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HomeMy WebLinkAboutSpill Prevention, Control & Countermeasure Plan 02-22-29 Martinv • SPILL PREVENTION, CONTROL, AND � COUNTERMEASURES PLAN Carmel Sand 10851 Hazel Dell Parkway Indianapolis, IN 46280 i 1 a ___. _ j i 1 1 Martin 1 PhkV aricttc S 2 SPILL PREVENTION, CONTROL, AND i COUNTERMEASURES PLAN i Carmel Sand 10851 Hazel Dell Parkway k Indianapolis, Indiana 46280 1 i PLAN CERTIFICATION,-40 CFR 112.3(d) " ,' " _ u t I hereby certify that I or my designated agent has visited and examined the facility, and being i familiar with the provisions of 40 CFR Part 112, attest that this SPCC has been prepared in 1 accordance with good engineering practices, including consideration of applicable industry standards and the requirements of 40 CFR 112, that procedures for required inspections and i testing have been established,and that the Plan is adequate for the facility. ttltl unit I (Seal) `���� 4� Darrell Max Williams ` Q{�, b` �.MA X /, i'''��4. Printed Name ofRegisteredProfessronal Eng Weer No.60016245 (it. 01- St - 1C1/1e6(-71j-r( I `�`' a - Signature of Registered Professions Engineer : • `az 11 STATE •• Registration No.: PE60016245 State: Indiana ;1 '�. INN*f „ t. ' i�8j0NAt.0N,33: � Date: February 22,2019 i /snuitmoo 1 Martin Marietta, Inc. a Indiana District Office 12220 North Meridian Street, Suite 100 , Carmel, IN 46032 i i 317-573-4460 i f z I 1 i Martin Marietta Materials, Inc. Spill Prevention, Control, and Countermeasures Plan Carmel Sand Table of Contents Page No. Plan Certification—40 CFR 112.3(d) Cover General Information 3 Spill Experience—40 CFR 112.7(a) 4 Applicability—40 CFR 112.1 5 Record of Amendments&Plan Review—40 CFR 112.5(a)(b) &(c).... 6 Plan Conformance—40 CFR 112.7(a)(1)&(2) 7 Management Approval-40 CFR 112.7 9 Facility Layout—40 CFR 112.7(a)(3) 10 Discharge Reporting Procedures—40 CFR 112.7(a)(4) 11 Discharge Countermeasure Procedures—40 CFR 112.7(a)(5) 13 Potential Equipment Failures-40 CFR 112.7(b) 14 Containment and Diversionary Structures—40 CFR 112.7(c)(1) 15 Demonstration of Impracticability—40 CFR 112.7(d) 15 Inspections,Tests and Records—40 CFR 112.7(e) 16 Personnel,Training and Discharge Prevention Procedures—40 CFR 112.7(f) 16 Security—40 CFR 112.7(g) 17 Tank Truck Unloading—40 CFR 112.7(h) 18 Field Constructed Containers—40 CFR 112.7(i) 18 Conformance with State Program—40 CFR 112.7(j) 18 Facility Drainage—40 CFR 112.8(b) .. 19 Bulk Storage Tanks—40 CFR 112.8(c) 20 Transfer Operations,Pumping,and In-Plant Processes—40 CFR 112.8(d) 21 Oil-Water Separators—40 CFR 112.8(d) 21 Certification of the App. of the Substantial Harm Criteria(40 CFR 112 App.C) .. 22 Plan Understanding and Acknowledgement 23 Appendices Tank Inspection Checklist A Secondary Containment Drainage Log B Detailed Discharge Report Form C Discharge Prevention Briefings D AST Inspection/Testing Schedules E Containment Volume Calculations F Indiana Spill Reporting Rule G Figures Figure No. Vicinity Map 1 Site Plan—40 CFR 112.7(a)(3) 2 2 SPCC Plan-Cannel Sand-02/2019 Revision 4: March 2015 GENERA>G=*FORMATIUN 1. NAME OF FACILITY: Cannel Sand 2. TYPE OF FACILITY: Sand and gravel dredge facility SIC: 1442 NAICS: 212321 3. LOCATION OF FACILITY: 10851 Hazel Dell Parkway (See Figure 1) Indianapolis,Indiana 46280 Latitude:N 39° 56'43" Longitude:W 86°04'22" 4. OWNER AND/OR OPERATOR: Martin Marietta Materials,Inc. 12220 North Pennsylvania Street,Suite 100 Carmel,Indiana 46032 317-573-4460 5. OPERATOR IN RESPONSIBLE CHARGE: Steve Becktel,Plant Manager Telephone: (317)846-8540(Office) (317)416-6540(Home) (317)416-6540(Mobile) 6. COMPANY CONTACTS: Ed Gehr,Vice President/General Manager Matt Schwent,District Production Manager Telephone: (317)573-4460(Office) Telephone: (317)575-5712(Office) (317)844-2514(Home) (317)750-9552(Home) (317)213-6231 (Mobile) (317)750-9552(Mobile) Mike Jones,Assistant Plant Manager Garrett Cockrum,Sr.Environmental Engineer Telephone: (317)846-8540(Office) Telephone: (317)575-5713 (Office) (317) 834-3570 (Home) (317)383-6775(Home) (317)319-8061 (Mobile) (317)573-5975 (Fax) (317)446-9976(Mobile) 7. LOCATION OF SPCC PLAN: In Plant Manager's and Senior Environmental Engineer's offices. 8. DATE FACILITY BEGAN OPERATIONS: This operation was acquired when Martin Marietta Materials,Inc.(Martin Marietta)purchased American Aggregates Corporation in May 1997. 9. DATE OF INITIAL SPCC PLAN: There was a SPCC Plan for this facility at the time it was purchased. Updated plans have existed since that time. 3 SPCC Plan—Cannel Sand—02/2019 Revision 4: March 2015 SPILL :XP.) ] IEI!TCE ,do GkitlZ 7a� .' rt � � . N .- •g On April 20,2006 at approximately 5:25 PM,approximately 75-80 gallons of the Aquamarine hydraulic fluid was lost. Pads were used to clean up the spill. IDEM's Office of Emergency Response assigned Incident No. 200604195 to this spill and said the cleanup was sufficient. On March 24, 2010 at approximately 3:45 PM, an estimated 20 to 25 gallons of marine-based hydraulic fluid was spilled due to a ruptured hose on the dredge. Absorbent materials were used to soak up the spilled fluid. Employees involved in the cleanup believe that little if any fluid got into the lake. Cannel Utilities (317-571- 2580) was notified due to dredge being within their wellhead protection area. IDEM's Office of Emergency Response(317-233-7745) was notified and they assigned Incident No. 201003183 to the spill. Carmel Utilities asked that a letter be sent to Paul Pace outlining the actions taken. On June 13,2012 at 9:08 AM,a spill of approximately five gallons of antifreeze was discovered due to a broken line on a truck owned by Gradex, a dirt contractor working on site. Absorbent pads were used to soak up the spilled fluid. Paul Pace of Carmel Utilities (317-733-2858) was notified. No further reports were made due to the small size of the spill. On April 18, 2013 at approximately noon, a spill probably less than 50 gallons in the dredge lake(the original estimate was 65 to 70 gallons) was caused by a ruptured hose when the dredge's transmission malfunctioned. This area is within the wellhead protection are for the City of Cannel's water utility. The spill was contained within the pontoons with the addition of absorbent booms. Booms and pads were used to absorb the fluid. 1 IDEM's Office of Emergency Response(OER) (317-233-7745)was called on April 18 at 1:53 PM. Paul Pace of the City of Cannel Water Utility (317-733-2858) was called that same day at 1:58 PM. Dave Daugherty of IDEM's OER returned the call on April 18 at 3:01 PM. He assigned Incident Number 35598 and visited the site that afternoon. He requested an MSDS of the fluid spilled, which was sent to him at 8:37 PM on April 18. Neither party requested any additional information. 4 SPCC Plan-Carmel Sand-02/2019 Revision 4:Mara 2015 `APPI YCA1EiILITY : 40 CFR 412; Spill Prevention, Control, and Countermeasure (SPCC) Plans for facilities are prepared and implemented as required by United States Environmental Protection Agency(USEPA)regulations contained in Title 40,Code of Federal Regulations, Part 112 (40 eta 112). The purpose of an SPCC Plan is to form a comparable Federal/State spill prevention program that minimizes the potential for discharges. A non-transportation related facility is subject to the SPCC regulations if: the aboveground storage capacity of the facility exceeds 1,320 gallons; or the underground storage capacity exceeds 42,000 gallons;and if,due to its location,the facility could reasonably be expected to discharge oil into or upon the navigable waters of the United States. Only containers with a storage capacity of 55 gallons or greater are included in the calculation of aboveground storage capacity. The SPCC plan is not required to be filed with USEPA, but a copy must be available for on-site review by the Regional Administrator during normal working hours. The SPCC plan must be submitted to the USEPA Regional Administrator and the applicable state agency, along with other information specified in §112.4 if either of the following occurs: 1. The facility has discharged more than 1,000 US gallons of oil in a single discharge into or upon the navigable waters of the United States or adjoining shorelines in a single event; 2. The facility had discharged into or upon the navigable waters of the United States more than 42 US gallons of oil in each of two(2)discharges within any twelve(12)month period. The below listed information must be submitted to the USEPA Regional Administrator within sixty(60)days if either of the above thresholds are reached. The report is to contain the following information: 5 1. Name of the facility; 2. Name(s)of the owner and/or operator of the facility; 3. Location of the facility; 4. Maximum storage or handling capacity of the facility and normal daily throughput; 5. Corrective action and countermeasures taken, including description of equipment repairs and/or replacements; 6. A description of the facility,including site and topographic maps, flow diagrams; 7. The cause(s)of such discharge(s), including a failure analysis of system or subsystem in which failure occurred; 8. Additional preventive measures taken or contemplated to minimize the possibility of recurrence; 9. Such other information as the Regional Administrator may reasonably require pertinent to the Plan or discharge. The SPCC Plan shall be amended within six(6)months where there is a change in facility design,construction, operation,or maintenance that materially affects its potential for a discharge. The plan must be reviewed at least once every five (5) years and amended to include more effective prevention and control technology, if such technology has been field-proven at the time of the review and will significantly reduce the likelihood of a discharge. A registered professional engineer must certify all technical changes. Owners and operators failing or refusing to comply with the SPCC regulations shall be subject to a Class I civil penalty in an amount up to $25,000 for a violation or a Class II civil penalty in an amount up to $125,000 for a violation. This language tracks the language in Section 311(b)(6)(B) of the Clean Water Act,33 U.S.C.