OCR Text |
Show This notice has been issued to meet the requirement to inform the public. During the time period listed below, the following businessesindustries have violated Industrial Pretreatment effluent standards based on the aforementioned criteria in items 1 through 7.: . NAME OF INDUSTRIAL USER, TYPE OF NONCOMPLIANCE, NON-COMPLIANCE, POLLUTANTS OF CONCERN Mortensen Food Products, 450 North 400 West, North Salt Lake, Utah, Chronic & Magnitude violations viola-tions of effluent limits and TRC, Oil & Grease Fox Valley Leathers, Inc., 633 West Center Street, North Salt Lake, Utah, Chronic & Magnitude violations viola-tions of effluent limits and TRC, Oil & Grease Feller's Meats, Inc., 685 North Center Street, North Salt Lake, Utah, Chronic & Magnitude violations of effluent limits and TRC, Oil & PERIOD COVERED BY THIS NOTICE: January 1, 1990 through December 31, 1990. FOR FURTHER INFORMATION CONTACT: Tom D. Wilson, Industrial Pretreatment Coordinator, South Davis Sewer Impiovement District, 1800 West 1200 North, Box 4000, West Bountiful, Utah 84087, 295-3469 295-3469 DAL D. WAYMENT, P.E. General Manager Published in the Davis County Clipper on March 12, 1991 Issue No. 9 C-42 PUBLIC NOTICE NON-COMPLIANCE WITH INDUSTRIAL IN-DUSTRIAL PRETREATMENT STANDARDS The Federal Clean Water Act established estab-lished the National Pretreatment Program Pro-gram to control the discharge of toxic andor hazardous waste into the sanitary sewer systems operated by Publicly Owned Treatment Works (POTW'S). Under delegation from the EPA and the State of Utah, the South Davis County Sewer Improvement District has been given the responsibility for applying and enforcing the pretreatment standards stan-dards for industrial users served by the South Davis County Sewer Improvement Improve-ment District. Pursuant to the requirements of the National Pretreatment Program, (The delegated POTW) must annually publish a list of industrial users within its service area that have either demonstrated a pattern of noncompliance non-compliance with applicable pretreatment pretreat-ment standards or had a significant noncompliance non-compliance incident over the previous 12 n jnths. Reasons for reportable non-( non-( compliance include: 1) . A discharge of pollutants which cause an ' 'Imminent Endangerment" to the health and welfare of persons andor to the environment. 2) A discharge which caused or substantially contributed to a violation of the POTW'S NPDES permit requirements re-quirements or impaired its use or disposal of sludge. 3) . Chronic violations. 66 or more of the measurements exceed the same limit in a six month period (Any Magnitude exceeded). 4) . Magnitude violation - Technical Review Criteria (TRC). 33 or more of the measurements exceed the same limit by more than TRC. TRC 1.4 for BOD, TSS, Oil & Grease. TRC 1.2 for all other pollutants. 5) Failure to correct a violation, either effluent or compliance schedule, within 45 days of notification notifica-tion of non-compliance by the POTW. 6) . Failure to accurately report noncompliance. non-compliance. 7) . Any other violation deemed significant by the POTW. |