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HomeMy Public PortalAboutBOH12.7.22packetW S ;Pee 4( IIQ1 I0 r 01 1 41$eo, < LI,I;v. op Town of Brewster Board of Health 0 '1 0 I 4q* 1 2198 Main St., Brewster, MA 02631 LLL brhealth@brewster-ma.gov 0 Cn P (508) 896-3701 CORP P�kj e 1 1 1 BOARD OF HEALTH MEETING AGENDA 2198 Main Street Board of Health December 7, 2022, at 5*30PM Pursuant to Chapter 20 of the Acts of 2021, this meeting will be conducted in person and via remote means, in accordance with Penny Holeman applicable law. This means that members of the public body may access this meeting in person or via virtual means. In person ----------- attenda.ncewill be atthe meetinq location listed above, and itiS Dossible that any oraIll members ofthe public.body.may nd re ot y.. � *- -I - � � � " " -i IiI � Ii II � i - � - 'I - - I` ai � ' * � ' i * � " - � - - ........... a ...... ptte - . m e.1 Annette Graczewski No in-person attendance of members of the public will be permitted, and public participation in any public hearing conducted during this meeting shall be by remote means only. Members of the public who wish to access the meeting may do so in the following manner: Kimberley Crocker Phone: Call (301)71511,8592 or (312)626,-6799. Webinar ID: 820 4394 4509 Passcode: 979174 Pearson To request to speak: Press *9 and wait to be recognized, Zoom Webinar: hftf)s://us02Web,zoom.usle/82043944509?pwd=M�apM2kvUExKbUI RS0hmM01 Zb3dQZzO D avid B en nett Pass c ode: 97 91 74 . .... .... -To request to speak: Tap Zborn "Raise Hand". then wait to bb"n6cognized, Casey Chatelain When required by law or allowed by the Chair, persons wishing to provide public comment or otherwise participate in the meeting, may do so by accessing the meeting remotely, as noted above, Additionally, the meeting will be broadcast live, in real time, via Live broadcast (Brewster Government TV Channel 18), Livestrearn (livestream.brewster-ma.gov) or Video recording (tv.brewster,-ma.gov) 2. Executive Session — Joint with Select Board Health Director 2624,,,2628 Main Street Amy von Hone Pursuant to G.L. cl 30A, Section 21 (a)(3) to discuss strategy with respect to litigation if an open meeting may have a detrimental effect on the litigating position of the public body and the Assistant Health Chairs so declares that having a discussion in open session would have a detrimental effect on Director the Town's litigating position. Sherrie McCullough 6:30PM.0 Anticipated Start Time of Open Session 3. Chairman's announcements Senior Department 4. Citizen's forum: Members of the public may address the Board of Health on matters not on the meeting Assistant agenda for a maximum 3-5 minutes at the Chair's discretion. Under Open Meeting Law, the Board of Tammi Mason Health is unable to reply but may add items presented to a future agenda 5. Update on Proposed Title 5 Revisions by Mark Nelson & David Bennett 6. Fee Waiver request for 212 Yankee Drive Septic Inspection 7. Discuss & vote on draft Pressure Dosed System Operation & Maintenance Requirements letter 8a Liaison Reports 9. Matters not reasonably anticipated by the Chair 10. Items for next agenda 110 Next meeting: December 21, 2022 122 Informational items: a. Information on Delta,,8. THC or DeltaA 0 THC from MAHB & Discussion notes be Monthly report for Town of Brewster property (Formerly CCSC) ce Immediate Response Action Status Report 11 for 45o Gulls Way dt Monthly report for Serenity e. Monthly report for Maplewood f, Water Quality Sampling Schedule for Brewster Water Department 91 Water Quality Sampling Schedule for Sweetwater Forest he Water Quality Sampling Schedule for Camp Favorite i, Water Quality Sampling Schedule for Camp Mitton J9 Article-, "Thousands of Cape Cod homeowners may need to replace septic systems under new, state regulations k, Article from Ripples newsletter — "Does Brewster Have a Plan 13. Adjournment Date Posted: Date Revised: Received by town cf�� 4, 12/2/2022 N:\Health\BOH Agendas and Minutes and Remote Schedulc\BOH Agendas\Dec222a.docx ze 0�11*ej 'e' Horsley Witten Group Sustainable Environmental Solutions MEMORANDUM To: Brewster Water Resources Task Force From: Mark Nelson, Principal Date: November 23, 2022 90 Roule 6A • Unft 1 • Sandv�lch, MA 02563 508-8335600 • horsleyvrHten.com Re: Overview of Proposed Changes to The Title 5 Regulations to Promote Watershed Permits to Restore Estuarine Water Quality on Cape Cod The Massachusetts Department of Environmental Protection (DEP) is proposing changes to the State Environmental Code Title 5 (310 CMR 15.00) and the creation of new watershed permit regulations (314 CMR 21.00). The new regulations apply to the municipalities on Cape Cod and are designed to encourage towns to establish watershed permits for the restoration of the Cape's coastal estuaries. Copies of the proposed changes to Title 5 and the new watershed permit regulations are attached. A brief summary of the changes is provided below followed by a series of comments and questions about the regulations to promote discussion on what issues the Town wants to raise with DEP during the current public comment process that ends on December 16, 2022. Proposed Changes to Title 5 The current version of Title 5 established nitrogen sensitive areas for properties within Zone II wellhead protection areas and for properties served by both a private well and a septic system. These properties must size their septic system to meet a 440 gallon per day per acre threshold. The new regulations maintain these requirements but also add a section on Natural Resource Areas that represent the watersheds to coastal estuaries where water quality improvements are needed. This includes most of the coastal estuaries on Cape Cod and southeast Massachusetts with the potential to add additional locations as information is gathered that indicates that nitrogen management is needed. The attached figure from DEP shows the watershed areas that would currently be affected by this new regulation. For these new Natural Resource Areas, the draft regulation requires that advanced innovative septic systems be installed on all properties using septic systems and all new construction in watersheds covered by the regulation within 5 years of the effective date of the regulation, or within 5 years of any new watershed designations. The installation of these systems is not required if a town or a group of towns apply for a watershed permit that provides other strategies to manage water quality within the watershed. Such a permit would be similar to the Pleasant Bay watershed permit agreed to by DEP and the four watershed towns including Brewster, Chatham, Harwich and Orleans. HorsleyWitten.com 91 @HorsleyWittenGroup ® Horsley Witten Group, Inc. Brewster Water Resources Task Force November 23, 2022 Page2of3 Proposed Watershed Permit Regulations The proposed regulations describe the process that DEP will use to review and approve proposed watershed permits and also update or renew them over time. A permit must be based on a watershed plan or similar document that describes the water quality improvements that are needed for a particular watershed. A permit can be issued to one town for its portion of a watershed, or two or more towns can apply for one permit provided they set up an intermunicipal agreement that describes how they will work together. The agreement must document how the permit holders will remove 75% nutrient load reduction that must be managed to restore water quality in the estuary. This 75% reduction must be met within a 20 - year timeframe. The permit application and implementation processes are very similar to those developed for the Pleasant Bay watershed permit. They allow the permit holders to update the permit over time as new information is developed or new technologies or nutrient management strategies