§1321(b)(6)(B). If the owner and/or operator of a facility is required to prepare an SPCC plan but is not required to submit a Facility Response Plan, the SPCC plan should include a signed certification form, Certification of the Applicability of the Substantial Harm Criteria,as contained in Appendix C to Part 112. 5 SPCC Plan—Cannel Sand-02/2019 Revision 4: March 2015 tF )RD OF AMENDMENT: JL PJ.:AN REVIEW-40 CFR 112,5(a),(b)&(c) 40 CFR 112.5(a), (b) and (c) requires the SPCC Plan to be amended whenever there is a change in facility design, construction, operation, or maintenance, which materially affects its potential to discharge to navigable waters of the United States or adjoining shorelines. In addition, the owner or operator must complete a review and evaluation of the SPCC plan at least once every five (5) years. Any representative of the owner or operator can complete this five-year review. Amendments to the Plan shall be made within six(6)months of the change or review, with technical amendments certified by a Professional Engineer (PE). Administrative updates such as name or phone number changes do not require PE certification. SPCC PLAN AMENDMENT/REVIEW TABLE P.E. P.E.Registration Amendment/Review Certification Name of No. Date Description Required P.E. Signature State Number (Yes or No) Plan in existence 1 02/22/19 Plan recertification Yes Williams l �� Indiana 60016245 Note: The owner or operator must complete a review and evaluation of the SPCC plant at least once every five (5) years. The Plan must be amended within six (6) months of the review to include more effective control and prevention technology, if such technology has been field-proven at the time of the review and will significantly reduce the likelihood of a discharge. I. LL 6 1 SPCC Plan—Cannel Sand—02/2019 Revision 4: Match 2015 s This Plan was prepared in general conformance with the minimum standards under 40 CFR 112. Where there is deviation from any applicable part of this regulation, with the exception of the secondary containment requirements under 40 CFR 112.7 (c) and (h)(1), equivalent environmental protection by other means of prevention,control or countermeasure is provided. This SPCC Plan was written to conform with 40 CFR Part 112 requirements. The facility thereby conforms with general requirements for the State of Indiana. All discharge notifications will be made in compliance with local, state, and federal requirements. Indiana's reportable spill rules are given in 327 IAC 2-6.1 and included as Appendix G of this plan. Below is a Summary of the Deviations found in this plan: POTENTIAL EQUIPMENT FAILURES—40 CFR 112.7(b) Releases occurring outside secondary containment (e.g. from overfilling vehicles, hose ruptures, etc.) will be 1 contained on-site using absorbent materials (pads, booms, drip pans, dirt, sand, etc.) and readily available mobile equipment. There are few tanks on site and there is some flat topography. The diesel-powered dredge, which excavates the sand and gravel,operates by floating on water,however. It has two 1,500-gallon diesel fuel tanks and a 130-gallon hydraulic oil tank(a marine-grade product is used) covered by this plan, which includes tanks 55-gallons or larger. It also has lubricating oils for the gearbox and the cutter head in tanks of eight and 18 gallons, respectively that are not covered by this plan. The fuel and oil tanks are part of the dredge as constructed, and it would not be practical to contain them. No water is pumped off site, so any spills would remain on the property. Water is pumped back and forth between the active dredge lake west of Hazel Dell Parkway and the former dredge lake east of this road, however. The dredge pumps a mixture of sand, gravel a and water to the processing plant,which discharges the excess water to the adjacent former dredge lake. Water from this lake is then pumped back to the dredge lake to maintain sufficient water in that lake. If a spill occurs, and if the spill is close enough to a pump's drawdown area to enter the pump, pumping between the lakes will cease to avoid spreading the spilled substance. A contractor will be utilized for spills beyond the control of Martin Marietta personnel. Spills that get into lakes may fall into this category. A second dredge is working to recover fines in the former dredge lake east of Hazel Dell Parkway. It has a 500- gallon fuel tank and 110-gallon hydraulic oil tank(a marine-grade product is used). It is fueled by a 550-gallon fuel barge. A supply of absorbent materials is kept on the dredge west of Hazel Dell Parkway to deal with spills resulting from equipment failures on the dredge. A supply is also kept at the processing plant and in the oil shed trailer (see Tank No.2 on"SPCC Facility Site Plan"). CONTAINMENT AND DIVERSIONARY STRUCTURES—40 CFR 112.7(c)(1) As a deviation from rule requirements,secondary containment is not provided for fuel delivery vehicles. Other measures, generally having tanks near flat topography, are used instead to contain any discharge until its cleanup. Spills outside secondary containments caused by delivery activities will be controlled the same as spills due to equipment failures described previously. Delivery companies will be responsible for spills they cause. As a deviation from rule requirements, secondary containment is not provided for mobile operating or processing equipment, as it is not practical given the relatively small quantities of fuels and oils stored on such equipment. Further, mobile equipment is parked in areas such that discharges can be readily contained due to 7 SPCC Plan-Carmel Sand-02/2019 Revision 4: March 2015 the topography. During non-working hours, mobile equipment is parked near the office/scalehouse, near the processing plant or west of Hazel Dell Parkway near the former plant site. 3 All tanks, except for the fuel tanks on the dredge, are small in size. Tank No. 1 is in a steel containment with rain shields. It also sets within a concrete containment that has a locked drain. Based on the size of the tanks, other than those on the dredge, and the fact that they are generally located on flat topography, spills due to equipment failures would be small in size and remain localized. Containment is not provided for transformers as it would be impractical to do so. SECURITY—40 CFR 112.7(g) 1 The entrance to the property on the west side of Hazel Dell Parkway has a gate that is locked during non- working hours. There is no fencing around the site,however,the site is inspected during non-working hours by hired security personnel. Lights at the office provide lighting for the Tank No. 1. The main security for the site is achieved by the inspections described above. Spills at night may additional lighting for cleanup activities. If a contractor is involved with the cleanup,they will have supplemental lighting. TANK TRUCK UNLOADING—40 CFR 112.7(h) Specific sized secondary containment for mobile refuelers at this facility (i.e., vendor tank truck offloading) is not required by the December 2006 revision to the SPCC rules. a{c 1 • • { rF IEF Ai 8 SPCC Plan-Cannel Sand-02/2019 Revision 4: March 2015 MANAGEMENT APPROVAL—40 CFR 112.7 This Spill Prevention,Control and Countermeasures(SPCC)Plan is fully supported by the management of Martin Marietta Materials, Inc. This Plan will be amended in the event of a change in facility design, construction, operation,or maintenance that could affect its potential to discharge oil into the waters of the United States. /:// /724e.i)A._ Edwin P.Gehr,Vice President/General Manager Date zaE 4E Ft{ tF tk j2 9 SPCC Plan—Cannel Sand-02/2019 Revision 4: March 2015 i 1 1 FACILITY LAYOUT-CFR 112.7(a)(3) __,_ i l A Site Map is provided as Figure 2 indicating the location and surface flow runoff direction of each of the 1 fuel/oil storage containers regulated by this rule. I i i Bulk Oil/Fuel Storage Capacity: d -TANK ABOVEBELUWYL[i�� ���.� SECONDARY NO. GROUND G Y1-*ItlCbNTENTS CAIO1+l, CONTAINMENT._ 1 Above 570 Diesel Steel Steel,with rain shields 1 2 Above(drums,10 10 55 Lube Oil& Steel Trailer or spill pallet - est.) @ Used Oil I 3 Above,on Dredge 2 @ 1,500 ea. Diesel Steel None,on dredge,not practical 4 Above,on Dredge 130 Hydraulic Oil Steel None,on dredge,not (Aquamarine) practical 5 Above(fuel barge) 1,000 Diesel Steel Steel,with rain shields 1 6 Above 3 @ 265 Transformer Steel None,not practical fluid 7 Above,on Dredge 500 Diesel Steel None,on dredge,not practical 8 Above,on Dredge 110 Hydraulic Oil Steel None,on dredge,not (Aquamarine) practical 9 Above(fuel barge) 550 Diesel Steel Steel,covered with boards Total: 7,205 DESCRIPTION OF STORED PRODUCTS: • Petroleum products are used to service mobile and plant equipment. The types of petroleum products typically used are diesel fuel,gasoline,engine oil,and lubricating oils. 1 • This facility does not have a shop. A contactor comes on site to perform maintenance. They bring necessary i fluids, such as parts washer fluids, antifreeze, brake fluid, transmission fluid and hydraulic oil, and they remove used fluids from the site for disposal. i • Various types of electrical equipment located on the property that may contain dielectric fluid include transformers, capacitors, starters and magnets. An estimate of the amount of fluid in equipment owned by 1 Martin Marietta having an oil capacity greater than or equal to 55 gallons is included in this plan. • The number of drums on site at a particular time varies. An estimate of the average number was used to determine the total storage capacity. 