On August 12, a second DEP hearing was held to take public comments on the draft NPDES and draft Air Quality permits. (note: written comments may be submitted via email until tomorrow Monday at 4:00PM - see the right margin for details of where to send - let DEP know how you feel about this ill-conceived proposal)
Audience members were spared the dog and pony show presentation that occurred at the November hearing, but Waste Management, Green Knight and Synagro each felt compelled to make appearances at the podium, to deliver advertising speeches. Each time, a small handful (perhaps 4 or 5) people clapped - these people were other representatives of the same group, not concerned citizens. Perhaps the intent was to get the attention of the press. Here are unofficial minutes, as recorded by one observer:
Minutes of August 12, 2019 DEP hearing
Gail Weber – citizen
DEP has to update its regulations so that all
contaminants from Synagro are filtered out of discharges to groundwater. This plant will generate many toxins, some
known but many not. Not only to protect
humans, but all living things including insects and aquatic life.
(name not known) EarthRes Air Quality engineer– We
considered worst case emissions in our application to DEP, and in typical
operation the alternate fuel sources of landfill gas and natural gas will not
be used. (This is untrue – Synagro has stated the amount of waste heat from Green
Knight is insufficient to run their drying equipment. Waste
heat will supply 84% of the energy used prior to teh landfill closing. This woman did not get the memo.)
(Editor's note: the complete testimony of Plainfield Township's five consultants, who are listed immediately below, is available here)
Gail Braden – Environmental Consultant for Plainfield Township
– Air, water and waste. Synagro’s plan
must meet exceptional conditions to earn the township’s support. Synagro and DEP must consider exceptional
quality of life standards, beyond regulatory minimums. All contingencies must be considered – what
happens if the power fails, heavy precipitation. Routine audits should be performed and
Synagro should be a good corporate neighbor.
Any issues should be resolved as soon as possible. Conduct business like you live outside the
fence.
Mike Brunamonti - Environmental Consultant for Plainfield Township
The revised NPDES permit application submitted to PA DEP on
July 1, 2019 contains an Enhanced NPDES Monitoring Plan, but not the Basin #2
Monitoring Plan or Groundwater Monitoring Plan that are mentioned in the DEP’s
NPDES Fact Sheet. The Fact Sheet
mentions these two Plans will be included in the Waste Management Permit. Stormwater associated with industrial
activities will be discharged to an abandoned quarry connected with
groundwater, and therefore the Clean Water Program must consider groundwater
protection when reviewing the NPDES permit application. Basin #2 water quality monitoring and
groundwater quality monitoring should be included in the NPDES permit. If DEP were to defer Basin #2 water quality
and groundwater quality to the Waste Management Permit, then DEP should issue a
draft Waste Management Permit before talking any further action on the NPDES
permit application.
Mr. Brunamonti
recommended several testing intervals for monitoring VOC’s and other
contaminants in outfalls to Basin #2, the Waltz Creek, and a tributary to the
Little Bushkill Creek. See here and
scroll down the page.
Recommendations of these intervals assumes that DEP incorporates Basin
#2 and ground water monitoring into the NPDES permit, as recommended above.
Routine inspections should be weekly, not semi-annually as
stated in the permit. At least once a
quarter, the routine inspection should occur during a storm runoff event – not
once per year. A summary report should
be submitted to DEP and Plainfield
Township after the first
year of operation, containing a summary of monitoring data and any exceedances
of permit limits and corrective actions taken.
Jack Embick – Environmental Solicitor for Plainfield Township
The Zoning and Planning process is not complete, so final
action on DEP permits should not take place.
DEP has encouraged Plainfield
Township to approve
Synagro’s land development plan; this is inappropriate. IF DEP wishes to comment on (read: interfere) with the township’s
process, it should put its comments in writing so the planning commission,
officials and public can consider them – just as we are doing at this hearing.
The township has requested that the applicant submit an
environmental impact study, which the applicant has refused to do. Both the township and DEP would benefit from
such a study, and we encourage DEP to support this request. The township believes that an individual
permit should be required for facilities such as this; the township has
identified several areas in this proposal that need improvement. A general
permit is not appropriate. (note that because an individual permit was
not required, a harms and benefits analysis is not required by DEP).
It is not apparent that DEP has considered the impacts of
this proposal as a whole, given the segregated approach to permitting (ie Waste Management, NPDES, Air Quality). The DEP must not consider the proposed
permits in this piecemeal fashion.
The DEP has not responded to public comments submitted at
the DEP hearing on November 7, 2018, 9 months ago. The DEP must communicate in a more timely
manner about the project and its proposed advantages and disadvantages. (eg A
general permit will allow DEP to more easily permit similar plants elsewhere in
PA – DEP has not commented on this)
The township is unaware that the required engineering was
done prior to issuing a Chapter 105 waiver to previously partially fill the pond. A Chapter 105 permit should be required,
because the water in this pond is directly connected with groundwater and Waters of the Commonwealth.
