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1ttiFOfLN1ATIOV SKEET <br />:TY OF STOCKTON <br />:USTIN ROAD L�-NDFILL GROUNDWATER TREATMENT SYSTEM <br />,AN JOAQUTN COUNTY <br />The City of Stockton discharges treated groundwater from the extraction of groundwater polluted by <br />leak -age from the unlined Class III landfill. Polluted groundwater has been detected 1000 feet <br />do"-ngradient to the northeast of the landfill. The groundwater treatment system is designed to treat 400 <br />gpm (580,000 gpd) of extracted groundwater. About 305 gpm (440,000 gpd) will be discharged to the <br />north branch of the south fork of Littlejohns Creek tributary to the San Joaquin River. The north branch <br />of the south fork of Littlejohns Creek isan interrrtittent stream maintained by the San Joaquin County <br />Flood Control District primarily for the drainage of irrigation return flow. Pending expansion of the <br />treatment system and approval by the Executive Officer, this permit allows the discharge flow to be . <br />increased from 0.44 mgd to 0.79 mad, to allow improved capture of the volatile organic plume:being <br />;e:nediated. <br />Pumped groundwater is treated by passing it through an air stripper, and then is discharged to a manhole <br />and then to Littlejohns Creek. The stripped air is passed through rwo exchangeable activated,on­un ts. <br />Tetrachloroethylene (PCE), 1,1-Dichloroethane, 1,2-Diehloroethane, and Vinyl Chloride have been <br />identified in the groundwater as constituents of concern. In addition, Trichloroethylene (TCE) is a <br />degradation product which may be present. The treatment system should be capable of dependably <br />removing these volatile organic constituents (VOCs) to non-detectable concentrations as determined by <br />lrrent analytical technology. Therefore, 30 -day median effluent limitations for individual VO.Gs.are.set <br />at less than a practical quantitation limit (PQL) of 0.5 ug/l, with the exception of 1,2-Dichloroethane, <br />which is set at the National Toxics Rule standard of 0.38 ug/l. A daily maximum effluent limitation is set <br />to allow for some effluent quality variation and for the false positive analytical results in analyses near the <br />limits of detection. The daily maximum limit for total VOCs has been set at 1 µg/l in any single sample. <br />The previous permit contained effluent limitations for benzene, ethyl benzene, toluene, and xylene. These <br />constituents have not been shown to be of concern in the effluent, and have been removed from this <br />permit. Eliminating these effluent limitations is consistent with the antidegradation provisions of 40 CFR <br />131.12 and S WRCB Resolution 68-16. Any impact on existing water quality will be insignificant. <br />Three species chronic toxicity monitoring is required -since the discharge constitutes at least fifty percent <br />of the flow in the receiving water. The monitoring consists of collecting quarterly samples and <br />conducting chronic toxicity tests on 100% effluent as specified in EPA 600/4-91-002, and a full dilution <br />series if toxicity is found. Also, monthly estimates of upstream dilution flow is required. If the chronic <br />toxicity monitoring results indicates that the Discharger may be contributing toxicity to Littlejohn Creek, <br />the Discharger shall submit to the Board for approval a workplan to investigate the toxicity, shall <br />implement the workplan upon approval, and take all reasonable steps to reduce or eliminate the toxicity. <br />The previous permit specified waste discharge requirements for storm water discharges associated with <br />industrial activity in accordance with 40 CFR Parts 122, 123, and 124. This permit does not function as a <br />storm water discharge permit, and the Discharger must file a Notice of Intent to be covered under <br />WRCB Water Quality Order No. 97-03-DWQ, for discharges of storm water associated with industrial <br />activities. <br />0" <br />PHL:njs Amended 5 June 1998 <br />CS 005431 <br />City of Stockton 190855-0006 <br />