1 1 i t 1 1 1 E i" 1 1 SPCC Plan-Carmel Sand-02/2019 1 O Revision 4:Match 2015 i i 1 DISCHARGE REPORTING PROCEDURES—40 CFR 112.7(a)(4) _ The following reporting procedures should be immediately implemented after an oil/fuel discharge(of any size) has occurred. 1. Immediately contact the Plant Manager to report the discharge: Plant Manager Asst.Plant Manager Steve Becktel Mike Jones Office Phone Number: 317-846-8540 317-846-8540 Mobile Phone Number: 317-416-6540 317-319-8061 Fax Number: 317-575-3577 317-575-3577 Home Phone Number: 317-416-6540 317-834-3570 If the Plant Manager is not available,contact the Martin Marietta Environmental Contact: MMM Environmental Contact: Garrett Cockrum,Sr.Environmental Engineer Office Phone Number: 317-575-5713 Fax Number: 317-573-5975 Home Phone Number: 317-383-6775 Mobile Phone Number: 317-446-9976 2. Based on the size, nature and circumstances of the discharge, the Plant Manager shall contact the Environmental Contact who will notify the appropriate regulatory.authorities. In addition, federal SPCC regulations require that any discharge with the potential of reaching a navigable waterway in harmful quantities, as defined in 40 CFR 110.3, be immediately reported to the National Response Center(NRC). Quantities that may be harmful under the Clean Water Act are defined as that which: • Causes a sheen or discoloration on the surface of the water or adjoining shorelines; • Causes a sludge or emulsion to be deposited beneath the surface of the water or upon adjoining shorelines; • Violates an applicable water quality standard. State of Indiana Regulations require that a reportable spill be reported to the Indiana Department of Environmental Management, Office of Emergency Response within two hours after the detection of the spill or discharge. Following are phone numbers for agencies that may need to be contacted and a recommended spill contractor: Indiana Department of Environmental Management Office of Emergency Response 317-233-7745 or 1-888-233-7745 NOTE THAT THE SITE IS LOCATED IN THE WELLHEAD PROTECTION AREA FOR THE CITY OF CARMEL WATER UTILITY. THE WELLHEAD PROTECTION BOUNDARIES FOR THIS UTILITY ARE SHOWN ON TILE SITE MAP(FIGURE 2). CONTACT NUMBERS FOR THE UTILITY ARE AS FOLLOWS: City of Carmel Water Department After normal business hours 911 or 317-733-2855 During normal business hours 317-571-2443 Jaimie Foreman, Carmel Water Utility Compliance Administrator 317-379-3115 11 SPCC Plan—Carrel Sand—02/2019 Revision 4: March 2015 £jF Hamilton County Surveyor's Office(for spills that threaten (Blue Woods Creek,a legal drain) 317-773-1872 Hamilton County Emergency Management Agency 911 or 317-770-3381 (business hours) 317-733-1282(non-emergency, after hours) City of Carmel Fire Department 911 or 317-571-2580 National Response Center: (800)424-8802 SET Environmental,Inc.(spill response contractor) 317-831-1971 or 1-877-437-7455 When contacting the above agencies,have the following information should be readily available: • Time,location,and source of discharge: • Type and quantity of material discharged: • Cause and circumstances of discharge: • Hazards associated with the discharge: • Personal injuries,if any: • Corrective action taken or planned to be taken: • Name and number of individual reporting discharge: • If applicable,where the spill traveling is traveling,such as to a stream or sewer: 1 s • Any additional pertinent information: REMEMBER TO COMPLETE DETAILED DISCHARGE REPORT IN APPENDIX C OR AN EQUIVALENT REPORT 12 SPCC Plan—Carmel Sand—02/2019 Revision 4: March 2015 1 DISCHARGE COUNTERMEASURE PROCEDURES-4U.CFR 112.7(a)(5) a< X 4�. ,.. o ., : 4,,f 1. In the event of a discharge,appropriate actions shall be taken to contain the discharge using all available means including absorbent materials and readily available mobile equipment. As mentioned previously, spill kits and/or absorbent materials are located on the dredge,at the processing plant and in the oil shed trailer. In the event of an uncontained discharge,the discharge may be controlled by utilizing available facility equipment to construct a containment berm down gradient from the discharge and absorb/adsorb the discharged material with sand, screenings or whatever fines that are available at the plant. This material shall be properly disposed in accordance with applicable local, state and federal environmental regulations. 2. After containing the discharge, all media (soil, water, etc.) that came into contact with oil must be collected and stored in such a way as not to continue to affect additional media. Examples of proper materials to use for cleanup include absorbents such as aggregates fines, dirt, absorbent pads, booms, socks, etc. Proper cleanup will be deemed complete when all the objectives of the local, state and/or federal cleanup levels are met. Martin Marietta Environmental personnel will determine proper cleanup - levels. 3. Materials that have come into contact with the discharged fluids shall be placed in a temporary staging area until proper methods of disposal can be determined. Sampling of impacted media may be required prior to determining a proper method of disposal. Determining a proper method of disposal will take into consideration all local, state and federal environmental regulatory requirements. Martin Marietta Environmental personnel will handle that portion of the cleanup process. 4. In the event of a leak from the tank or piping, as much of the discharge as possible shall be collected manually and stored in an appropriate container until proper disposal or reuse. Immediate action shall be taken to stop or minimize the leak rate. The remaining product in the containment area shall be cleaned up and properly disposed. 5. In the event of a tank, hose or piping failure, arrangements shall be made to empty the tank to a safe level by immediately filling all mobile equipment on the job. The products remaining in the containment shall be handled as described in Item 4. 6. In the event of a fire,the local fire authority shall be contacted immediately. C 7. This facility does not have a shop. A contactor comes on site to perform maintenance. They bring necessary fluids, such as parts washer fluids, antifreeze, brake fluid,transmission fluid and hydraulic oil, and remove used fluids from the site for disposal. 13 SPCC Plan-Cannel Sand-02/2019 Revision 4: March 2015 1 1 1C'OTENTIAL°EQT 1 T 'ALLURES. 46 CFK 112. (t1�.r "'. TM � .''r,,,,. , 1 �Rttia.i �Ts.�;,;r i i Potential Event Discharge Direction Volume Released Discharge Rate k Complete failure of full tank Containment Up to 1,500 gals. Instantaneous Partial failure of full tank Containment 1 to 1,500 gals. Gradual to Instantaneous i Tank overfill Containment 1 to many gals. Varies l Pipe failure Containment 1 to many gals. Varies Leaking pipe or valve failure Containment 1 to many gals. Varies Tank truck leak or failure See Site Map 1 to many gals. Up to 200 gal/min a Hose leak/rupture while fueling See Site Map 1 to many gals. Up to 40 gal/min Pump rupture or failure See Site Map 1 to many gals. Up to 40 gal/min Hose leak on mobile equipment Varies 1 to 120 gals. Gradual to Instantaneous Vandalism See Site Map 1 to 7,205 gals. Gradual to Instantaneous A release due to a failure of an above ground storage tank (AST) will be detected by visual inspection. Most leaks, ruptures, or discharges will be contained within the containment structure(s). Releases occurring outside l secondary containment (e.g. from overfilling vehicles, hose ruptures, etc.) will be contained on-site using 1 absorbent materials(pads,booms,drip pans,dirt,sand,etc.)and readily available mobile equipment. 1 As mentioned previously, if a spill occurs in either the lake on the east side or the lake on the west side of Hazel Dell Parkway, pumping between the lakes will cease to avoid spreading the spilled substance. Other measures that will be utilized include the use of absorbent materials and,if necessary,a contractor. i 5 t i a 1 i 2 J 1 1 1 I 5 i i f E F 14 SPCC Plan-Cannel Sand-02/2019 Revision 4: March 2015 1 i 1 CONTAINMENT`MMOisrl SIONO TRUCT JRES ig40 CFR112:7( 07, 1. The type of secondary containment structures for each tank is listed in the"Facility Layout" section of this plan. Calculations to determine containment capacity and freeboard are provided in Appendix F. Tanks without containment include the fuel and lubricant tanks on the dredge, the crusher oil tanks at the plant,the fuel tanks on mobile equipment and transformers. Containment for these tanks would be i impractical. i i 1 2. As a deviation from rule requirements,secondary containment is not provided for fuel delivery vehicles. Other measures(flat topography, diversionary berms, catch basins,natural depressions, sand and gravel pits,etc.)are used instead to contain any discharge until its cleanup. Procedures will be implemented as necessary for spills that reach or threaten to reach either the active or former dredge lake. Specific 1 procedures for stopping pumping by the dredge and return water pumps, and utilizing absorbent materials and a contractor,were described previously. t 3. Surface drainage due to relatively flat topography and porous ground surfaces is such that most oil discharged outside the containment areas should be retained on-site. i i 4. Any pumps outside the containment structure and/or piping leading into or out of the containment i structure shall be adequately protected from unauthorized use. 5. Absorbent materials including pads, booms, etc. are maintained on the dredge, at the processing plant and in the oil shed trailer. In addition, aggregate fines may also suffice to contain/absorb a discharge until it can be properly cleaned up. 6. As amended by the December 2006 revised rules, secondary containment is not required for mobile oil- filled equipment. Mobile equipment is parked near the office/scalehouse or, at the processing plant or west of Hazel Dell Parkway near the former plant site during non-operating hours. A discharge could be readily contained due to the flat topography and nearby absorbent materials. i ne i _-,.