Trudy Johnston – biosolids/Nuisance Mitigation Control Plan
consultant for Plainfield
Township
Incoming biosolids may or may not be stabilized – they could
be digested or undigested. There is a
high probability incoming sludge will be odorous. The particle size in emissions may become
greater as the facility ages. The
Nuisance Mitigation Control Plan should be adopted into the Air Quality permit.
Regarding odors from trucks, what standard(s) does DEP
use? Definitions should be added so that
complaints may be addressed. Odors and
particulates, regardless of the source (ie
stack, roads, trucks, etc) must be regulated.
Jason Smith – wetlands consultant for Plainfield Township
Pre-startup sampling should be required as part of the NPDES
permit for the outfalls and pond itself (note
that due to the piecemeal permitting process – Brunamonti above – this is not currently
the case). There currently is no
background data for the pond water quality or surrounding groundwater, which
are required to assess future possible impacts.
The township has proposed additional surface and groundwater monitoring
and these should be included in the NPDES permit.
A previously unidentified wetland has been observed along
Waltz Creek within 300 feet of propose project activity. This area could potentially support bog
turtles, and the applicant should conduct a study (applicant has declined to do so).
The pond was not designed, constructed or maintained as a
Chapter 102-compliant stormwater or detention basin. Therefore the DEP should review the proposed
activities under Chapter 105. Granting a
waiver of the 105 permit could result in harm to the health, safety and welfare
of the public.
Tracy Carluccio – Deputy Director of Delaware Riverkeeper Network
This is a high risk project on an undersized lot. 3500 citizens will not be able to escape
water and air pollutants. The monitoring
proposed in the draft NPDES permit is weak and ineffective, promoting a
cover-up by commingling runoff from three different sources (ie landfill, gas to electricity plant,
Synagro). The groundwater is
connected with creeks designated for special protection under the
regulations. Despite increased
monitoring being proposed, there are many pollutants found in sludge and
wastewater that are not included in the permit.
Why isn’t DEP also demanding a geologic analysis, as the
township has, since the pond directly infiltrates to groundwater? The groundwater and surface drains on the
access road connect with the streams, carrying pollutants that will harm the
creeks and life in them. Synagro has not
done the required anti-degradation analysis (Sec 93.4c).
The Rube Goldberg plan is to haul away wastewater using the
same trucks that deliver the sludge, to an as-yet unidentified disposal
facility. This is caused by poor site
selection, wherein it is impossible to meet the discharge standards for the
creeks. There is great potential for
spills and accidents that will contaminate the creeks, given the maneuvering
and tight quarters of the site.
The air quality plan will allow hazardous air pollutants to
be emitted, and these will plaque the residents of Pen Argyl. Pen Argyl is ground zero for the pollutants
and odors that will be released from the plant and the trucks that support
it. This includes fires and explosions,
which have occurred as recently as August 2, 2019 (Explosion at Stamford CT
plant). Permit violations, accidents
and health and safety issues are to be expected with Synagro.
The proposed plant is the wrong project in the wrong place,
and DEP has not provided the required protection of our water and air, and thus
both permits must be denied.
Steve Demaris – citizen
Reported that EPA
official/whistlebower William Sanjour stated that he was directed to create
misleading public documents, and to not label sewage sludge as hazardous
matter. Sanjour was directed to not use
the normal processes to identify hazardous material. The public is not being protected from heavy
metals found in sludge. EPA fabricated
the facts, and as a result the legality of DEP permits is in question.
Russell Zerbo – Clean Air Council, a
PA and DE public health group
Synagro does not acknowledge in its
application that 25% of the citizens who live in the area of the plant are
below the poverty line, and this plant should be considered a major source of
emissions. Some of the most significant
emissions will be from truck traffic.
Synagro is relying on dust control from Waste Management’s operations,
yet it states that compliance of Waste Management to its permits is
irrelevant. Synagro’s compliance will in
fact depend on the compliance of its neighbors.
Synagro’s Camden
facility had a violation this year.Cumulative impacts of the operations near
this site (ie: landfill, energy center,
Synagro plant) must be considered.
Road emissions will be significant.
Bob Cornman – Green Knight Synagro
spokesperson
Green Knight benefits three
communities, Wind Gap, Pen Argyl, Plainfield
Township (all three oppose the proposed project - two have written opposition, the third can
not legally oppose it). Our biggest
project is a land reclamation (but this
project has the greatest potential for negatively affecting the community). Synagro is expected to generate between
$100,000 and $200,000 income (Green
Knight Treasurer Peter Albanese has stated it is up to $100,00 maximum).
Scott Perin – employee of Waste Management
Public service announcement for Waste Management. Mr. Perin apparently did not understand the purpose of the hearing.
