspection Report
Clean Water Act - National Pollutant Discharge Elimination System
(" NPDES ")
Stiles and Hart Brick Company
From:Eleanor Horvath, Inspector
Thru:Alex Rosenberg, Acting Manager, Water Technical Unit 1
Digitally signed by
To:FileALEX ROSENBERG
Artby
Date: 2024.09.26
I. Facility Information
16:35:41 -04'00 '
A. Facility Name:Stiles and Hart Brick Company
B. Facility Location:127 Cook St # 3307,
Bridgewater, MA 02324
C. Facility Contacts:Lincoln Andrews, Owner, Stiles and Hart Brick Company
Jim Maltais, Operations Manager, Stiles and Hart Brick
Company
Renee Andrews, Stiles and Hart Brick Company
D. NPDES ID No (s).: None
II. Background Information
A. Date(s) of inspection: September 3, 2024
B. Weather Conditions: Sunny, 70 degrees Fahrenheit
C. US EPA Representative(s):
Alex Rosenberg, Clean Water Act Inspector, U.S. EPA Region 1
Eleanor Horvath, Clean Water Act Inspector, U.S. EPA Region 1
ED_019088A_00005663-00001
Margarita Chatterton, Clean Water Act Inspector, U.S. EPA Region 1
Davianna Vasconcelos, Clean Air Act Inspector, U.S. EPA Region 1
Grace Perry, Clean Air Act Inspector, U.S. EPA Region 1
D. State / Local Representative(s):
None
E. Federally Enforceable Requirements Covered During the Inspection:
EPA 2021 Multi - Sector General Permit
EPA Spill Prevention, Control, and Countermeasure (SPCC) rule
F. Previous Enforcement Actions:
None
III. Type and Purpose of Inspection
Permit Applicability Evaluation
IV. Facility Description
The site is approximately 142 acres, including offices, manufacturing facilities, mining
areas, and open space. It is surrounded by open space to the east and west and state-
owned correctional facilities to the north. The site is bordered by the Taunton River to
the south and east, with open space, agricultural land, and a residential development
across the river in neighboring Middleborough.
V. Inspection
Inspector Rosenberg called Mr. Lincoln Andrews on Thursday, August 29th, the week
before the inspection. Mr. Andrews granted access and said he would be onsite to
accompany EPA on the inspection. EPA arrived at the facility at approximately 10:00
AM.
A. Opening Conference
Mr. Andrews met EPA onsite, along with his wife, Ms. Renee Andrews, and Mr. Jim
Maltais, the facility's Operations Manager. The opening conference began at
approximately 10:15 AM. All EPA inspectors presented their credentials.
Inspector Rosenberg explained the purpose of the inspection, and discussed general and
Clean Water Act - related details of the facility with Mr. Andrews. Following this,
Inspector Vasconcelos asked Mr. Andrews questions regarding the Clean Air Act. Mr.
Andrews gave a comprehensive description of the facility and its activities as they relate
to both the Clean Water and Clean Air Acts. Mr. Andrews described the following
aspects of the facility and its activities:
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The brick manufacturing process is comprised of the following steps: mining,
mixing, forming, drying, and firing.
The site has potable well water, and a number of septic fields for the discharge
of sewerage.
Water is used sparsely in the manufacturing processes, primarily for the washing
of brick molds, as cutting lubricant, and when necessary to increase the humidity
of the raw product. Recycle systems are in place for all washing and / or cutting
waters.
No process water (i.e., industrial wastewater) is discharged offsite from the
industrial processes.
* There are no storm drains onsite, nor floor drains in the manufacturing facilities.
The facility uses a small amount of oil to run onsite equipment and stores oil in
two above ground storage tanks: one for fueling onsite vehicles / machinery
(estimated volume of 1,500 gallons), and the other to run a diesel pump
(estimated at 150 gallons).
B. Facility Tour
The group began the site walk by touring the manufacturing facilities and surrounding
outdoor areas. Mr. and Ms. Andrews were not present for this portion of the inspection.
From the offices where the opening conference was held, the group walked south,
approaching the western side of the manufacturing buildings. EPA observed a large
double - walled tank as well as other evidence of industrial activities (e.g., stockpiles of
bricks and coal, other tanks, equipment / machinery, waste material) throughout the
yard (see photos 14-19, 53, 55-61, 64-71). The group briefly entered the building to
observe aspects of the brick cutting system with its water recycler (see photos 62-63).
Inspectors explained the requirement under oil regulations (specifically, the Spill
Prevention, Control and Countermeasure Rule, or SPCC) to inspect all aboveground
storage tanks and their associated systems of containment on a monthly basis, and to
conduct integrity testing for certain types of tanks on the frequency specified in the
regulations.
Mr. Maltais explained that although industrial activities are exposed to stormwater (i.e.,
not under cover) in this area, there is a large earthen berm south of the manufacturing
facilities and yard that prevents any stormwater from running offsite into the nearby
Taunton River. While walking east along the southern edge of the facility, EPA observed
this berm between manufacturing areas and the river through a densely vegetated
buffer zone.
At the southeastern corner of the manufacturing area, a railway track formed an
additional berm for the impedance of stormwater flow. The railway crossed the river via
a bridge. EPA inspectors observed that the southern earthen berm ended approximately
20 feet from the railway along the shore of the river. Where the berm was not present
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stormwater could potentially discharge to the river. Photographs of this area were
captured and no evidence of material transport along this conveyance path was
observed (see photos 50-52).