are developed that could further improve water quality or reduce the implementation costs to each permit compliance. Implications for Brewster The proposed regulations will impact land use and permitting decisions for portions of Brewster located within Herring River, Bass River, and Swan Pond watersheds. Because a watershed permit has been issued for Pleasant Bay there will be no need to install advanced onsite systems within the 5 -year timeframe unless the town finds this is a valid option for meeting the requirements of the existing permit. For the Herring River watershed, the Massachusetts Estuaries Project report prepared for DEP states that no nitrogen management is needed for BIUVV0 U1' current state of development. However, for any future development, the nitrogen load must be offset to prevent any increase in the load entering the estuary. An assessment of the overall buildout load for this watershed is needed to confirm the scale of this issue. For Bass River and Swan Pond, the watershed areas in Brewster are quite small with only a few septic systems (if any) impacting water quality. Once this information is developed, Brewster can decide how best to move forward if the new regulations are enacted. Should the town participate with neighboring towns to develop a permit for these three watersheds or develop a separate permit for Brewster's portion of the watershed? Or should the town rely on advance onsite septic systems for managing these watersheds? Comments on the Proposed Regulations Installing advanced onsite treatment systems throughout a watershed within five years would be a significant challenge for Towns and property owners. This issue has been raised in past discussions between DEP and the Pleasant Bay Alliance, with concerns expressed about the availability of engineers and contractors to design and construct septic system upgrades for an entire watershed within a 5 year timeframe. DEP has specifically requested input on this timing issue (see attached Notice to Reviewers for the information requested by DEP). Input and H:\Projects\2011\11109 Brewster Int.Wtr.Res.Mgt Plan\11109K & M 2021 IWRMP\Title 5 reg review\Review of Title 5 Reg Changes.docx Brewster Water Resources Task Force November 23, 2022 Page 3 of 3 discussion on this timing issue from the Water Resources Task Force would be useful. The following should be considered: Should DEP allow ten years for systems to be constructed or allow for the phasing of their construction to show that the process is moving forward? A similar phasing approach is allowed if a watershed permit is approved to eliminate the need for installing the advanced onsite systems. For the Herring River watershed, Brewster could enter an agreement with Harwich to manage the impacts of buildout within Brewster. Brewster could also apply for its own permit for this watershed. Overall, Brewster needs to prevent additional nitrogen loading to the watershed, which does not require as much planning or engineering work as was done for the Pleasant Bay watershed. It would be helpful to discuss options for a simpler permitting for this type of watershed. • The small land areas in Brewster located within the Bass River and Swan Pond watersheds raise an issue about the level of detail a town must include in a permit application if only a few homes are located within the watershed. For example should Brewster enter into a 20 year agreement with Yarmouth and Dennis for a Bass River Watershed Permit if little or no nitrogen management is needed in Brewster's portion of the watershed? Could DEP allow a simplified permit for a Town that only manages a small percentage of the watershed? H:\Projects\2011\11109 Brewster Int.Wtr.Res.Mgt Plan\11109K & M 2021 IWRMP\Title 5 reg review\Review of Title 5 Reg Changes.docx � } � § � # m § J � � § . § - E § , - \{E ru § k (k¥\ \} } @@ 04 o Lmk Q \ - -U\/ .2 - - 2 U > { - _ \)\ k\\ /c_ 2 e �: _ 5: OE 46©w! aMM , mw H @ ' 2 E % _ - @ o c m )� \M_{ M /\\ / k :3 mmEm 0c0_ c iQ/. U 2 \ :/�}\\\\¥ - !§»! 2 ; \))/\�§t} :{\${ )\k ){( )\\\ r \ § 22: E1 E§■ §\§\\ �...i @ \\ � 7� Town of Brewster 2198 MAIN STREET BREWSTER, MASSACHUSETTS 02631-1898 PHONE: 508.896.3701 EXT. 1120 FAX: 508.896.4538 brhealth@brewster-ma.gov W W W.BREW STER-MA.GOV To: Board of Health Re: 212 Yankee Drive, Affordable Home Health Department Amy L. von Hone, R.S., C.H.O. Director Sherrie McCullough, R.S. Assistant Director Tammi Mason Senior Department Assistant Jill Scalise, Housing Coordinator for the Town of Brewster is requesting a fee waiver for the septic inspection at 212 Yankee Drive. The fee is $25. Most recently, the Board approved fee waivers for Habitat for Humanity for their Disposal Works Construction permits and perc fees which totaled roughly $415. Town of Brewster Illi2198 Main Street Fax, (508) 896111,8089 toll 11 Brewster, MA 0263111111898 Ito Phone,p (508) 896"3701, ext.1169 November 179 2022 Boaxd of Health 2198 Main Street Brewster, MA 02631 RE: Fee waiver request for 212 Yankee Drive septic inspection review Dear Board of Health, Office of: Housing The Housing Office, working with the Affordable Housing Trust, would like to request a fee waiver for the review of the septic inspection of 212 Yankee DrIt ive. This residential property is owned by the Town and currently under the care, custody, and control of the Affordable Housing Trust. 212 Yankee Drive is a vacant, water damaged, affordable home on the Town's Subsidized Housing Inventory (S 1), The Trust is in the process of rehabilitating the home to convey it to a qualified affordable buyer. The Trust is using a combination of Community Preservation Act grant funds and additional Housing Trust funds to complete the preservation, rehabilitation, and resale of the property. As part of this project, the Trust has engaged Joe Martins of Accu Sepcheck to perform a septic inspection on November 23, 2021 It is requested that the Board of Health waive the fees for the review of the November 2022 septic inspection for this affordable pxopexry. Please feel free to contact me with any questions. Thank you for your time and consideration. Sincerelty, L /> CaJ..�-- Scalise Housing Coordinator CC: Tim Hackert, Chair, Brewster Affordable Housing Trust Donna Kalinick, Assistant Town Administrator D R r� W $ '�i�i1 s4�� F�OnpoftA� g FS. 19, Town of Brewster 2198 MAIN STREET BREWSTER, MASSACHUSETTS 026314898 PHONE: 508.896.3701 EXT. 1120 FAX: 508.896.4538 brheaIth cz)bre)yster ... ma q_v W W W.BREW STER-MA. GOV I/A and Pressure Dose Discussion Summary November 16, 2022 BOH Meeting Health Department Amy L. von Hone, R.S., C.H.O. Director Sherrie McCullough, R.S. Assistant Director Tammi Mason Senior Department Assistant Pressure Dose Systems: BOH Chair Graczewski provided summary of recent meeting with George Heufelder and staff of MASSTC regarding pressure dosed systems, Title 5 mandated inspections, and capacity for County ►/A Database to track Brewster's pressure dosed systems. County does have the capacity to include oversight of pressure dosed system inspections and there would be a registration fee ($50/system) similar to the I/A systems. George Heufelder expressed his personal opinion that the cost of the inspections and the effort required to monitor inspections outweighed the benefit of the inspections. Health Director von Hone added that pressure dosed system failures are typically discovered quickly due to the nature of how they function. Sewage overflow becomes evident either through a backup into the building structure or breakout onto the ground surface forcing the system owners to remediate the failure quickly. Several members expressed their opinion that there was a benefit to yearly/quarterly inspections as mandated by Title 5 Regulations. Additionally, this issue provided an opportunity to educate the public about