-, ... .,. _,._, .... s� ��� Yr3'.� -sue, DEMONSTRATION OF IMPRACTICABILITY 440 CFR 112,7(a,` . S-- f 3d 1 Facility management has determined that use of secondary containment for the aboveground storage tanks and i containers greater than or equal to 55 gallons meet the rule requirements. In instances where secondary 1 containment is not practical(i.e., for containers greater than or equal to 55 gallons on the dredge, and on mobile l and processing equipment; for transformers; and for tank truck refueling areas), site topography, diversionary structures and readily available on-site spill response equipment and materials are practical and effective to prevent a discharge of petroleum products from reaching navigable waters near this facility. As mentioned previously, mobile equipment is parked near the office/scalehouse, near the processing plant or west of Hazel Dell Parkway during non-operating hours. Also, a contractor will be utilized for spills beyond the control of Martin Marietta personnel. i C 1 1 1 6 i 15 I SPCC Plan-Carmel Sand-02/2019 Revision 4: March 2015 i 3 I 1 INSPECTIONS,TESTS AND RECORDS-40 CFR 112.7(e) - A I 1. Daily visual inspections consist of a complete walkthrough of the facility to check for tank damage or leakage, stained or discolored soils, excessive accumulation of precipitation within diked areas, and to ensure the containment drain valve(s) are securely closed. If applicable, all electrical items containing dielectric fluid shall be periodically checked for leaks. Appropriate labels identifying the fluid contained in the item shall be affixed to the outside of the item in clear view. 2. Monthly inspections are provided for applicable ASTs using the checklist provided in Appendix A. These inspections and should be completed by the Plant Manager and/or other competent personnel under his supervision. Records of these inspections, along with any corrective actions taken should be maintained on-site for a continuous three(3)year period. 3. Where applicable, physical electronic/electrical testing of liquid level sensing devices are done and documented monthly on the checklist provided in Appendix A. There are no underground storage tanks at this facility. Bulk Storage Tanks and piping inside of secondary containment and with all sides visible are not integrity tested but instead are visually inspected on a monthly basis for external signs of leaks,corrosion,pitting or deterioration. 4. For ASTs that do not meet the above criteria,integrity testing will be conducted in accordance with the Steel Tank Institute (STI) Standard SP001-00. The written procedures for that type of testing are provided in that standard. To aid in the determination of whether the AST requires integrity testing, consult Appendix E for specifics on which type of integrity testing and frequency may be applicable to that AST. All integrity test records will be maintained at the facility for a period consistent with the last round of testing(i.e., 5, 10 or 20 years). PERSONNEL,TRAINING,AND DISCHARGE PREVENTION PROCEDURES—40 CFR 112.7(f) 1. Oil-handling personnel are trained in the operation and maintenance of equipment to prevent discharges; discharge procedure protocols; applicable pollution control laws and regulations; general facility operations;and the contents of the facility SPCC Plan. 2. The Plant Manager,or his secondary appointee,has primary responsibility for oil spill prevention. 3. Initial training and subsequent briefings are to be provided by management for all oil-handling personnel to ensure adequate understanding of the components of this SPCC Plan and its requirements. Such components consisting of discharge prevention and cleanup, inspection of equipment and AST integrity will be provided at a minimum of once per year, typically during a safety meeting. { 16 SPCC Plan—Carmel Sand—02/2019 Revision 4: March 2015 Utt: ig4oiTInt4iR:1(0 SWI .An3L!"_J4PSZ- '.'�,O�S£a.�.4'.QI+L ?5; •r 1. The entrance to the property on the west side of Hazel Dell Parkway has a gate that is locked during non-working hours. There is no fencing around the site, however, the site is inspected during non- working hours by hired security personnel. 2. Master flow and drain valves are to be in the closed position except during authorized secondary containment drainage. 3. Electrical starter controls for the oil pumps are locked in the"off'position and are to be located in an area accessible only to authorized personnel when the pumps are in a non-operating status. 4. The loading and unloading connections of oil piping are capped when not in service or when in standby service for an extended period of time. 5. Lights at the office provide lighting for the Tank No. 1. The main security for the site is achieved by the 1 inspections described above. Spills at night may additional lighting for cleanup activities. If a contractor is involved with the cleanup,they will have supplemental lighting. E B z (¢F ([f [[E 17 SPCC Plan-Cannel Sand-022019 Revision 4: March 2015 S 1 i I i TANK TRUC ,'O0ING-40 CFR12.7(h) i 1. This facility does not use a tank car or tanker truck unloading rack. I i i 2. As a deviation to this section, secondary containment is not provided at this facility for vendor tank truck offloading. Tanks are generally located on flat areas with spill kits available on site. Procedures 1 for shutting off pumps,and utilizing absorbent materials and a contractor,are in place. 3. A vendor's tank truck unloadingprocedures shall meet the minimum requirements and regulations Iestablished by the Department of Transportation's Regulations contained under 49 CFR 171, 173, 174, 177 and 179. 1 4. Use of a physical barrier, such as a warning sign or wheel chocks, is a method that may be used in loading/unloading areas to deter vehicles from departing before complete disconnection of oil transfer lines. If this method is utilized, it is the vendor's responsibility to ensure that a safety cone is placed before unloading and removed after disconnect is complete. 0 i 5. In instances where fueling/lubricating of company equipment can only occur outside of secondary 1 containment,a spill containment kit shall be available. 6. The fueled/lubricated vehicle's lowermost drain plug, along with any other leak outlet, shall be I examined after filling and before leaving the service area. 7. Delivery tankers should be inspected before and after unloading to verify quantity received. Drivers are i to remain with their tankers during the entire unloading period and should never venture further than 25 i feet from their vehicle during fuel transfer. Petroleum product vendors shall provide some means to clean up any incidental spillage. 8. Equipment operators are to remain with their equipment at all times during refueling. 1 s i FJEI I)CONS FRUCTEDrC''t111TAINERS-40 CFR 1117(i) s 1 t Since this section is typically applicable to tanks greater then 50,000 gallons,it does not apply to this facility. 1 FARMANCE WITH STATE PROG w1Q C> t 2 if " The discharge prevention and containment standards are in conformance with the minimum standards under 40 CFR 112 and all applicable State rules,regulations and guidelines. 18 SPCC Plan-Cannel Sand-02/2019 Revision 4; March 2015 This Plan was developed to complement the facility's storm water protection program,as applicable. l. There are currently no containments that collect rain water and require draining except for the additional concrete containment in which Tank No. 1 sets. This additional containment has a locked drain. Drainage from containment structures that could collect rain, if installed, would be restrained by locking valves, where necessary,to prevent a discharge from entering into the facility's drainage system. 2. Should additional tanks with containments that could collect rainwater drained be installed, valves of open-and-closed manual design will be used to drain diked areas. The draining of accumulated precipitation should be done in accordance with the Containment Drainage Log (App.B). 3. In the event of a discharge and/or overflow from a tank, the discharge should be contained within the containment structure. If a discharge occurs during transfer, or in a manner that cannot be contained within the diked area,surface drainage is as indicated in Figure 2. 