Public service announcement for Waste Management. Mr. Perin apparently did not understand the purpose of the hearing.
Nolin Perin – citizen whose father
founded the landfill, father of Scott Perin
We have to take care of our own
problem and get rid of this sludge (this
sludge is not “ours” and not "our problem" – it is from NJ, CT and NY, who have more strict
regulations than PA)
As pertains to concerns about water, I would not mind living downstream of this plant. (to see thousands of cubic yards of hazardous waste that Mr. Perin stockpiled at the base of the Blue Mountain, where the headwaters of creeks are, click here)
As pertains to concerns about water, I would not mind living downstream of this plant. (to see thousands of cubic yards of hazardous waste that Mr. Perin stockpiled at the base of the Blue Mountain, where the headwaters of creeks are, click here)
Luther Bond – citizen
I work with waste – I know what is
in this stuff, and it isn’t good for the environment. Synagro has refused to do a study that would
show its effects. We need to consider
fish, water life and mammals. Synagro’s
trucks are not closed – they are tarped, which will not control odors. The risk of a spill is very high. When sludge is delivered, there is no way to
prevent material from becoming airborne.
Pat Sutter – citizen
I live along Route 512, and the
garbage truck smell very bad one block away, travelling in either
direction. With this sludge, it will be
worse.
Howard Klein – citizen
The question I am concerned about in
addition to Synagro doing monitoring, is who will be monitoring Synagro? What is in this sludge – every batch will be
different. You cook your turkey longer
than Synagro will be heating this sludge.
Peter Layman – Solicitor for Pen
Argyl
I want to focus on the Air Quality
permit. It is premature to issue a draft
permit without a completed Nuisance Mitigation Control Plan.
Don Moore – citizen
For well over a year the planning
commission has requested a hydrogeologic study of the pond to the creeks, and
Synagro has refused. In a lawsuit for
DEP to produce proof that engineering was done to justify a Chapter 105 waiver
years ago, instead of producing the documents DEP withdrew its intent to issue
another waiver for Synagro. Synagro has
offered multiple estimates of the depth of the pond – it has no idea what is
going on under the surface, and in a recent meeting stated it does not know
what percentage of water from the pond goes to one creek versus the other. A DEP employee told me that DEP also has no
idea what is going on under the surface of the water. No one knows.
On May 23rd, Plainfield Township consultants arrived to attend a
11:00AM on-site meeting with Syangro, DEP, Waste Management and the county
Conservation District to discuss deficiencies with Basin #2. Plainfield
reps were made to wait in a room until 11:20AM, at which time they were allowed
to join the meeting – which had started at 10:00AM. Deficiencies of Basin #2 were on the 10:00AM
agenda, but not the 11:00AM agenda.
Several announcements were made once the township was in attendance,
such as a Chapter 105 waiver would again be issued. What science is this based on? Mr. Bellas stated at the November 2018
hearing that he was unaware of geologic testing that ever been done on the
pond. There was no testing done prior to
or following the partial filling years ago, so no one knows if there was an
effect of that or not.
Synagro has announced that it will
be petitioning reduced or eliminating monitoring after a year or two, but
planners believe it should be forever, never reduced. Monitoring will not be preventative. Months to discover a problem, months to
re-test, possibly months more of non-compliance with possibly fines that are or
are never paid. Synagro’s Waterbury CT plant
was successfully sued in 2016 for failure to implement mercury emissions
controls. Synagro says it will pump the
pond of it becomes contaminated. This
won’t cleanse groundwater.
The general permit Synagro applied
for could be used across PA for the beneficial use of biosolids as a fuel. Peter Albanese of Green Knight has stated
“DEP wants more of these
facilities”. DEP should be more
concerned about our water quality than implementing what it sees as a
beneficial use across the state.
By Peter Albanese’s number, the
income to Green Knight will be 1/9 on a per ton basis than another community
with a Synagro plant. By Mr. Cornman’s,
it is still less than 1/4 maximum.
The community is totally against
this proposal. Wind Gap, Pen Argyl,
Upper Mt Bethel and Lower Mt Bethel have all written letters of objection. Nolan Perin is the single citizen at any
meeting or hearing in almost three years who has spoken in favor of it. Lisa
Perin, his niece, has said how negative it would be for the community. It is common sense that this is the wrong
place for such a facility. DEP should
reject the permits.
Millie Beahn – citizen
I know this community, I have lived
here all my life. This plant will change
this community. It should be placed
somewhere else – not so close to residents.
Justin Huratiak – citizen
We must consider the cumulative
impact of this plant. Consider that the
landfill has been able to control odors and its impact on the community, and
now we are going to add this? It will
make things even worse.
David Flyte – citizen
I want to be able to sleep with my
windows open. Have picnics and enjoy my
property. My property value will sink if
this plant is here. The odors from it
will add to the landfill.
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