their pressure dosed systems. - Average costs for inspections: residential=$500+/-, commercial=$500-$750+/-. - The majority of the BOH members agreed to review a draft letter to be authored by Member Bennett on behalf of the BOH and sent to pressure dosed system owners regarding outreach and education on benefits of maintaining their systems, and operation and maintenance requirements per Title 5 regulations. Pressure dosed systems to be discussed by the BOH as a good alternative in environmentally sensitive areas i.e. within 300' of a pond. I/A Technology: - BOH Chair Graczewski explained her research on the current Health Department list of properties serviced by I/A systems compared to the number of properties listed on the County I/A database. There is a discrepancy between the two lists which the Chair volunteered to research and reconcile. An updated list needs to be generated before the Board and Health Department staff can start the process of enforcement of the Brewster I/A systems that are currently out of compliance. N:\Health\BOH Packets\12.07.22\BOH Hearing Notes 12.07.22.docx - 1 - BOH Chair offered a suggestion to use the list of addresses received on a monthly basis from the County database as a starting point for generating a list of noncompliant I/A systems. The majority of members supported the use of the monthly lists for prioritizing enforcement for noncompliance. The Board discussed the availability of reference maps that delineate the watersheds and the individual lots in Brewster. Member Pearson stated the Cape Cod Commission MVP Watershed Map WatershedMVP I Cape Cod Commission provides that information and is readily available through their website. Recommendations suggested for enforcement of noncompliant I/A systems: o Prioritize list of violation systems i.e. systems in DCPC, Zone IIs, within 300' of freshwater ponds o Member Holeman and Chair Graczewski offered to research Health Department files for the history of the I/A system to determine the conditions of the original approval. o Member Bennett offered to create a flow chart for research purposes. He suggested restricting the look back period to two years for noncompliant laboratory data, and the focus for enforcement should be the worst performing systems. Brewster I/A Monitoring Regulation: A copy of the Falmouth I/A supplemental regulations was provided to the Board for review. The Falmouth regulations also provide thresholds for tiered mitigation measures when septic systems cannot meet the minimum setbacks i.e. separation distances to wetlands. Revisions to be discussed in the Brewster regulation: o Current fines of $30, $60, $90, and $120 is not strict enough to encourage compliance with the system owners o Lab results to be submitted within 15 days of monitoring events is not reasonable due to limited capacity of available certified laboratories. o Future I/A approval conditions need to include sampling of the sewage influent to determine if the I/A system is performing to the approved standards. Effluent results may be above the recommended limits because the influent nutrient load is higher than normal and not a result of the system not functioning properly. N:\Health\BOH Packets\12.07.22\BOH Hearing Notes 12,07.22.docx - 2 - DRAFT OF PUBLIC OUTREACH FOR OWNERS Or PRESSURE DOSED SEPTIC SYSTEMS Name Address RE: Public Outreach and Education Pressure Dosing/Distribution Soil Absorption Systems Operation and Maintenance Requirements and Benefits Dear Property Owner, The Brewster Board of Health is working on the implementation of the Comprehensive Wastewater Management Plan for the protection of our surface and groundwater resources in the interest of public health, safety and welfare of the residents of Brewster. Cape Cod is a Sole Source Aquifer as meaning we drink the same water which stormwater, grey water, industrial wastewater, and sewage is discharged. Although the earth has the natural capacity to filter and treat such water to a meet drinking water standards with proper separation to wells, data shows increased impairment with growth. As such, we need to consider existing regulations and develop better treatment systems and infrastructure to protect and sustain this most valuable resource. You, as owner of a pressure dosed septic system, have a type of system that is designed to benefit the treatment of sewage and increase the longevity of the system by optimizing hydraulic loading across the entire area of the leaching field. Such an electro -mechanical system however, requires periodic inspection and maintenance like any other and is required of the owner within the governing Title V Sanitary Code regulations under 310 CMR 15.254(2)(d) [excerpted and attached]. As such, please have your provider copy the Brewster Health Department on the last inspection conducted and all such future inspections as benefiting the longevity and function of your septic system. Thank you. Sincerely, Brewster BOH/BHD Amy or Anette Encl. Title V 310 CMR 15.254 (excerpt) List of Septic Inspectors/Wastewater Treatment Operators Public Information for Septic System Owners: https://www.mass.gov/guides/caring-for-your-septic-system 3I0 CMR: DEPARTMENT OF ENVIRONMENTAL PROTECTION 15.254: Pressure Dosing and Pressure Distribution (1) Gravity Distribution. (a) Dosing systems employing gravity distribution to the soil absorption system shall be restricted to systems designed to accept less than 2,000 gpd. (b) The dosing chamber and pumps shall be designed in accordance with 310 CMR 15.231. (c) Distribution lines to the soil absorption system shall have a minimum diameter of two inches and shall otherwise be in conformance with the provisions of 310 CMR 15.251(Trenches). (d) Septic tank effluent shall be dosed to the soil absorption system at a rate based on volume and number of doses that prevent the ponding of the effluent in the soil absorption system. (2) Pressure Distribution. (a) Pressure distribution of septic tank/recirculating sand filter effluent to the soil absorption system shall be required for: a system to serve a facility with a design flow of 2,000 gpd or greater; a system that is not designed to discharge by gravity either from the septic tank or to the soil absorption system; a system designed for intermittent discharge of effluent to the soil absorption system; and a system with a multiple soil absorption system, unless otherwise determined in writing by the Approving Authority. (b) The pumping chamber and pumps shall be designed in accordance with 310 CMR 15.231. (c) The pressure distribution system shall be designed in accordance with Department guidance. (d) Pumps, alarms and other equipment requiring periodic or routine inspection and maintenance shall be operated, inspected and maintained in accordance with the manufacturer's and the designer's specifications. In no instance shall inspection be performed less frequently than once every three months for a system serving a facility with a design flow of 2,000 gallons per day or greater and annually for a system serving a facility with a design flow of less than 2,000 gallons per day. The system owner shall submit the results of such inspections to the Approving Authority annually by January 31" of each year for the previous calendar year. 15.255: Construction in Fill (1) Any system where fill is required to replace topsoil, peat or other unsuitable or impervious soil layer above the requisite four feet of naturally occurring pervious material is a system constructed in fill. Any system constructed in fill which extends either wholly or partially above natural grade for the purpose of complying with 310 CMR 15.212 (depth to groundwater) is a mounded system. All soil absorption systems constructed in fill shall be sized using the soil class of the underlying naturally occurring pervious