4. Facility drainage systems are adequate to prevent oil from reaching navigable water in the event of a discharge. Procedures are in place to shut off pumps, and utilize absorbent materials and a contractor,as necessary. ' s 19 SPCC Plan-Cannel Sand-02/2019 Revision 4: March 2015 • as f b'E.S^' Zx "r # ✓ 1. Each aboveground tank is constructed of a material that is compatible with the material stored within and the conditions of storage(i.e.,pressure,temperature,etc.). 2. Where feasible aboveground tanks are provided with secondary containment and with available storage volume sufficient to contain the capacity of the largest single tank stored within, plus sufficient freeboard. 3. Except for the additional containment for Tank No. 1,drainage of rainwater from diked areas is not currently necessary due to tanks being in containments with rain shields. If containments are installed that could collect rainwater, the drainage of rainwater, bypassing treatment, is acceptable if: i. The bypass valve is normally sealed closed. ii. Accumulated precipitation is inspected to ensure compliance with applicable water quality standards and will not cause a harmful discharge. iii. The bypass valve is opened and resealed under responsible supervision. iv. Records are kept of drainage events on the form shown in Appendix B. 4. Aboveground tanks are visually inspected on a daily basis. Documented visual inspections are to be performed monthly in accordance with the Tank Inspection Log(Appendix A) and should include inspection of the tank(s), tank supports and foundations, and containment structure(s). Monthly visual inspections of AST integrity alone are deemed sufficient for the ASTs. Internal corrosion poses minimal risk of failure. These include all shop fabricated (less then 50,000 gallons)ASTs in which all sides are visible(i.e.,no ground contact). Equivalent environmental protectionsecondary is accomplished by the use of containment, good housekeeping practices, and a thorough inspection program designed to evaluate • applicable ASTs for potential signs of corrosion,leakage or cracking. i. 5. For ASTs that do not meet the above criteria, integrity testing in accordance with Steel Tank Institute Standard SP0001-00, or other similar standard in existence at the time in which testing is performed,will be performed at a minimum every ten(10)years. 6. There are no steam operated internal heating coils at this facility. 7. Each AST has been engineered or updated in accordance with good engineering practices. Tank No. 1 has a direct-reading level gauge. Others do not, but they can be easily monitored visually while being filled. Other acceptable means of level gauging include high liquid level alarms,high level pump cutoffs,and overflow lines. 8. There are no"effluent treatment facilities"at this facility. 9. Visible discharges which result in a loss of oil from the container (including seams, gaskets, piping,pumps, valves, rivets, bolts, etc.)must be promptly collected and any accumulations of oil properly removed and disposed of through a used oil recycler approved by the Environmental Representative. 10. Any mobile or portable oil storage container greater than or equal to 55 gallons shall be located to prevent a discharge of oil to navigable waterways and provided with secondary containment or equivalent environmental protection. Equivalent environmental protection may be • accomplished by natural topography, diversion berms or catch basins. Mobile or portable containers greater than or equal to 55 gallons are to be located in areas not subject to periodic flooding. 20 SPCC Plan-Cannel Sand-02/2019 Revision 4: March 2015 SFER oyF t ll!is,,—v, J T_,:_ tOCESSES—40 CFR 112.8(d) 1. There is no buried piping at this facility. Cathodic protection and integrity testing will be provided if any buried piping is installed at a later date. 2. Piping not in service or on standby for an extended period is to be capped and marked at the terminal connection. 3. All pipe supports are properly designed to minimize abrasion and corrosion and to allow for expansion and contraction. 4. Aboveground valves,piping and appurtenances are visually inspected by operating personnel on a daily basis. The general condition of items including joints, pipeline supports, catch pans, locking valves and metal surfaces are to be assessed. Documented visual inspections are performed monthly in accordance with the Tank Inspection Log(Appendix A). 5. There is no aboveground piping or other oil transfer operation located within vehicle travel areas. In addition, verbal warnings are administered as needed as to the location of oil storage operations. OII,-WATER SEPA, R.. �,,,'T.ORS. Q GR 112.8(d) Oil/water separators used exclusively to treat wastewater and not used to satisfy any requirement of 40 CFR Part 112 are exempt from all SPCC requirements. Oil/water separators used to meet the secondary containment requirements of the rule are not exempt. Examples of oil/water separators that are used to meet SPCC requirements include oil/water separators used to satisfy the secondary containment requirements of 112.7(c), 112.7(h)(1), 112.8(c)(2), 112.8(c)(11), 112.12(c)(2),and/or 112.12(c)(11). This facility does not operate any oil water separators. 21 SPCC Plan-Carmel Sand-02/2019 Revision 4; March 2015 i i i l CERTIFICATION OF THE APPLICABILITY OF THE SUBSTANTIAL HARM CRITERIA I i Facility Name: Carmel Sand Facility Address: 10851 Hazel Dell Parkway,Indianapolis,IN 46280 1. Does the facility transfer oil over water to or from vessels and does the facility have a total oil storage capacity greater than or equal to 42,000-gallons? Yes No ✓ i 2. Does the facility have a total oil storage capacity greater than or equal 1 million gallons and does the € facility lack secondary containment that is sufficiently large to contain the capacity of the largest aboveground oil storage tank plus sufficient freeboard to allow for precipitation within any aboveground oil storage tank area? Yes No ✓ I i 5 3. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons and is the facility located at a distance (as calculated using the appropriate formula in Attachment C-III to this I appendix or a comparable formula')such that a discharge from the facility could cause injury to fish and wildlife and sensitive environments? For further description of fish and wildlife and sensitive environments, see Appendices I. II, and III to DOC/NOAA's "Guidance for Facility and Vessel Response Plans: Fish and Wildlife and Sensitive Environments: (see Appendix E to this part, section 10,for availability)and the applicable Area Contingency Plan. Yes No ✓ i 4. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons and is the facility located at a distance (as calculated using the appropriate formula in Attachment C-III to this appendix or a comparable formula') such that a discharge from the facility would shut down a public drinking water intake2? I I Yes No ✓ 1 i 5. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons and has the facility experienced a reportable oil spill in an amount greater than or equal to 10,000 gallons within the last 5 years? s g i Yes No ✓ e Certification: I I certify that under penalty of law that I have personally examined and am familiar with the information I submitted in this document, and that based on my inquiry of those individuals responsible for obtaining $ this information,I believe that the submitted information is true,accurate,and complete. s l s D.Max Williams Senior Environmental Engineer Name(please type or I Title s - A4-7 -ems February 22,2019 I Signature Date 'If a comparable formula is used documentation of the reliability and analytical soundness of the comparable formula must be attached. 2For the purposes of 40 CFR part 112,public drinking water intakes are analogous to public water systems as described at 40 CFR 1432(c). 22 SPCC Plan-Cannel Sand-02/2019 Revision 4: March 2015 t i PLAN UNI; RSTANDING AAISIDACEN4),,WWIIIONT I have read this Spill Prevention,Control and Countermeasure Plan and agree to adhere to and perform the activities required by the plan to the best of my ability. Any part of the plan to which I do not understand,I have contacted the Environmental Department for guidance. '• 2/Z4 / 7/ Plant Manager Date: Steve Becktel Assistant Plant Manager: n Date: 2 /z i lI5 e Jones Foreman: Date: Foreman: Date: Other: Date: Date: Date: Date: Date: Date: Date: Date: Date: Date: Date: Date: Date: Date: Date: Date: 23 SPCC Plan—Cannel Sand-02/2019 Revision 4: March 2015 zott o- _+r ,, ,._:, _r,ApPE11UqxA?' �k�:'�'_ �.r, �,zg `'�%. :,.., ..��c,+"' k�^! ._���:_;� 1+� TANK INSPECTION CHECKLIST Instructions: This record should be completed monthly. Visually inspect each tank,placing a✓in the appropriate box for each item. If any item needs explanation,do so in the space provided,or attach additional sheet if necessary. DATE: INSPECTOR: LOCATION: Carmel Sand CORRECTIVE ACTION/COMMENTS Tanks No(s). YES NO N/A *See next page for additional comment space Fuel dispenser nozzle(s)are locked when not in use Dispenser hose connections leaking Drip Marks evident below tank Discoloration of Tank coatings caused by leaks or corrosion(especially tank bottom) Corrosion,pitting or rust evident on tank exterior Cracks or damage to tank walls,seams,rivets or bolts Tank supports deteriorated or buckled Gaps between tank and foundation Water seals between tank&supports is damaged Level control devices,vent devices&overspill control devices are in place&operating properly(must check) Water/product in interstice of double-wall tank Containment No(s). Cracks in walls or floor Puddles containing discharged or leaked material inside containment Any settling evident Damage caused by vegetation roots Piping Droplets of stored material evident below piping Discoloration or corrosion of piping If any underground piping,is piping protected? Integrity testing performed on underground piping (mention last test date) Bowing of pipe between supports Evidence of stored material seepage from valves, joints,unions,couplings or seals General comments Notes: One form per containment is required.Identify Tank No.in Comment Column when a problem is found. 