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2009-01-12_PERMIT FILE - C1996083 (2)
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2009-01-12_PERMIT FILE - C1996083 (2)
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Last modified
8/24/2016 3:39:47 PM
Creation date
2/27/2009 10:08:38 AM
Metadata
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Template:
DRMS Permit Index
Permit No
C1996083
IBM Index Class Name
Permit File
Doc Date
1/12/2009
Section_Exhibit Name
Volume IIIA Exhibit 11 Colorado Discharge Permit -NPDES
Media Type
D
Archive
No
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PARTI <br />Page No. 8 <br />Permit No.: CO-0044776 <br />Any permittee that is required to conduct aPTI/TIE investigation shall do so in conformance with procedures identifies: <br />in the following documents, or as subsequently updated: 1) Toxicity Identification Evaluation: Characterization of <br />Chronically Toxic Effluents Phase I, EPA/600/6-91/005F May 92, 2) Methods for Aquatic Toxicity Identification <br />Evatuations. Phase I Toxicity Characterization Procedures, EPA/600/6-91 /003 Feb. 91 and 3) Methods for Aquatic <br />Toxiciri Identification Evaluations. Phase [I Toxicity Identification Procedures, EPA/600/3-88/035 Feb. 1989. <br />A fourth document in this series is Methods for Aquatic Toxiciri Identification Evatuations. Phase III Toxicity <br />Confirmation Procedures, EPA/600/3-88/036 Feb. 1989. As indicated by the title, this procedure is intended to confirm <br />that the suspected toxicant is truly the toxicant. This investigation is optional. <br />Within 90 days of the determination of the toxicant or no later than 210 days after demonstration of toxicity, whichever is <br />sooner, a control program is to be developed and received by the Division. The program shall set down a method and <br />procedure for elimination of the toxicity to acceptable levels. <br />e. Request For Relief <br />The permittee may request relief from further investigation and testing where the toxicant has not been determined and <br />the Division has determined suitable treatment does not appear possible. In requesting such relief, the permittee shall <br />submit material sufficient to establish the following: <br />i. it has complied with terms and conditions of the permit compliance schedule for the PTI/TIE investigation and other <br />appropriate conditions as may have been required by the Division; <br />ii. During the period of the toxicity incident it has been in compliance with a!1 other permit conditions, including, in the <br />case of a POTW, pre-treatment requirements; <br />iii. During the period of the toxicity incident it has properly maintained and operated all facilities and systems of <br />treatment and control; and <br />iv. Despite the circumstances described in paragraphs i. and iii. above, the source and/or cause of toxicity could not be <br />located or resolved. <br />If deemed appropriate by the Division, the permit or the compliance schedule may be modified to revise the ongoing <br />monitoring and toxicity investigation requirements to avoid an unproductive expenditure of the pertnittee's resources, <br />provided that the underlying obligation to eliminate any continuing exceedance of the toxicity limit shall remain. <br />f. Spontaneous Disappearance <br />If toxicity spontaneously disappears at any time after a test failure, the permittee shall notify the Division in writing <br />within 14 days of a demonstration of disappearance of the toxicity. The Division may require the permittee to develop <br />and submit additional information which may include, but is not limited to, the results of additional testing. If no pattern <br />of toxicity is identified or recurring toxicity is not identified, the toxicity incident response is considered closed and <br />normal WET testing shall resume. <br />g. Toxicity Reoaener <br />This permit may be reopened and modified (following proper administrative procedures) to include new compliance <br />dates, additional or modified numerical permit limitations, a new or different compliance schedule, a change in the whole <br />effluent toxicity testing protocol, or any other conditions related to the control of toxicants if one or more of the following <br />events occur: <br />i. Toxicity has been demonstrated in the effluent and the permit does not contain a toxicity limitation. <br />ii. The PTI/TIE results indicate that the toxicant(s) represent pollutant(s) that may be controlled with specific numerical <br />limits, and the Division agrees that the numerical controls are the most appropriate course of action. <br />iii. The PTI/T1E reveals other unique conditions or characteristics which, in the opinion of the Division, justify the <br />incorporation of unanticipated special conditions in the permit. <br />iv. The Division may reopen this permit and impose chronic toxicity limits where chronic toxicity is idettified. <br />
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