material. (2) The finished side slopes of a mounded system shall not be steeper than 3:1 (horizontal:vertical). A minimum 15 foot horizontal separation distance shall be provided between the soil absorption area and the adjacent side slope as measured from the edge of the top of the two inch layer of Ya to''/z inch washed stone aggregate or geotextile fabric cover. The toe of the slope shall be a minimum of five feet from any property line, or a swale or other drainage system directing runoff away from the adjacent property shall be installed. Adjustments to the above horizontal separation may be allowed if a suitable impervious barrier is installed to prevent potential sewage breakout. The impervious barrier shall meet the following requirements: (a) the impervious barrier shall be designed by a Massachusetts Registered Sanitarian or a Massachusetts Registered Professional Engineer. (b) construction of the impervious barrier shall be supervised by the designer. (c) prior to issuance of a Certificate of Compliance, the applicant shall submit to the Approving Authority an as -built plan prepared and certified by the designer that the impervious barrier has been constructed in accordance with the approved design plan. (d) the elevation of the top of the impervious barrier shall be no lower than the "breakout" elevation, which is the elevation of the top of the two inch layer of r/a inch to %i inch washed stone aggregate cover. (e) the recommended distance from the impervious barrier to the edge of the soil absorption system closest to the barrier should be at least ten feet. Effective 9!9/2016 TOWN OF IS EWSTER 2198 MAIN STREET BREWSTER, MA 02631 PIIONF.: (508) 896-3701 Ex"r 1120 FAX: (508)896-4538 BRHEALTH C[ BREWSTFR-MA.GOV LOCAL REGULATION TO SUPPLEMENT TITLE 5 STATE ENVIRONMENTAL CODE MONITORING OF INNOVATIVE/ALTERNATIVE ON-SITE SEWAGE TREATMENT SYSTEMS OFFICE OF HEAL"1'H DEPARTMENT 1. Authority — In considering the permitting and use of various alternative septic treatment technologies in the Town of Brewster, the Brewster Board of Health recognizes that there may be specific local circumstances which warrant the Board to require more stringent conditions for the installation and monitoring of these alternative systems than may be required by the Massachusetts Department of Environmental Protection. As allowed under Massachusetts General Laws, Chapter 111, Section 31 and as permitted by 310 CMR 15.003 (3), 15.285 (2), 15.286 (5) and 15.288 (4), the Brewster Board of Health hereby adopts the following regulations concerning all innovative/alternative sewage treatment technologies and all systems where the soil absorption system is designed for pressure distribution of effluent. 2. Purpose —The purpose of this regulation is to provide a greater degree of protection to environmental and public health, to protect groundwater from contamination, prevent the spread of disease and provide specific reporting and monitoring requirement for the use of innovative/alternative sewage treatment technologies and pressure -distribution systems. 3. Monitoring Requirement —The Brewster Board of Health hereby requires that all pwners and operators of innovative/alternative sewage treatment technologies and pressure -distribution systems approved for use in Brewster submit for approval to the Board of Health a proposed monitoring and reporting plan to evaluate the performance of the system. This plan shall include a description of any long-term operation or maintenance requirements of the alternative system and any education, financial assurance or other mechanism proposed to ensure effective long-term operation and maintenance. 4. Reporting of Monitoring and Maintenance Results —The Brewster Board of Health hereby requires that owners and operators of all innovative/alternative sewage treatment and pressure -distribution systems shall report the results of all operation, maintenance and monitoring activities required by the foregoing provision or by the Department of Environmental Protection to the Brewster Board through the Barnstable County Department of Health and Environment. Such reporting must be performed in the manner specified by the Board of Health in imposing the monitoring requirement or in the form approved by the Barnstable County Department of Health and Environment and must occur within 15 days after each maintenance or monitoring event. 5. Reporting of Malfunctioning Systems The Board of Health hereby further requires that when a system operator performs a system inspection and finds that a sewage treatment technology has malfunctioning components which have comprised the system's ability to treat sewage as designed, the operator shall report on the system's status and any planned corrective action, including a proposed deadline WWW.BREWSTER-MA.GOV Amy von Hone From: Sent: To: Cc: Subject: Hey Dave, Osei, Andrew (DEP) <andrew.osei@state.ma.us> Monday, November 28, 2022 11:33 AM dave bennett Amy von Hone RE: Qualifications for Pressure Dosing Inspections Under 310 CMR 15.254 The section of Title 5, 15.340 Approval of System Inspectors applies to pressure distribution system with respect to qualifications for a System Inspector. It includes both a P.E. and a Massachusetts Registered Sanitarian. Thanks Drew Osei, P.E. -Environmental Engineer Wastewater Management - Cape & Islands MassDEP 20 Riverside Drive Lakeville, MA 02347 (508) 946-2869 (Office) (857) 383-7042 (Mobile) Andrew.Osei@mass.eov � LMassDEP From: dave bennett <dcbennett54@yahoo.com> Sent: Friday, November 25, 2022 4:39 PM To: Osei, Andrew (DEP) <andrew.osei@mass.gov> Cc: Amy Von Hone <avonhone@brewster-ma.gov> Subject: Qualifications for Pressure Dosing Inspections Under 310 CMR 15.254 CAUTION: This email originated from a sender outside of the Commonwealth of Massachusetts mail system. Do not click on links or open attachments unless you recognize the sender and know the content is safe. Dear Andrew, In my capacity as a member of the Brewster Board of Health, a question has risen on the necessary qualifications for a person inspecting pressure distributions systems under the provisions of the Title V requirements set forth in 310 CMR 15.254(2)(d). Would this fall under a Septic Inspector, Sanitarian/Engineer or WW Operator (grade level)> I would appreciate your consideration of this question and reply for anticipated outreach to system owners. Thank you. Respectfully, David Bennett PRESSURE DISTRIBUTION SYSTEMS 4 Alden Drive M 56 L 89 Bay Pines System 9(Ocean Edge) 941 Breakwater Road - M17 L67 141 Brewster Road, M24 L45 94 Cedar Hill Road - M2 L35 19 Cedar Hill Road - M2 L52 102 Cedar Hill Road - M2 L34 40 Cranview Road - M38 L74 46 Featherbed Lane - M38 L36 121 Fiddlers Lane, M18 L55 169 Fiddlers Lane - M18 L38 Fletcher Village System 2-1(Ocean Edge) 11 Frederick Court M56 L67 1000 Freeman's Way - M52 L6 Granite State Court - M301,30-7 199 Hamilton Cartwy-M47 1334 62 Harvest Lane - M5 L238 John Wings Lane - M36 L204 42 Konohassett Cartway - M41 L11 1646 Main Street M24 L21 1671 Main Street 2639 Main Street M15 L107 2639 Main Street M15 L107 (CF) 3260 Main Street - M13 L434 & 2 89 Main Street - M21 L4 1990 Main Street, M17 L47-1 1993 Main Street, M17 L24 2298 Main Street, M16 L80 3057 Main Street, M8 L8 3057 Main Street, M8 L8 523 Main 5treet-M22 L94 Lot 6 Mill Pond Drive - M34 L48 119 North Pond Drive - M 89 L61 254 Robbins Hill Road - M2 L12 255 Robbins Hill Road- M19 L3-3 371 Robbins Hill Road - M2 L32 242 Seaway Road -M6 L24 53 Sheep Pond Circle - M41 L71 42 Six Penny Lane -M19 L10 & 12 56 Six Penny Lane -M19 L67 157 South Orleans Road -M52 1,314 36 Southern Eagle Cartway M30 L184 Stony Brook.Rood, M22 L83 842 Stony Brook Road -M36 L20 102 Susan Lane -M24 L4044 90 The Channel Way - M4 L384 93The Channel Way- M4 L48 57 The Channel Way- M17 L7 The Latham 5chool-M24 