The group then entered the manufacturing building. EPA observed kilns, brick dryers,
the burner room, the brick machine, the transfer machine, the pug mill, the carousel,
and many bricks in various statuses of production (see photos 23-27, 31-36, 38-39, 41-
49). EPA noted the presence of oil - filled operational equipment associated with many of
the pieces of equipment within the building (see photos 28-30, 37, 40), and mentioned
to facility representatives the need to include them in their SPCC plan when any
individual tank has a capacity of 55 gallons or greater.
An area at the center of the building is open to the elements between two distinct
sections of roofing (see photos 21-22). Bricks are being staged in this area. Mr. Maltais
explained that stormwater falling on this uncovered area, as well as stormwater from
the building's roof gutters, flow into a subterranean cistern at the center of the building
complex and then infiltrates into the ground.
From the manufacturing buildings, the inspection group walked west along a gravel
roadway toward the mining ponds. The first body of water (" Pond A ") was observed
through dense vegetation to the south of the gravel road (see photo 13), approximately
0.15 miles from the buildings. Mr. Maltais described this as an old pit that was no longer
used.
After walking approximately 0.4 miles from the manufacturing buildings, the group
approached an area of more recent mining. At this point in the inspection, Mr. and Ms.
Andrews reunited with the group.
EPA observed a pump being used to move water from the southeasternmost pond
(" Pond B "), and a diesel tank with an approximate capacity of 100 gallons associated
with the pump (see photos 4-7, 9-11). Mr. Maltais explained that water is pumped from
Pond B into an adjacent pond to the northeast (" Pond C "), from which water flows by
gravity drainage through a culvert into the pond to the North (" Pond E "). Another area
northeast of Pond B, south of Pond A, was entirely dry (see photo 8 and figure 1). This
dry area is where facility representatives stated mining activities are currently being
conducted. Facility representatives further explained that when mining activities are to
be conducted in Pond B, water must be removed via the pump to enable the removal of
clay by dragging a claw along the ground and loading the aggregated material into a
dump truck.
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St
Hicut
Pond E
Pond A
Pond C
Pond D
Outfall
Pump location
Pond B
Figure 1. Aerial image of mining areas with ponds labeled.
The group walked counterclockwise around Pond D from the pump location, and
observed the location where Pond E discharges on occasion into the Taunton River.
Inspector Tedder observed the discharge location through very dense vegetation (see
photos 1-2). Facility representatives stated that discharge into the river from Pond E
usually occurs a few times per year, dependent on seasonal rainfall amounts.
Inspectors observed no stormwater conveyance paths offsite from mining activities.
Inspectors explained that under the industrial stormwater permit, the discharge of mine
dewatering water is permitted if treated by an appropriate control (MSGP Part
1.2.2.3.c.). Inspectors observed no turbidity or a suspended solids (the pollutant of
concern for mining activities) in Pond E near the discharge location. Inspectors discussed
that this was likely due to the pollutant treatment train that is being implemented (the
long - distance flowpath to increase settling due to longer residence time within Ponds C
and E).
The group walked back northeast from the discharge location toward the manufacturing
buildings and offices, where the site tour was concluded.
C. Closing Conference
The closing conference occurred at approximately 2:30 PM. Inspector Rosenberg
thanked Mr. Andrews, Ms. Andrews, and Mr. Maltais for their time. He then explained
that there are two programs under the Clean Water Act whose regulations might apply
to the facility: the Multi - Sector General Permit (MSGP) and the Spill Prevention, Control
and Countermeasure Rule (SPCC).
Inspector Rosenberg described MSGP applicability and the process of applying for MSGP
coverage, should it be determined that the facility requires it. It was explained that if
stormwater associated with industrial activities do not discharge offsite (e.g., by
ensuring that a permanent berm completely surrounds all industrial activities), then the
permit does not apply to those respective activities.
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Regarding oil regulations (SPCC), inspectors noted that an oil storage capacity above the
regulatory applicability threshold was observed onsite, and therefore an SPCC plan must
be drafted and implemented.
EPA indicated that they would be following up with an inspection report within 60 days.
EPA departed at approximately 3:30 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
concern. Nothing in this report affects EPA's authorities under federal statutes and
regulations to pursue further investigation or action.
VI. Inspection Photos
Photo Log PageField - Level Image Descriptions
t well
Small diesel tank
1823D5r6y7 00i n4 ,t5haPt um pd Piith
roescet
ion
9All the clay is gone
10Other end of pump and tank
11 Pump
12 Stockpile
13Old pit through tree
14Unused drag line
15Old tank
16 Stuff
17This is am old stack
18Label on tank
19Water truck
20Drainage gaps in floor
21Pitched into gutters and cistern, which infiltrates
22Gutters drain into cistern down there
23Another angle of carousel
24This is the carousel
25Brick machine gears
26Vents from dryers
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ED_019088A_00005663-00006
27Pug mill
28, 29Hydraulic tank for brick mover
30Transfer machine tank
31Little leak
32 Tank
33 Tanks
34 Dryers
35Buckets and stuff
36 Label
37There's a tank in there
38 Tanks
39Brick machine. Was last running last Thursday
Hydraulic tank might need SPCC (this is for brick
40
matching; Alex estimates over 55 gallons)
41,42 System
43 Bricks
44These are drying
45Burner room
46Smells like gas around here
47 Dryers
48 Kiln
49 kiln
50Slope from river
51Edge of river
52 River
53 Piles
543 of 4 exhaust stacks from dryers
55 Air
56Waste material etc
57Coal stockpile
58 Piles
59Engine label
60Pallets and coal
61Pump engine
62Closer on room
63Brick cutting system with water recycler
64Small example stockpile
65Small tanks
66Tank wide angle
67More tank stickers
68Sticker on tank
69 Tank
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70 Tank
71
Tank
8 00
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