24 SPCC Plan-Cannel Sand-02/2019 Revision 4: March 2015 APPENAJX A(cont'd) TANK INSPECTION CHECKLIST (cont'd) Additional Comments 1 3 Qf� 25 SPCC Plan-Carnet Sand-022019 Revision 4: Merck 2015 I APPENDIX B SECONDARY CONTAINMENT DRAINAGE LOG 40 CFR 112 REQUIRES A CONTINUOUS WATCH WHEN DRAINING RAIN WATER FROM ANY PETROLEUM SECONDARY CONTAINMENT FACILITY. ANY OIL PRESENT ON THE WATER SURFACE MUST BE REMOVED PRIOR TO OPENING THE DISCHARGE VALVE. IT IS IMPORTANT TO KEEP THE STRUCTURE CLEAN AND WELL MAINTAINED TO AVOID OIL CONTAMINATION. MY SIGNATURE BELOW CERTIFIES THAT I HAVE EXAMINED THE CONTAINMENT FACILITY, REMOVED ANY VISIBLE OIL FROM THE WATER SURFACE, REPAIRED OR REPORTED ALL LEAKS,AND CLOSED AND LOCKED THE CONTAINMENT DRAIN VALVE PRIOR TO DEPARTURE. Oil Present Drain Opened Drain Closed Volume Location (Yes/No) ((Time) (Time) (gal) Signature Date { *THIS RECORD MUST BE KEPT ON FILE FOR A MINIMUM OF THREE(3)YEARS. *To approximate the volume of water drained from the structure, multiply the depth of standing water by the containment dimensions(all dimensions should be in feet). Multiply the volume by 7.48 to convert to gallons. 26 SPCC Plan—Cannel Sand—02/2019 Revision 4: March 2015 APPENDIX C DETAILED DISCHARGE REPORT FORM Reporter's Name and Date: Location of Discharge: Date and Time Discharge Occurred: Material and Amount Discharged: Source of the Release: Cause and Circumstances of Release: Countermeasures to Contain and Clean-up Discharge: 1 Personnel/Agency Contacted Regarding Discharge Procedures: gzg Corrective Actions Implemented to Prevent Recurrence of Discharge: Discharge Report Sent To: 27 SPCC Plan—Carmel Sand—0212019 Revision 4: March 2015 APPENDIX) RECORD OF DISCHARGE PREVENTION BRIEFINGS Instruction: Briefings will be scheduled and conducted by the owner or operators for operating personnel at intervals frequent enough to assure adequate understanding of the SPCC Plan for this facility. These briefings should also highlight and describe known discharge events or failures,malfunctioning components,and recently developed precautionary measures. Personnel will also be instructed in operation and maintenance of equipment to prevent the discharges of oil and applicable pollution control laws, rules and regulations. During these briefings there will be an opportunity for facility operators and other personnel to share recommendations concerning health,safety,and environmental issues encountered during operation of the facility. Date: Attendees: { Fk[ Ct� EE ({t Subject and Issues: Recommendations and suggestions: 28 SPCC Plan-Cannel Sand-02f2019 Revision 4: March 2015 [ APPEND . Determination of AST Category , Tank has Continuous Release AST TANK CONFIGURATION Detection Method (CRDM*)? CATEGORY** AST in contact with ground No 2 or 3 Elevated tank with spill control and with no part of Yes 1 AST in contact with ground Vertical tank with Release Prevention Barrier(RPB) Yes 1 and spill control 1 Vertical tank with double bottom and spill control Yes 1 Vertical tank with RPB under tank and spill control Yes 1 [ Double-walled AST Yes 1 AST with a secondary containment dike/berm Yes I **Category 1 -ASTs with spill control and with CRDM I **Category 2-ASTs with spill control but without CRDM i **Category 3 -ASTs without spill control and without CRDM [ • *CDRM-a means of detecting a release of liquid through inherent design.It is passive because it does not require 1 sensors or power to operate.Liquid releases are visually detected by facility operators. The system shall be designed in accordance with good engineering practice. Several acceptable and commonly used CRDM systems are as follows: •Release prevention barrier(RPB)which is described as a liquid containment barrier that is sufficiently impervious to the liquid being stored and is installed under the AST.Examples are steel, concrete, elastomeric liners,clay, etc. •Secondary containment AST including double-wall AST or double-bottom AST •Elevated AST(tank is not in contact with the ground and is raised so that visual external inspection can be performed on the bottom)with release prevention barrier. i4 INSPECTION SCHEDULES AST Type and Size(U.S. gallons) Category 1 Category 2 Category 3 0— 1,100 P P P, E &L(10) [P, E&L(5), 1(10)] 1,101 - 5,000 P P, E& L(10) or Shop-Fabricated ASTs [P, L(2), E(5)] [P, E(10), 1(20)] [P, E&L(5), 1(10)] 5,001 -30,000 P, E(20) or or [P, E(5), L(10)] [P, L(1), E(5)] 30,001 -50,000 P, E(20) P, E& L(5), 1(15) P, E & L(5), 1(10) Portable Containers P P P** **Owner shall either discontinue use of portable container for storage or have the portable container DOT(Department of Transportation)tested and recertified per the following schedule: Plastic-every 7 years Steel-every 12 years Stainless Steel-every 17 years P-Periodic AST inspection by Owner's Inspector(this is not a Certified Inspector) E-Formal external inspection by Steel Tank Institute(STI)Certified Inspector I—Formal internal inspection by STI Certified Inspector L—leak test by owner or owner's designee ()indicates maximum inspection interval in years.Eg.,E(5)indicates formal external inspection every 5 years 29 SPCC Plan—Cannel Sand-02/2019 Revision 4: March 2015 CONTAINMENT VOLUME CALCULATIONS fi 30 SPCC Plan—Cannel Sand-02/2019 Revision 4: Match2015 CARMEL SAND CONTAINMENT VOLUME CALCULATIONS UPDATED FEBRUARY 8, 2019 TANK NO. 1 TANK CONTENTS Diesel TANK VOLUME 570 GAL CONTAINMENT SIZE L = 6.08 FT tt W= 5 FT D = 2.75 FT CONVERSION FACTOR= 7.48 GAL/CU FT 24-HR, 25-YR STORM EVENT = N/A. Containment has rain shields. CONTAINMENT VOLUME= 625 GAL 24-HR, 25-YR STORM VOLUME = N/A. GAL REQUIRED VOLUME = 625 GAL TANK NO. 2 TANK CONTENTS Lubricant Oil TANK VOLUME 10 @ 55 GAL EA CONTAINMENT SIZE None. Drums are inside building. TANK NO. 3 TANK CONTENTS Diesel TANK VOLUME 2 @ 1,500 GAL CONTAINMENT SIZE = None. Tank is located on dredge. 24-HR, 25-YR STORM EVENT = N/A TANK NO. 4 TANK CONTENTS Hydraulic Oil (Aquamarine) TANK VOLUME 130 GAL CONTAINMENT SIZE None. Tank is located on dredge. 24-HR, 25-YR STORM EVENT= N/A TANK NO. 5 TANK CONTENTS Diesel (fuel barge) TANK VOLUME 1,000 GAL CONTAINMENT SIZE L= 10 FT W= 7.83 FT D= 1.75 FT CONVERSION FACTOR= 7.48 GAL/CU FT 24-HR, 25-YR STORM EVENT = 4.8 IN CONTAINMENT SIZE = 1,025 GAL 24-HR, 25-YR STORM VOLUME = N/A. Containment has a roof. REQUIRED VOLUME = 1,000 GAL 1 CARMEL SAND CONTAINMENT VOLUME CALCULATIONS UPDATED FEBRUARY 8, 2019 TANK NO. 6 TANK CONTENTS Transformers TANK VOLUME 3 @ 265 GAL CONTAINMENT SIZE = None. Not practical. 24-HR, 25-YR STORM EVENT = N/A TANK NO. 7 TANK CONTENTS Diesel TANK VOLUME 500 GAL CONTAINMENT SIZE = None. Tank is located on dredge. 24-HR, 25-YR STORM EVENT = N/A TANK NO. 8 TANK CONTENTS Hydraulic Oil(Aquamarine) TANK VOLUME 110 GAL CONTAINMENT SIZE = None. Tank is located on dredge. 24-HR, 25-YR STORM EVENT= N/A TANK NO. 9 TANK CONTENTS Diesel (fuel barge) TANK VOLUME 550 GAL CONTAINMENT SIZE L = 10 FT W= 8 FT D = 3 FT CONVERSION FACTOR = 7.48 GAL/CU FT 24-HR, 25-YR STORM EVENT= N/A. Cont IN CONTAINMENT VOLUME = 1,795 GAL REQUIRED VOLUME = 550 GAL TOTAL TANK CAPACITY= 7,205 GAL IF 2 APPENDIX G INDIANA SPILL REPORTING RULE 1 3 g3 I 31 SPCCPlan—Carmel Sand—02/2019 Revision4: Much 2015 WATER QUALITY STANDARDS 327 IAC 2-4-4 Preparation of reports by operator;time for submission Authority: IC 13-14-8;IC 13-18-3 Affected: IC 13-11-2-258;IC 13-18-11 Sec.4.All reports shall be prepared by the certified wastewater treatment plant operator,licensed under the provisions of IC 13-18-11,when such discharge(s)originate(s)in whole or in part from a wastewater treatment plant as defined in IC 13-11-2- 258.Such reports shall be submitted prior to the 28th day of the following month.(Water Pollution Control Division;327 IAC 2-4- 4;filed Sep 24, 1987, 3:00 pm: 11 IR 587; readopted filed Jan 10,2001, 3:23 p.m.:24 IR 1518;readopted filed Nov 21, 2007, 1:19 p.m.:20071219-IR-327070554BFA;readoptedfiled Jul 29,2013,9:21 a.m.:20130828-IR-327130176BFA;errata filed Jul 31,2017, 11:06 a.m.:20170809-IR-327170349ACA) Rule 5.Phosphates;Permits for Use by Manufacturers and Processors;Detergents 327 IAC 2-5-1 Use of phosphorus detergents;permits Authority: IC 13-14-8;IC 13-18-9-3 Affected: IC 13-15 Sec. 1. Any manufacturer or processor required to use detergents containing phosphorus for cleaning plant or equipment shall obtain a permit therefor from the commissioner. (a)The application for the permit shall be made on a form provided by the commissioner and shall include as a minimum the following: (1)Phosphorus content of the detergent by weight and the maximum daily and monthly average quantities used. (2)Description of the use and why a phosphorus detergent is required. (3)The means of treatment that will be installed using the best practicable control technology for removal of phosphorus from the wastewater before discharge directly into the waters of Indiana or into any sewer or drain that enters the waters of the state of Indiana. (b)The commissioner may issue a permit for a period not to exceed four(4)years,upon a determination that the use of phosphorus detergents is necessary with no adequate substitute available and that the best practicable treatment method of removal of phosphorus is accomplished prior to discharge of the treated effluent. Renewal applications must be submitted to the commissioner at least sixty(60)days in advance of the expiration date of the permit.