L21 (2010) 2003) Brewster Senior Housing (2009) (2012) (2017) (2018) (not installed yet) (2013) (2009) (2015) (Not installed yet) ????? (2018) (2012) (2015) (not installed yet) (2006) (2008) (2016) (Not installed yet) (2008) (2015)(Not installed yet) (2017) (Not installed yet) (2017) (Not installed yet) (2017) (Not installed yet) (2007) Cobies (2008) (2015) (Not installed yet) (2005) The Brewster Inn (1995) Eddy Elementary School (2005) Cape Cod Sea Camps (2009) Cape Cod Sea Camps (2006) (2017) (not installed yet) (2019) (not installed yet) (2017) (2014) (2011) (2006) (2013) (2006) (2016) (not installed yet) (2007) Paraclete Press (2002) Our Lady of the Cape Church (2007) (2006) (2008) (2013) (2008) (2005) Assisting Massachusetts Boards of Health through training, technical assistance and legal education Massachusetts Association of Health Boards Cheryl Sbarra, J.D. Executive Director and Senior Staff Attorney vrvvw.mahb.orl� sbarra@mahb.org This information is provided for legal educational purposes only. It is not to be construed as legal advice. For legal advice, please contact your own attorney. Hemp -Derived Synthetic Cannabis Products containing Delta -8 THC or Delta -10 THC cannot be sold or -- - - - manuactured In assaC n ems. -__—_-- 1. The Massachusetts Department of Agricultural Resources (MDAR) is the agency that regulates hemp; and MDAR has deemed that selling or processing hemp -derived Delta -8 (THC)1 products is illegal. Because delta -8 is not naturally occurring in hemp (except for possible trace amounts), to produce delta -8 in commercial quantities it must be derived from hemp synthetically. While the Farm Bill did removed hemp from the Controlled Substances Act, it did not impact the control status of synthetically derived cannabinoids, thus delta -8 THC remains a controlled substance, regardless of the source. As a result, we do not allow hemp -derived Delta -8 products to be processed or sold in Massachusetts? (Emphasis added). 2. The Massachusetts Department of Public Health (DPH) is the agency thatregulates food pursuant to 105 CMR 500. The food code requires that all edible products must be from approved food sources that comply with federal, state, and local regulations and must not contain any prohibited ingredients. Federal law prohibits the addition of CBD (hemp -derived cannabidiol products) in food because it is not an approved food source. Therefore, any edible product that contains hemp -derived Delta -8 and/or Delta -10 cannot be manufactured or sold in Massachusetts. 3. Massachusetts law bans the sale of all flavored tobacco products except in state -licensed smoking bars for onsite consumption only a The definition of tobacco products includes "electronic cigarettes, electronic cigars, electronic pipes, electronic nicotine delivery systems or any other similar products that rely on vaporization or aerosolization regardless of nicotine in the product." s Therefore, all flavored vaping products, including hemp -derived THC vaping products with Delta -8 and Delta -10 are prohibited. Discussion ' Because Delta -10 is also a synthetically manufactured THC hemp -derived product, MDAR's legal position on Delta 8 would similarly apply to Delta -10. Z https•//www mass.gov/guides/hemp-in-massa chusetts-fags#-is-it-legal-to-manUfa cture-delta-8-thc-from-hemp?- s 105 CMR 500, 4 Id. 'Ids While adult -use marijuana, also known as cannabis, is legal in Massachusetts, products containing Delta -8 THC and/or Delta -10 THC are not. Cannabis is a mixture of the dried flowers from the Cannabis sativa plant. The psychoactive (mind -altering) chemical in marijuana, responsible for most of the intoxicating effects is the naturally occurring Delta -9 tetrahydrocannabinol (Delta -9 THC). Delta -9 THC is found in the resin from the leaves and buds mainly from the female plant .6 Delta -9 (THC) is the active ingredient which passes from the lungs into the bloodstream, and eventually throughout the body into the brain's receptors which influence pleasure, memory, sensory and time perception.7 The Marijuana plant also contains more than 500 other chemicals, 100 of which are other cannabinoids (CBD), including Delta -8 and Delta -10. Cannabinoids are "isomers" of Delta -9, meaning they are made of the same .. atoms, but arranged differently. The Marijuana plant contains miniscule amounts of naturally occurring Delta4 and Delta40 cannabinoids. Notwithstanding Massachusetts state law legalizing it, marijuana is still illegal pursuant to federal law. The Controlled -Substance A6t-1ists marijuana as a Schedule I controlled substance.-Othec-substances on the list-.__ include heroin and ecstasy$. The 2018 Farm Act removed hemp from the definition of marijuana. However, since Delta -8 and Delta -9 are only present in the marijuana plant in miniscule amounts, products containing these types of THC must be synthetically manufactured by converting hemp -derived cannabidiol (CBD) into highly concentrated THC. Since these Delta products are synthetically manufactured, they are considered Schedule I controlled substances and remain on the Federal Drug Enforcement Agency list of controlled substances.9 This information is provided for legal educational purposes only. It is not to be construed as legal advice. For legal advice, please contact your own attorney. - e https://nida.riih.gov/publications/research-reports/marijuana/what-marijuana Id. ° 21 USC §812. 9 See, Drug Enforcement Admin., Implementation of Agricultural Improvement Act of 2018, 85 Fed. Reg. 51,639, 51,641 (2020). Assisting Massachusetts Boards of Health through training, technical assistance and legal education Massachusetts Association of Health Boards Cheryl Sbarra, J.D. Executive Director and Senior Staff Attorney www.mahb.= Sbarra e mahb.org This information is provided for legal educational purposes only. It is not to be construed as legal advice. For legal advice, please contact your own attorney. _ _ _ __ Hemp -Derived Synthetic_Cannabis Products_containingbelta-8 THC or Delta-lO-THC cannot be sold or - -- manufactured in Massachusetts. 1. The Massachusetts Department of Agricultural Resources (MDAR) is the agency that regulates hemp; and MDAR has deemed that selling or processing hemp -derived Delta -8 (THC)1 products is illegal. Because delta -8 is not naturally occurring in hemp (except for possible trace amounts), to produce delta -8 in commercial quantities it must be derived from hemp synthetically. While the Farm Bill did removed hemp from the Controlled Substances Act, it did not impact the control status of synthetically derived cannabinoids, thus delta4 THC remains a controlled substance, regardless of the source. As a result, we do not allow hemp -derived Delta -8 products to be processed or sold in Massachusetts? (Emphasis added). 2. The Massachusetts Department of Public Health (DPH) is the agency that regulates food pursuant to 105 CMR 500. The food code requires that all edible products must be from approved food sources that comply with federal, state, and local regulations and must not contain any prohibited ingredients. Federal law prohibits the addition of CBD (hemp -derived cannabidiol products) in food because it is not an approved food source. Therefore, any edible product that contains hemp -derived Delta -8 and/or Delta40 cannot be manufactured or sold in Massachusetts 03 3. Massachusetts law bans the sale of all flavored tobacco products except in state -licensed smoking bars foI onsite consumption onlyy a The definition of tobacco products includes "electronic cigarettes, electronic cigars, electronic pipes, electronic nicotine delivery systems or any other similar products that rely on vaporization or aerosolization regardless of nicotine in the product." s Therefore, all flavored vaping products, including hemp -derived THC vaping products with Delta -8 and Delta -10 are prohibited. 