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SITE INFORMATION AND CORRESPONDENCE 2000-2018
Environmental Health - Public
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PR0516806
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SITE INFORMATION AND CORRESPONDENCE 2000-2018
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Last modified
9/26/2019 8:48:15 AM
Creation date
9/26/2019 8:34:07 AM
Metadata
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Template:
EHD - Public
ProgramCode
2900 - Site Mitigation Program
File Section
SITE INFORMATION AND CORRESPONDENCE
FileName_PostFix
2000-2018
RECORD_ID
PR0516806
PE
2965
FACILITY_ID
FA0012817
FACILITY_NAME
WHITE SLOUGH WATER POLLUTION CONTRO
STREET_NUMBER
12751
Direction
N
STREET_NAME
THORNTON
STREET_TYPE
RD
City
LODI
Zip
95241
APN
05513016
CURRENT_STATUS
01
SITE_LOCATION
12751 N THORNTON RD
P_LOCATION
02
P_DISTRICT
004
QC Status
Approved
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WASTE DISCHARGE REQAMENTS ORDER NO. 5-00-031 -7- <br /> CITY OF LODI <br /> WHITE SLOUGH WATER POLLUTION CONTROL PLANT <br /> SAN JOAQUIN COUNTY <br /> discharged at a level that will cause or have the reasonable potential to cause, or contribute to, <br /> an in-stream excursion above the Basin plan narrative toxicity objective. A thirty-day average <br /> effluent limitation for lead is included in this Order, based on the converted chronic criteria. <br /> The Discharger is not currently capable of meeting this limit with the current treatment <br /> facilities. <br /> 27. Based on information submitted as part of the application, in studies, and as directed by <br /> monitoring and reporting programs, the Board finds that the discharge has a reasonable potential <br /> to cause or contribute to a violation of the Basin Plan narrative prohibition against the discharge <br /> of toxic substances in toxic concentrations with respect to chlorine. USEPA developed Ambient <br /> Water Quality Criteria for the Protection of Aquatic Life (Criteria) as recommended <br /> concentrations to protect against aquatic toxicity. This Order, and the Basin Plan, prohibits the <br /> discharge of toxic constituents in toxic amounts. Chlorine is used as a disinfectant at the <br /> wastewater treatment plant and, based on experience, has a reasonable potential to be <br /> discharged in toxic concentrations. The Criteria are well established and have undergone <br /> extensive testing and peer review. The Criteria are an appropriate measure of toxicity, and are <br /> the basis for establishing effluent limitations for chlorine. Because there is no significant <br /> dilution within Dredger Cut in the immediate vicinity of the discharge over the averaging period <br /> for acute toxicity water quality objectives, no.mixing zone is designated for chlorine. <br /> 28. The Sacramento-San Joaquin Delta has been listed as an impaired waterbody pursuant to <br /> Section 303(d) of the Clean Water Act because of: (1) diazinon and chlorpyrifos <br /> (organophoshate pesticides), (2) aldrin, dieldrin, chlordane, endrin, heptachlor, heptachlor <br /> epoxide, hexachlorocyclohexane (including lindane), endosulfan and toxaphene (chlorinated <br /> hydrocarbon pesticides), (3)DDT, and (4) unknown toxicity. The Basin Plan requires that; no <br /> individual pesticides shall be present in concentrations that adversely affect beneficial uses; <br /> discharges shall not result in pesticide concentrations in bottom sediments or aquatic life that <br /> adversely affects beneficial uses; total chlorinated hydrocarbon pesticide concentrations shall <br /> not be present in the water column at detectable concentrations and pesticide concentrations <br /> shall not exceed those allowable by applicable antidegradation policies. The Basin Plan's <br /> requirement that persistent chlorinated hydrocarbon pesticides shall not be present in the water <br /> column in detectable concentrations is the most stringent criteria for the regulation of the <br /> detected persistent organochlorine pesticides. <br /> The Discharger has not previously been required to complete effluent analyses for diazinon or <br /> chlorpyrifos. Analytical results of monitoring for pesticides on the 303(d) listing other than <br /> diazinon or chlorpyrifos.are summarized in the attached Fact Sheet (Attachment C). The <br /> analytical results indicate that lindane (an organochlorine pesticide) was detected in 7 of <br /> 19 sampling events; six of the 19 samples had elevated reporting limits of 0.25 µg/l. DDT (also <br /> an organochlorine pesticide) was reported in 1 of 17 sampling events. The single detection of <br /> DDT is not adequate evidence that there is reasonable potential to exceed the water quality <br /> objectives. However, per the Basin Plan requirements, this Order applies a non-detectable <br /> limitation to lindane. The Board finds that lindane is or may be discharged at a level that will <br /> cause or have the reasonable potential to cause, or contribute to, an in-stream excursion above <br />
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