(Water Pollution Control Division;327 IAC 2-5-1;filed Sep 24,1987,3:00 pm:I1 IR 587;readoptedfiled Jan 10,2001,3:23 p.m.:241R 1518;readoptedfiled Nov21,2007, 1:16 p.m.:20071219-IR-327070553BFA;readopted filed Jul 29,2013, 9:21 a.m.:20130828-IR-327130176BFA) Rule 6. Spills of Oil and Other Objectionable Substances; Reporting, Containment and Cleanup (Repealed) (Repealed by Water Pollution Control Division;filed Feb 25, 1997, 1:00 p.m.:201R 1734) j1 Rule 6.1.Spills;Reporting,Containment,and Response 327 IAC 2-6.1-1 Applicability Authority: IC 13-14-8-7 Affected: IC 13-11-2;IC 13-18-1;IC 13-18-3;IC 13-18-8;IC 13-18-17 Sec. 1.This rule applies to the reporting and containment of,and the response to those spills of hazardous substances, extremely hazardous substances,petroleum,and objectionable substances that are of a quantity,type,duration and in a location as to damage the waters of the state.Nothing in this rule is intended to affect reporting or clean-up requirements set forth by other federal, state,or local laws. (Water Pollution Control Division; 327 IAC 2-6.1-1;filed Feb 25, 1997, 1:00 p.m.: 20 IR 1731; readopted filed Jan 10, 2001, 3:23 p.m.:24 IR 1518;readopted filed Nov 21, 2007, 1:16 p.m.:20071219-IR-327070553BFA; readopted filed Jul 29,2013, 9:21 a.m.:20130828-IR-327130176BFA) Indiana Administrative Code Page 116 WATER QUALITY STANDARDS 327 IAC 2-6.1-2 Special areas Authority: IC 13-14-8-7 Affected: IC 13-11-2;IC 13-18-1;IC 13-18-3;IC 13-18-8;IC 13-18-17 Sec.2.Certain areas of the state are recognized as having unique geology.A large section of the mid-southern part of the state is a karst region. Portions of Saint Joseph,Elkhart,Kosciusko, and LaGrange Counties contain a sole source aquifer as referenced in 42 U.S.C.300h-3(e).The waters of the state are particularly vulnerable to damage from spills in these areas,and care should be exercised when evaluating damage from spills.Information about these areas can be obtained by calling the Department of Environmental Management,Office of Land Quality,Emergency Response Section:Area Code 1-888-233-7745 for in-state calls (toll free),(317)233-7745 for out-of-state calls.(Water Pollution Control Division;327 IAC 2-6.1-2;filed Feb 25,1997,1:00p.m.: 20 IR 1731; readopted filed Jan 10, 2001, 3:23 p.m.: 24 IR 1518; readopted filed Nov 21, 2007, 1:16 p.m.: 20071219-IR- 327070553BFA;errata filed May 27,2008,2:06p.m.:20080625-IR-327080419ACA; readopted filed Jul 29, 2013, 9:21 a.m.: 20130828-IR-327130176BFA) 327 IAC 2-6.1-3 Exclusions Authority: IC 13-14-8-7 Affected: IC 13-11-2;IC 13-18-1;IC 13-18-3;IC 13-18-8;IC 13-18-17 Sec.3.Notwithstanding any other section of this rule,the reporting requirement of this rule does not apply to the following occurrences: (1)Discharges or exceedances that are under the jurisdiction of an applicable permit when the substance in question is covered by the permit and death or acute injury or illness to animals or humans does not occur. (2)Lawful application of materials,including,but not limited to: (A)commercial or natural fertilizers and pesticides on or to land or water;or (B)dust suppression materials. (3)The application of petroleum necessary for construction that does not damage waters of the state. (4)Spills of less than one(1)pound or one(1)pint. (5)Spills of integral operating fluids,in the use of motor vehicles or other equipment,the total volume of which is less than or equal to fifty-five(55)gallons and which do not damage waters of the state. (6)Oil sheens produced as a result of the normal operation of properly functioning watercraft. (7)A release of a substance integral to a spill response activity that has been approved and authorized by a state or federal on-scene coordinator. (Water Pollution Control Division;327 IAC 2-6.1-3;filed Feb 25, 1997, 1:00 p.m.:20 IR 1731;errata filed Mar 7, 1997,2:25 p.m.:20 IR 1738;readopted filed Jan 10,2001,3:23 p.m.:24 IR 1518;readopted filed Nov 21,2007, 1:16 p.m.:20071219-IR- 327070553BFA;readopted filed Jul 29,2013, 9:21 a.nr.:20130828-IR-327130176BFA) 327 IAC 2-6.1-4 Definitions Authority: IC 13-14-8-7 Affected: IC 13-11-2;IC 13-18-1;IC 13-18-3;IC 13-18-8;IC 13-18-17;IC 14-8-2-7;IC 14-25-7-13;IC 14-25-7-15 Sec.4.In addition to the definitions contained in IC 13-11-2-17(d),IC 13-11-2-35(a),IC 13-11-2-51,IC 13-11-2-158(a), IC 13-11-2-160,IC 13-11-2-260,IC 13-11-2-265,and in 327 IAC 1,the following definitions apply throughout this rule: (1)"Animal"means all mammals,birds,reptiles,amphibians,fish,crustaceans,and mollusks. (2)"Aquatic life"means those plants and macroinvertebrates that are dependent upon an aquatic environment. (3)"Contain"means to take such immediate action as necessary to dam,block,restrain,or otherwise act to most effectively prevent a spill from entering waters of the state or minimize damage to the waters of the state from a spill. (4) "Damage" means the actual or imminent alteration of the waters of the state so as to render the waters harmful, detrimental,or injurious to: (A)public health,safety,or welfare; Indiana Administrative Code Page 117 WATER QUALITY STANDARDS (B)domestic,commercial,industrial,agricultural,or recreational uses;or (C)animals or aquatic life. , (5)"Downstream water user"means: (A)a community public water supply,as identified by the department of natural resources under IC 14-25-7-13(d); (B)a significant water withdrawal facility as registered with the department ofnatural resources under IC 14-25-7-15; (C)users of recreational waters;or (D)any other user made known to the person who has a spill. (6)"Extremely hazardous substance"means a substance identified pursuant to 42 U.S.C. 11002 and 11004.(40 CFR 355 I Appendix A.) (7)"Facility"means all land,buildings,equipment,structures,and other stationary items that are located on a single site or on contiguous sites and that are owned or operated by the same person or by any person who controls,is controlled by, or is under common control with,such person. I (8)"Facility boundary"means the boundary of a facility or an easement or right-of-way. a (9)"Hazardous substance"has the meaning set forth in 42 U.S.C.9601(14). (10)"Mode of transportation" includes,but is not limited to,carriage by: (A)rail and motor vehicles; I (B)aircraft; (C)watercraft; (D)pipelines;or (E)other means of transportation; & in commerce.This definition excludes carriage within a facility by transportation equipment owned,operated,or controlled by that facility. 1 (11)"Objectionable substances"means substances that are: (A)of a quantity and a type;and (B)present for a duration and in a location; so as to damage waters of the state. This definition excludes hazardous substances, extremely hazardous substances, 1 petroleum,and mixtures thereof. 4 I (12)"On-scene coordinator"means a state or federal official designated by the department,the United States Environmental Protection Agency,or the United States Coast Guard to direct and coordinate special spill response activities. (13)"Recreational waters"means any water used for: (A)boating,swimming,fishing,hunting,trapping,or wildlife viewing;or (B)public access areas that are owned by the department of natural resources or the federal government; as listed by the department. (14)"Reportable quantity"means the amount of a hazardous substance or extremely hazardous substance that is required to be reported under federal law under 42 U.S.C.9602(a)and(b)and 42 U.S.C.9603(a).(40 CFR 302.4 or 40 CFR 355 1 Appendix A.) I (15)"Spill"means any unexpected,unintended,abnormal,or unapproved dumping,leakage,drainage,seepage,discharge t or other loss of petroleum,hazardous substances,extremely hazardous substances,or objectionable substances.The term does F not include releases to impermeable surfaces when the substance does not migrate off the surface or penetrate the surface and enter the soil. (16)"Spill response",for purposes of this rule,means the following: (A)The spill is contained;and (B)Free material is removed or neutralized. 