1 Because Delta -10 is also a synthetically manufactured THC hemp -derived product, MDAR's legal position on Delta 8 would similarly apply to Delta -10. z https•//www.mass.gov/guides/hemp-in-massa chusetts-fags#-is-it-legal-to-manUfa cture-delta -8-thc-from-hemp? a 105 CMR 500. a Id. s Id. d eba COASTAL engineering co. TECHNICAL SERVICES 260 Cranberry Highway Orleans, MA O2653 508.255,6511 P 508255.6700 F Orleans I Sandwich I Nantucket coastalengineeringcompany.com To: Brewster Town Hall Board of Health Department 2198 Main St Brewster, MA 02631 Subject: Cape Cod Sea Camps 3057 Main Street Brewster, MA GWDP 977-O Plans � Copy of Letter Weare sending the following items: TRANSMITTAL BRLV`vr, I -i< i :i-HLI H DEPAR ib'1LNT Date: Specifications 11/15/2022 Project No. C16845.07 ®1st Class Mail Pick up Certified Fed Ex ® Other These are transmitted as checked below: for approval ®for your use Flas requested for review 6 comment Remarks: Enclosed are the recent monthly reporting forms for the system at the above referenced location under GWDP 977-0. The laundry mat has been shut down since the camp has been closed. No flow or pH was able to be recorded and the distribution box was not sampled. Please do not hesitate to contact us if you have any questions or comments. JGS/acc By: John G. Schnaible Cc: plombardi(a�brewster-ma.gov �=.L.11 f11(1V -Z NOTE: If enclosures are not as noted, please contact us at (508) 255-6511 D:\DOC\C16800\16845.07 - No Physical Folder\Transmittals\2022-11-15 Transmittal (GWDP 202Z).doc Orleans I Sandwich I Nantucket Date 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 f'U 21 22 23 24 25 26 27 28 29 30 31 Massachusetts Department of Environmental Protection Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit DAILY LOG SHEET C. Daily Readings/Analysis Information Effluent Reuse Irrigation Turbidity Influent pH Flow GPD Flow GPD Flow GPD NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS IS NS NS NS NS NS NS C gdpols.doc •rev. 09/15/15 1. Permit Number 2. Tax identification Number 2022 OCT DAILY 3. Sampling Month & Frequency Effluent pl Chlorine Residual (mg/1) w Intensity Groundwater Permit Daily Log Sheet •Page 1 of 1 Massachusetts Department of Environmental Protection 19 Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit MONITORING WELL DATA REPORT C. Contaminant Analysis Information • For "0", below detection limit, less than (<) value, or not detected, enter "ND" • TNTC = too numerous to count. (Fecal results only) • NS = Not Sampled • DRY = Not enough water in well to sample. Parameter/Contaminant LAUNDRYEFFL Units Well #: 1 TSS NS MGI OIL 8 GREASE NS MG/L FOAMING AGENTS (MBAs) NS MG/L 1. Permit Number 2. Tax identification Number 2022 OCT MONTHLY 3. Sampling Month & Frequency Well #: 2 Well #: 3 Well #: 4 Well #: 5 Well #: 6 mwdgwp-blank.doc •rev. 09/15/15 Monitoring Well Data for Groundwater Permit •Page 1 of 1 11/15/22, 11:48 AM } I — MassDEP's Online Filing System Receipt eDEP - MassDEP's OnlineFiling System MassDEP Home i Contact i Privacy POlicy Username:CASDMR Nickname: COASTAL260 "fir' - I Forms Signature Receipt Summary/Receipt print receipt Exit Your submission is complete. Thank you for using DEP's online reporting system. You can select "My eDEP" to see a list of your transactions. DEP Transaction ID: 1446210 Date and Time Submitted: 11/15/2022 11:46:45 AM Other Email: DEP Transaction ID: 1446210 Date and Time Submitted: 11/15/2022 11:46:45 AM Other Email: DEP Transaction ID: 1446210 Date and Time Submitted: 11/15/2022 11:46:45 AM Other Email: Form Name: Groundwater Discharge Monitoring Report Forms Facility Information: Tax Identification Number: 043070847 location: 3057 MAIN STREET Address: BREWSTER ZIP: 02631 Daily Log Sheet(2022 OCT DAILY) Form Name: Groundwater Discharge Monitoring Report Forms Facility Information: Tax Identification Number: 043070847 location: 3057 MAIN STREET Address: BREWSTER ZIP: 02631 Monitoring Well Data Report(1 - 2022 Oct Monthly) Form Name: Comments My eDEP MassDEP Home � Contact � Privacy Policy MassDEP's Online Filing System ver.16.2.0.0© 2022 MassDEP https://edep.dep.mass.gov/eDEP/Pages/PrintReceipt.aspx 1/1 BENNETT ENVIRONMENTAL ASSOCIATES, LLC. A NATURAL SYSTEMS UTILITIES COMPANY LICENSED SITE PROFESSIONALS *ENVIRONMENTAL SCIENTISTS * GEOLOGISTS * ENGINEERS 1573 Main Street, Brewster, MA 02631 * 508-896-1706 * Fax 508-896-5106 * www.bennett-ea.eom LETTER OF TRANSMITTAL TO: DATE: Ray Reimold, Case Officer MA DEPART. OF.ENVIRONMENTAL PROTECTION Southeast Regional Office (SERO) Emergency Response Section / BWSC 20 Riverside Drive Lakeville, MA 02347 SHIPPING METHOD: Regular Mail ❑ Pick Up Priority ❑ Mail ❑ Hand Deliver ❑ Express Mail ❑ Other UPLOAD ❑ Certified Mail 0 Green Card/RR 11 /18/22 REGARDING: JOB NUMBER: K11428 IMMEDIATE RESPONSE ACTION STATUS REPORT II 450 Gulls Way- Brewster, MA RTN 4-29181 COPIES DATE DESCRIPTION 1 11/14/22 IMMEDIATE RESPONSE ACTION STATUS REPORT II *As part of Public Notice requirements, the report Title Page, Narrative, Index, Transmittal forms and Site Plan are included, pursuant to paperwork reduction policy. The full report is available as public record on the MA DEP website database at http://public,dep.state.ma.us/Searchab[eSites2/Search.aspx or, upon written request to BEA, full copy (electronic or paper) will be provided. For review and comment: ❑ For approval: ❑ As requested: ❑ For your use: ❑ REMARKS: Cc: via email: Daniel Cahill -Homeowner via Certified Mail/ Return Receipt: Chief Robert Moran- Brewster Fire Department* Amy von Hone, Director -Brewster Health Department* Noelle Aguiar, Administrator - Brewster Conservation Department* Peter Lombardi, Town Administrator - Town of Brewster* FROM: John Tadema-Wielandt, Manager of Environmental Services/Stephen Lee, Project Manager/ Diane Kyle Admin. Assist. If enclosures are not as noted, kindly notify us at once BENNETT ENVIRONMENTAL ASSOCIATES, LLC. A NATURAL SYSTEMS UTILI'T'IES COMPANY LICENSED SITE PROFESSIONALS ® ENVIRONMENTAL SCIENTISTS © GEOLOGISTS B ENGINEERS 1573 Main Street, Brewster, MA 02631 A 508-896-1706 C Fax 508-896-5109 • www.bennett-ea.com Job # K11428 November 14, 2022 Ray Reimold, Case Officer MA DEPARTMENT OF ENVIRONMENTAL PROTECTION (MA DEP) Southeast Regional Office (SERO) Emergency Response Section/Bureau of Waste Site Cleanup (BWSC) 20 Riverside Drive Lakeville, MA 02347 RE: IMMEDIATE RESPONSE ACTION STATUS REPORT II Residential Property, RTN 4-29181 450 Gulls Way — Brewster, MA Dear Mr. Reimold, On behalf of our has prepared the enclosclients, Daniel and Lisa Cahill, BENNETT ENVIRONMENTAL ASSOCIATES, LLC (BEA) ed Immediate Response Action Status in accordance with the provisions of 310 CMR 40.0425, The IRA Status Report with Supporting Documentations, including the applicable Bureau of Waste Site Cleanup (BWSC) Transmittal Form BWSC-105, has been filed electronically, via the eDEP online filing system. If you have any questions, please contact me directly. Sincerely, B ETT E N N E 0n D. adlmNa NTAL ASSOCIATES, LLC LS P Hager of Environmental Services Enclosure Cc: Cahill, Homeowner Stephen Lee Project Manager Daniel Chief Robert Moran —Brewster Fire Department' Amy von Hone, Director —Brewster Health Department' Noelle Aguiar, Administrator — Brewster Conservation Department' Peter Lombardi, Town Administrator — Town of Brewster' ' As part of Public Notice requirements, the report Cover Letter, Narrative, Transmittal forms and Site Plan are included, pursuant to paperwork reduction policy. The full report is available as public record on the MA DEP website database at https://eeaonIine.eea.state.ma.us/porta1#!