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� <br /> WASTE DISCHARGE REQUIT.�i MENTS ORDER NO. 5-00-031 -21- <br /> CITY OF LODI <br /> WHITE SLOUGH WATER POLLUTION CONTROL PLANT <br /> SAN JOAQUIN COUNTY <br /> approve all plans and specifications of the proposed disinfection facility prior to <br /> construction activities. If noncompliance is being reported, the reasons for such <br /> noncompliance shall be stated, plus an estimate of the date when the Discharger will be <br /> in compliance. The Discharger shall notify the Board by letter when it returns to <br /> compliance with the time schedule. <br /> 3. The Discharger shall post Dredger Cut as a wastewater disposal area until such time as <br /> the discharge is in compliance with Effluent Limitation B.3. <br /> 4. The Discharger shall submit a report that evaluates its ability to comply with Biosolids <br /> Specifications within 90 days of adoption of this Order for approval by the Executive <br /> Officer. <br /> 5. The Discharger shall submit a report that evaluates its ability to comply with Effluent <br /> Limitation B.6, and Receiving Water Limitations F. 9. and F. 10. for temperature within <br /> 180 days of adoption of this Order,for approval by the Executive Officer. <br /> 6. The Discharger shall conduct monitoring for mercury as specified in the Monitoring and <br /> Reporting Program. After review of the monitoring results, this Order may be reopened <br /> to modify the effluent limits for mercury. <br /> 7. Due to the listing of mercury on the California 303 (d) list as a pollutant causing <br /> + impairment of the Sacramento-San Joaquin Delta, the discharge must not cause or <br /> contribute to increased mercury levels in fish tissue to meet the requirements or the anti- <br /> degradation policy described in SWRCB Resolution No. 68-16 and the anti degradation <br /> provision in 40 CFR 131.12 (a) (1). Therefore, the Discharger shall develop a mercury <br /> source reduction workplan acceptable to the Executive Officer within six (6) months <br /> after adoption of this Order. The purpose of the workplan is to investigate the causes of, <br /> and identify corrective control actions to control mercury loadings. The workplan shall <br /> include, at a minimum: source reduction activities under the pretreatment pro-O-Tam; a <br /> public outreach program to eliminate or minimize the use of mercury thermometers, <br /> discharge of amalgam from dental offices, and regarding proper collection and disposal <br /> of fluorescent bulbs; and reductions in discharges to the river through reclamation of <br /> treated wastewater; preventative measures to minimize mercury discharges from new <br /> industry, commercial establishments and residential developments. The workplan will <br /> include a time schedule by which source control efforts identified in the approved <br /> workplan shall be implemented. Pretreatment related activities shall commence <br /> immediately upon approval of the workplan. The workplan shall become an enforceable <br /> part of the permit upon approval of the Executive Officer. <br /> 8. The Discharger shall conduct monitoring for diazinon and chlorpyrifos as outlined in the <br /> monitoring and reporting program to determine whether the levels of pesticides in the <br /> discharge causes or contributes to an in-stream excursion above a water quality <br /> objective. If it is determined that the discharge has reasonable potential to cause or <br />