1 (17) "Spill report" means an oral report that includes the following information about a spill, to the extent that the information is known at the time of the report: (A)The name,address,and telephone number of the person making the spill report. (B)The name,address,and telephone number of a contact person if different from clause(A). (C)The location of the spill. (D)The time of the spill. Indiana Administrative Code Page 118 WATER QUALITY STANDARDS (E)The identification of the substance spilled. (F)The approximate quantity of the substance that has been or may further be spilled. (G)The duration of the spill. (H)The source of the spill. (I)Name and location of the waters damaged. (J)The identity of any response organization responding to the spill. (K)What measures have been or will be undertaken to perform a spill response. (L)Any other information that may be significant to the response action. (18)"Waters", as defined in IC 13-11-2-265,means the accumulations of water,surface and underground,natural and artificial,public and private,or parts thereof,that are wholly or partially within,flow through,or border upon this state.The term does not include any private pond or any off-stream pond,reservoir,or facility built for reduction or control ofpollution or cooling of water prior to discharge unless the discharge from the pond,reservoir,or facility causes or threatens to cause water pollution. (Water Pollution Control Division;327 IAC 2-6.1-4;filed Feb 25, 1997, 1:00 p.m.:20 IR 1731;errata filed Mar 7, 1997, 2:25 p.m.:20 IR 1738;readopted filed Jan 10,2001, 3:23 p.m.:24 1R 1518;readopted filed Nov 21,2007, 1:16 p.m.:20071219-IR- 327070553BFA;readopted filed Jul 29,2013,9:21 a.m.:20130828-IR-327130176BFA) 327 IAC 2-6.1-5 Reportable spills;facility Authority: IC 13-14-8-7 Affected: IC 13-11-2;IC 13-18-1;IC 13-18-3;IC 13-18-8;IC 13-18-17 fi Sec.5.The following spills from a facility must be reported: (1)Spills that damage the waters of the state so as to cause death or acute injury or illness to humans or animals. (2)Spills from a facility that has been notified in writing by a water utility that it is located in a delineated public water supply wellhead protection area as approved by the department under 327 IAC 8-4.1 that are spills of: (A)hazardous substances or extremely hazardous substances when the amount spilled exceeds one hundred(100) pounds or the reportable quantity,whichever is less; (B)petroleum when the amount spilled exceeds fifty-five(55)gallons;or (C)objectionable substances as defined in section 4(11)of this rule. (3)Spills that damage waters of the state and that are located: (A)within fifty(50)feet of a known private drinking water well located beyond the facility property boundary,or (B)within one hundred(100)yards of: (i)any high quality water classified as an outstanding state resource water listed in 327 IAC 2-1-11(b),327 IAC 2-1.3-3(d),or 327 IAC 2-1.5-19(b),excluding Lake Michigan; (ii)any water designated as capable of supporting a salmonid fishery pursuant to 327 IAC 2-1-6(c)(1)or 327 IAC 2-1.5-5(a)(3),except Lake Michigan;or (iii)any water that is a fish hatchery,fish and wildlife area,nature preserve,or recreational water owned by the department of natural resources or the federal government. (4)For any spill that does not meet the criteria in subdivisions(1)through(3),the following must be reported: (A)Spills to surface waters that include one(1)or more of the following: (i)Hazardous substances or extremely hazardous substances when theamount spilled exceeds one hundred(100) pounds or the reportable quantity,whichever is less. (ii)Petroleum of such quantity as to cause a sheen upon the waters. (iii)Objectionable substances as defined in section 4(11)of this rule. (B)Spills to soil beyond the facility boundary that include one(1)or more of the following: (i)Hazardous substances or extremelyhazardous substances when the amount spilled exceeds onehundred(100) pounds or the reportable quantity,whichever is less. (ii)Petroleum when the amount spilled exceeds fifty-five(55)gallons. (iii)Objectionable substances as defined in section 4(11)of this rule. Indiana Administrative Code Page 119 WATER QUALITY STANDARDS (C)Spills to soil within the facility boundary that include one(I)or more of the following: (i)Hazardous substances or extremely hazardous substances when the amount spilled exceeds the reportable quantity. (ii)Petroleum when the spilled amount exceeds one thousand(1,000)gallons. (iii)Objectionable substances as defined in section 4(11)of this rule. (5)Any spill for which a spill response has not been done. (Water Pollution Control Division;327 MC 2-6.1-5;filed Feb 25, 1997. 1:00 p.nt.:20 IR 1732;errata filed Mar 7, 1997, 2:25 p.m.:20 IR 1738;readopted filed Jan 10,2001,3:23 p.nt.:241R 1518;readopted filed Nov 21,2007, 1:16p.m.:20071219-1R- 327070553BFA;readopteditledJul 29,2013,9:21 a.m.:20130828-IR-327130176BFA;filed Nov 10,2014,1:51 p.m.:20141210- IR-327130290FRA) 327 IAC 2-6.1-6 Reportable spills;transportation Authority: IC 13-14-8-7 Affected: IC 13-11-2;IC 13-18-1;IC 13-18-3;IC 13-18-8;IC 13-18-17 Sec.6.The following spills from a mode of transportation must be reported: (1)Spills that damage the waters of the state so as to cause death or acute injury or illness to humans or animals. (2)Spills that damage surface waters. (3)Spills to soil: (A)spills of hazardous substances or extremely hazardous substances when the amount spilled exceeds one hundred (100)pounds or the reportable quantity,whichever is less; (B)spills of petroleum when the amount spilled exceeds fifty-five(55)gallons;or (C)spills of objectionable substances as defined in section 4(11)of this rule. (4)Any spill for which a spill response has not been done. (WaterPollution Control Division;327 IAC 2-6.1-6;filed Feb 25,1997,1:00p.m.:201R 1733;readoptedfiled Jan 10,2001,3:23 p.m.:24 IR 1518;readoptedfiled Nov21,2007,1:16p.m.:20071219-IR-327070553BFA;readoptedfiled Jul 29,2013,9:21 a.nt.: 20130828-IR-327130176BFA) 327 IAC 2-6.1-7 Reportable spills;responsibilities Authority: IC 13-14-8-7 Affected: IC 13-11-2;IC 13-18-1;IC 13-18-3;IC 13-18-8;IC 13-18-17 Sec.7.Any person who operates,controls,or maintains any mode of transportation or facility from which a spill occurs shall, upon discovery of a reportable spill to the soil or surface waters of the state,do the following: (1)Contain the spill,if possible,to prevent additional spilled material from entering the waters of the state. (2)Undertake or cause others to undertake activities needed to accomplish a spill response. (3) As soon as possible, but within two (2) hours of discovery, communicate a spill report to the Department of Environmental Management,Office of Land Quality,Emergency Response Section:Area Code 1-888-233-7745 for in-state calls(toll free),(317)233-7745 for out-of-state calls.If new or updated spill report information becomes known that indicates a significant increase in the likelihood of damage to the waters of the state,the responsible party shall notify the department as soon as possible but within two(2)hours of the time the new or updated information becomes known. (4)Submit to the Indiana Department of Environmental Management,Office of Land Quality,Emergency Response Section (MC 66-30),2525 N.Shadeland Ave.,Suite 100,Indianapolis,IN 46219-1787,a written copy of the spill report if requested in writing by the department. (5)Except from modes of transportation other than pipelines,exercise due diligence and document attempts to notify the following: (A)For spills to surface water that cause damage,the nearest affected downstream water user located within ten(10) miles of the spill and in the state of Indiana;and (B)For spills to soil outside the facility boundary,the affected property owner or owners,operator or operators,or Indiana Administrative Code Page 120 WATER QUALITY STANDARDS occupant or occupants. (Water Pollution Control Division;3271AC 2-6.1-7;filed Feb 25,1997,1:00p.m.:20 IR 1733;readoptedfiled Jan 10,2001,3:23 p.m.: 24 IR 1518; errata filed Feb 6, 2006, 11:15 a.m.: 29 IR 1936; errata filed Oct 20, 2006, 10:08 a.m.: 20061101-1R- 327060497ACA;readopted filed Nov 21,2007, 1:16 p.m.:20071219-IR-327070553BFA;errata filed May 27,2008, 2:06 p.m.: 20080625-IR-327080419ACA;readopted filed Jul 29,2013, 9:21 a.m.:20130828-IR-327130176BFA) 327 IAC 2-6.1-8 Emergency spill response actions Authority: IC 13-14-8-7 Affected: IC 13-11-2;IC 13-18-1;IC 13-18-3;IC 13-18-8;IC 13-18-17 Sec. 8.Notwithstanding any other section of this rule,emergency spill response actions take precedence over reporting requirements,and when emergency spill response activities render spill reporting inconsistent with effective response activities, communication of the spill report to the Indiana department of environmental management maybe delayed.In situations where the spill report is delayed,the burden of proving the need for the delay shall be upon the responsible person. (Water Pollution Control Division;327 IAC 2-6.1-8;filed Feb 25, 1997, 1:00 p.m.:20 IR 1734;readopted filed Jan 10, 2001, 3:23 p.m.:24 IR 1518;readoptedfiled Nov 21,2007,1:16 p.m.:20071219-IR-327070553BFA;readoptedfiledJul29,2013,9:21 a.nr.:20130828- 1R-327130176BFA) 327 IAC 2-6.1-9 Compliance confirmation Authority: IC 13-14-8-7 Affected: IC 13-11-2;IC 13-18-1;IC 13-18-3;IC 13-18-8;IC 13-18-17 Sec.9.When spill reporting and response,as provided for in this rule,has occurred,the department shall,upon request,issue a letter confirming compliance with this rule and stating that no further action is required under this rule.(WaterPollution Control Division;327 IAC 2-6.1-9;filed Feb 25, 1997, 1:00 p.m.:20 IR 1734; readopted filed Jan 10, 2001, 3:23 p.m.:24 IR 1518; readopted filed Nov 21,2007, 1:16p.m.:20071219-IR-327070553BFA;readopted filed Jul 29,2013,9:21 a.m.:20130828-IR- 327130176BFA) Rule 7.Lake Michigan and Contiguous Harbor Areas(Repealed) (Repealed by Water Pollution Control Division;filed Feb 1, 1990,4:30 p.m.:13 IR 1046) Rule 8. Grand Calumet River and Indiana Harbor Ship Canal(Repealed) (Repealed by Water Pollution Control Division;filed Feb 1, 1990,4:30p.m.:13 IR 1046) Rule 9. Natural Spawning, Rearing or Imprinting Areas; Migration Routes for Salmonid Fishes (Repealed) (Repealed by Water Pollution Control Division;filed Feb 1, 1990, 4:30p.m.: 13 IR 1046) Rule 10.Secondary Containment of Aboveground Storage Tanks Containing Hazardous Materials 327 IAC 2-10-1 Purpose Authority: IC 13-18-5 Affected: IC 13-11-2 Sec.1.(a)This rule provides the requirements for secondary containment structures and spill response plans for the purpose of preventing released hazardous materials from entering surface water or ground water at facilities storing liquid hazardous materials in an aboveground storage tank or storage area,or operating a transfer area. (b)The intent of this rule is to provide for short term containment of discharges. 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