/search/wastesite or, upon written request to BEA, full copy (electronic or paper) will be provided. EMERGENCY SPILL RESPONSE 6 WASTE SITE CLEANUP ® SITE ASSESSMENT 8 PERMITTING © SEPTIC DESIGN & INSPECTION DESIGN BUILD 6 OPERATION & MAINTENANCE 6 WATER SUPPLY DEVELOPMENT WASTEWATER TREATMENT 6 FIELD SERVICES IMMEDIATE RESPONSE ACTION STATUS REPORT it WITH SUPPORTING DOCUMENTATION Residential Property 450 Gulls Way Brewster, MA Job# 1<11428 November 14, 2022 BENNETT ENVlRONMETfTAL ASSOCUkTES, LLC. • ASSESSMENT • REMEDIATION • RESOURCE M,4NAl.xEMENT 1573 Main Streel, Brenster, �1A 02631 - 508.896-VO6 Fax 508-896-5109 �>a w.ti ennett-ea. c�,m TABLE OF CONTENTS 1.0 INTRODUCTION..................................................................................................... 1 2.0 IMMEDIATE RESPONSE ACTION STATUS REPORT .................................................... 1 2.1 Status of Assessment and/or Remedial Actions...................................................1 2.2 Significant New Site Information or Data..............................................................3 2.3 Plans for Remedial Waste, Wastewater and/or Remedial Additives ...................7 2.4 Other Information Required by the Department..................................................7 2.5 LSP Opinion............................................................................................................8 PLANS "Immediate Response Action Status II..." Prepared by BENNETT ENVIRONMENTAL ASSOCIATES, LLC., Dated November 10, 2022. APPENDICES A Reference Maps Figure 1: Site Locus Plan [USGS Topographic Quad., Harwich, MA, 2021] (excerpt) Figure 2: Ground -Water Resources of the Cape Cod, MA... LeBlanc et al, 1986] (excerpt) Figure 3: MassDEP Phase I Site Assessment Map [2022] B Field Reports Inspectors Daily Record of Work Progress Monitoring Well Sampling Logs [8/24/22, 10/17/22, 11/8/ 22] C Environmental Records/Permits/Correspondence BWSC-105: Immediate Response Action Transmittal Form BWSC-112: Bill of Lading BWSC-120: Homeowner Certification Form Weight slips from disposal facility D Laboratory Analytical Reports NETLAB WO# 2H24037 (8/31/22) —Groundwater NETLAB WO# 2,128017 (11/11/22) — Soil Endpoints Zones A & B E Quality Assurance -Quality Control Plan CAH I LL/K11428 NOVEMBER 14, 2022 PAGE 1 OF 8 IMMEDIATE RESPONSE ACTION STATUS II/RTN 4-29181 1.0 INTRODUCTION BENNETT ENVIRONMENTAL ASSOCIATES, LLC. (BEA), on behalf of our client Daniel Cahill, has prepared the following Immediate Response Action Status (IRAS) and Remedial Monitoring report, in accordance with 310 CMR 40.0425, for the property located at 450 Gulls Way in Brewster, MA. This filing is related to the sudden release of #2 fuel oil from a defective return line for the two 275 -gallon aboveground storage tanks (AST) in a semi -enclosed, basement -level storage room, as discovered on January 23, 2022. Originally, the release was estimated at 100 gallons. Based on estimated recovery and fuel use, however, the release appears to be closer to 50 gallons +/-. This submittal presents a summary of Immediate Response Actions conducted since submitting the previous IRA Status Report on May 20, 2022. 2.0 IMMEDIATE RESPONSE ACTION STATUS REPORT 2.1 Status of Assessment and/or Remedial Actions Proposals for the scope of work were requested from three qualified contractors. Subsequent to the receipt and review of these proposals, Dowling Corporation, Inc. was selected, and authorized to perform the work on August 15, 2022. Dowling Corp. subsequently contacted their shoring contractor for scheduling and began the permitting process with the Town of Brewster. Quarterly groundwater monitoring was conducted on August 24, and November 8, 2022. Groundwater samples were collected for extractable petroleum hydrocarbons (EPH) and target polycyclic aromatic hydrocarbons (PAHs) analysis, as well as volatile petroleum hydrocarbons (VPH) and target benzene, toluene, ethylbenzene, and xylenes (BTEX) analysis. Groundwater sampling results are presented in Section 2.2 below. Dowling Corp. personnel began mobilizing equipment and materials to the site the first week in October. On October 5 and 6, 2022, BEA conducted hand borings 1-113-3A, HB -7, HB -8, and HB -9 in the area beneath the basement storage area (Zone B) to confirm the limits of significant impact for proper placement of the timber shoring box. Field screening data for these borings is presented in Table 2 in Section 2.2 below. The piers specified for structural shoring were installed the week of October 17, 2022. Soil removal work began the following week on October 24, 2022, using a vactor truck. BEA personnel were on-site to oversee and direct soil removal activities using a photoionization detector (PID) and Dexsil® PetroFlag° test kit to field screen soils. Soil removal began inside the basement -level storage room and progressed from west to east. Soils were removed from the western portion of the room to 2' below grade, shown as Zone A on the enclosed site plan. Dowling personnel then began excavating soils from the eastern portion of the storage room to facilitate the construction of a shoring box in order to advance Zone B to depth. Soil removal from Zone A and Zone B was completed on October 27, 2022. Field screening results are presented in Tables 3 and 4 in Section 2.2. CAHILL/K11428 NOVEMBER 14, 2022 PAGE 2 OF 8 IMMEDIATE RESPONSE ACTION STATUS II/RTN 4-29181 Photo 1: Soil removal in storage room Zone A in background, Zone B in foreground. On November 3, 2022, Dowling personnel excavated the top six feet of soils in the area of proposed soil removal (Zone Q east of the dwelling. On November 4, 2022, BEA conducted hand borings HB -11 and HB -12 to confirm the limits of significant impact for proper placement of the trench box. The 12' x 8' trench box was installed later that day. Soil removal activities recommenced and concluded on November 7, 2022, On November 8, 2022, soil samples were collected from the limits of soil removal by advancing hand borings beyond the sides of the trench box. Field screening data for these borings is presented in Table 5 in Section 2.2 below. Upon completing excavation activities in Zone C, 560 lbs. of RegenOx° Part A was mixed into soils in the bottom of the excavation. The excavation was then partially -backfilled with 3/4" aggregate and a PVC infiltration system consisting of 4" perforated PVC pipe was installed. The infiltration system was installed as a contingency to treat residual soil impact in bottom -of -hole soils if laboratory analytical results indicate additional treatment is needed. The trench box was then removed and the excavation backfilled with stone and capped with dense grade road base. Photo 2: Zone C upon completion of soil removal activities. NOVEMBER 14, 2022 PAGE 3OF8 2.2 Significant New Site Information or Data CAH I LL/K11428 IMMEDIATE RESPONSE ACTION STATUS II/RTN 4-29181 During groundwater monitoring on August 24, 2022, the three existing groundwater monitoring wells were gauged for depth to water and then purged prior to sampling. Site-specific groundwater flow was reported in a southeasterly direction towards Sheep Pond, consistent with previous results. Laboratory analytical results for the August 24, 1.022 groundwater monitoring event were received August 31, 2022. The results reported all concentrations of EPH/PAHs and VPH/BTEX as Non -Detect in all wells, with the exception of C9 -C12 fractional VPH reported in monitoring well MW -2 at 141 ug/I, below the applicable GW -1 and GW -3 Method 1 Risk Characterization Standards. A summary of the groundwater testing results is provided below in Table 1. The laboratory report is included for reference in Appendix D. Table 1: Results of August Quarterly Groundwater Monitoring Event 450 Gulls Way - Brewster, MA (RTN 4-29181) NETLAB Case Number: 21-124037 MW -1 MW -2 MW -3 Method 1 Risk Characterization Lab Sample Number: 21-124037-01 21-124037-02 2H24037-03 Standards Date Sampled: 8/24/2022 8/24/2022 