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I~ <br />'OLORADO DEPARTMENT OF HEALTH, Wnter Qualiry Contro(Div¢ion -- <br />ntionnle-Pnge B. Permit No. CO-0038024 <br />Flow, MGD - Weekly Instantaneous or Continuous <br />BODs, mg/1 Monthly* Grab <br />TSS, mg/1 Monthly" Grab <br />'Influent monitoring shall be performed at the same frequenry d ffa virible sheen it noted, n grub snmple shad be collected and rtnalyeedfor oil and grease. The results are <br />a 6e reported on the DMR under parrsmeter 00556. <br />C. Reporting <br />1. Di erha o Mnntmrinv Rennrr: Blue Mountain Energy must submit a Discharge Monimring Report (DMR) on a m^nth;v basis to <br />the Division. This report should contain the required summarization of the test results for parameters shown in Tables VI-! to <br />Vl-S and Part LB.1 ajfhe permit. See the permit, Part LB.l. for details on such submission. ' <br />2. $/i r:al Rvpnrtc.~ Speciol reports are regnired in the event oja spill, bypass, or other noncomp/lance, Please refer to Part 1, <br />Section D.4 of the permitfor reporting requirements. <br />D. Additional Terms and Conditions <br />1. S1gn~ Rrsq..:rb,.,ontc: Signatory requirements for reports and submittals are discussed in Part /, Section D. I ojthe permit. <br />2, [^n ~nlinrtre Crhednloe: <br />• <br />a) Marorinlc Containment Plnn: On Fehnnrt,, 27 7990. the permittee submitted an engineered spill plan, An update to the <br />plan is required to be filed within 90 days of the permit effective date, detailing all changes, whick have occurred since the <br />original submittal. Ijno changes have occurred, a letter [o this effect is required. For specific requirements, refer to Par[ <br />1 E ojthe permit <br />E. Waste Minimizatiorr/Pollutiore Prevention <br />Waste minimization and pollution prevention are two terms that are becoming increasingly more common in industry today. Waste <br />minimization includes reducing the amount of waste at the source through changes in industrial processes, and reuse and recycling of <br />wastes for the original or some other purpose such as matenals recovery or energy production. Pollution prevention goes hand-in- <br />hand with waste minimization. If the waste is eliminated at the front of the line, it will not have to be treated at the end of the line. <br />The direct benefits to the industry are often significant -both in terms ojinereased profit and in public relations. <br />This program can affect a!1 areas of process and waste control with which your industry deals. Elimination or reduction oja <br />wastewater pollutant can also result in a reduction ojan air pollutant ar a reduction in the amount of hazardous materials that you <br />have to handle and/or dispose of. , <br />This discharge permit does not specifically dictate waste minimization conditions ai this time. We strongly encourage the permi[tee to <br />develop a waste minimization plan. Several industries have already developed plans and found that implementation resulted in <br />substantial savings. Both the Colorado Department ajHealth and EPA have information and resources available to help you explore <br />this topic. <br />F Specific Compliance Requirements <br />Sahmiccinnc rn thv 7);vie:nn: The following are specific compliance items, which require permittee action. Please check the <br />referenced parts of the permit for details on what is required. <br />90508 Materials Containment Plan -Update I. E. ]. 90 days after effective date <br />Christoph er L. Gates <br />March 6, 2002 <br />a <br />