8/24/2022 Units GW -1 GW -3 Extractable Petroleum Hydrocarbons (MADEP-EPH) Unadjusted C11 -C22 Aromatic Hydrocarbons ND (<100) ND (<100) ND (<100) ug/I Naphthalene ND (<1) ND (<1) ND (<1) ug/I 140 20000 2 -Methylnaphthalene ND (<1) ND (<1) ND (<1) ug/I 10 20000 Phenanthrene ND (<1) ND (<1) ND (<1) ug/I 40 10000 Acenaphthene ND (<5) ND (<5) ND (<5) ug/I 20 10000 C9 -C18 Aliphatic Hydrocarbons ND (<200) ND (<200) ND (<200) ug/I 700 50000 C19 -C36 Aliphatic Hydrocarbons ND (<200) ND (<200) ND (<200) ug/I 14000 50000 C11 -C22 Aromatic Hydrocarbons ND (<100) ND (<100) ND (<100) ug/I 200 5000 Volatile Petroleum Hydrocarbons (MADEP-VPH) Unadjusted C5 -C8 Aliphatic Hydrocarbons ND (<100) ND I<100) ND (<100) ug/I Unadjusted C9 -C12 Aliphatic Hydrocarbons ND (<100) 141 ND (<100) ug/I 10000 Benzene ND (<5) ND (<5) ND (<5) ug/I S Ethylbenzene ND (<5) ND (<5) ND (<5) ug/I 700 5000 Methyl t -butyl ether (MTBE) ND (<10) ND (<10) ND (<10) ug/I 70 50000 Naphthalene ND(<10) ND(<10) ND(<10) ug/I 140 20000 Toluene ND (<5) ND (<5) ND (<5) ug/I 1000 40000 m&p-Xylene ND (<10) ND (<10) ND (<10) ug/I see Total xylenes see Total xylenes o -Xylene ND (<10) ND (<10) ND (<10) ug/I see Total xylenes see Total xylenes Total xylenes ND (<10) ND (<10) ND (<10) ug/I 10000 5000 C5 -C8 Aliphatic Hydrocarbons ND (<100) ND (<100) ND (<100) ug/I 300 50000 C9 -C12 Aliphatic Hydrocarbons ND (<100) 141 ND (<100) ug/I 700 50000 C9 -C10 Aromatic Hydrocarbons ND (<100) ND (<100) ND (<100) ug/I 1 200 50000 Blue shaded cells indicate analyte detected above laboratory reporting limits Purple shaded cells indicate analyte detected above Method 1 Risk Characterization Standard ND = Analyte Not Detected (Laboratory Reporting Limit in parentheses) Field screening results from the hand borings conducted on October 5 and 6, 2022 reported ' below significant petroleum impact at the HB -3A location, within the storage room, to 10 grade.Boring H13-9 showed that the soils beyond the northern foundation wall were not impacted. These results helped to identify the best location to install the timber shoring box to facilitate excavating impacted soils to depth. Field screening results for these hand borings are shown below. No samples were submitted for laboratory analysis. NOVEMBER 14, 2022 PAGE 4OF8 CAHILL/K11428 IMMEDIATE RESPONSE ACTION STATUS II/RTN 4-29181 Table 2: Field Screening Results from Hand Borings (10/5-10/6/22) South West Bottom Cahill Residence - 450 Gulls Way, Brewster Boring HB -3A r CL 12 - NS 3.5 - HB -7 PID readings reported in parts per million/volume (ppmv), - = Not Applicable, NS=No Sample HB -8 Highlighted cells indicate samples submitted for laboratory analysis HB -9 0-2 - 167 2.7 2-4 260 1.1 65 2.3 4-6 149 4.5 16.1 1.6 Mc a 6-8 286 4.4 27.3 0.8 840 249 (832) 6.5 134 10-12 (10-121) 71 (132) 3.3 - - PID readings reported in parts per million/volume (ppmv) Dexsil PetroFlag readings shown in red, -= No Sample Upon completion of excavation activities, soil samples were collected at the extent of soil removal from Zone A in the western portion of the basement -level storage room. The soil samples were collected from below the foundation footing, approximately 1' below grade. Samples were collected in 8 -ounce jars and covered with aluminum septa. The samples were then screened with a PID by jar-headspace method. If PID readings were reported >10 ppmv, Dowling personnel were instructed to remove additional material from the representative area and another sample was collected for screening. Field screening results for the confirmatory samples collected at the extent of excavation from Zone A are shown below in Table 3. The highlighted samples were submitted for EPH/PAHs and VPH/BTEX laboratory analysis. Tble 3: Field Screening Results of Soil Samples During Soil Removal -Zone A C1 450 Gulls Way Brewster, MA Sidewall Location North East South West Bottom 1=2 NS 2.2 $ 1-2 6.2 NS - r CL 12 - NS 3.5 - @2 - - - - 3.9 PID readings reported in parts per million/volume (ppmv), - = Not Applicable, NS=No Sample Readings with line through indicate material was removed and sample was recollected Highlighted cells indicate samples submitted for laboratory analysis Soil samples from the extent of excavation in Zone B were collected in two stages. The first samples were collected after Dowling personnel had excavated the first 4-5' of material from Zone B, prior to installing the timber shoring box. The second set of samples from 5-8' were collected from behind the walls of the shoring box after the box had been advanced to depth. Field screening results showed that soil samples collected from the bottom of the excavation exhibited residual impact in the eastern portion of the excavation. Additional soils were removed from the eastern portion of the excavation to 10' below grade. These soils also reported residual impact, as such a hand boring (1-113-10) was advanced and soil samples were collected in 1' intervals to determine the depth of significant impact. Field screening results indicated that PID readings decreased significantly beyond 11' below grade. Additional soils were removed from the eastern portion of Zone B to 11'. Impacted soils observed along the eastern sidewall of Zone B were removed to 8' below grade prior to excavating soils from Zone C. Field screening results for the confirmatory samples collected at the extent of excavation NOVEMBER 14, 2022 PAGE 5OF8 from Zone B are shown below in Table 4. EPH/PAHs and VPH/BTEX laboratory analysis. CAH I LL/K11428 IMMEDIATE RESPONSE ACTION STATUS II/RTN 4-29181 The highlighted samples were submitted for The first 6' of material was excavated from Zone C prior to installing the 12' x 8' trench box. Hand borings HB -11 and HB -12, conducted within Zone C, revealed impacted soils adjacent to the eastern wall of the dwelling, in the southern portion of Zone C, but no significant impact south of the retaining wall in the northern portion of the Zone C. The trench box was then installed and Zone C was advanced to 12' below grade as proposed, however field screening reported significant impact at that depth. Dowling personnel were instructed to remove additional soils from the bottom of the excavation. Soils were excavated to 15' below grade and the bottom of hole samples were recollected for field screening. The soil samples from 15' reported low PID readings in the northern portion of Zone C (24.9 ppmv) and higher readings (182.9 ppmv) in the southern portion. The following day Dowling personnel mixed 560 lbs. of RegenOx Part A into the bottom -of -hole soils in Zone C and partially backfilled the excavation with stone, before constructing and installing the PVC infiltration system. BEA personnel performed hand borings beyond the walls of the trench box to collect the confirmatory soil samples from the extent of excavation in Zone C. Hand borings HB -13 and HB -14 were advanced along the northern and southern sidewalls, respectively. Hand borings HB -15 and HB -16 were advanced along the eastern side wall and hand borings HB -17 and HB -18 were advanced along the western sidewall. Prior to advancing the hand borings along the eastern side of the trench box, visually/olfactory contaminated soils were removed to 7' below grade. Additional soils were removed to 9' below grade along the southeastern sidewall based on field screening results. Field screening results for the confirmatory samples collected at the extent of excavation from Zone C are shown below in Table 5. The highlighted samples were submitted for EPH/PAHs and VPH/BTEX laboratory analysis. CAHILL/K11428 NOVEMBER 14, 2022 PAGE 6 OF 8 IMMEDIATE RESPONSE ACTION STATUS II/RTN 4-29181 During groundwater monitoring on November 8, 2022, monitoring wells MW -1 and MW -3 were gauged for depth to water and then purged prior to sampling. Monitoring well MW -2 was not sampled as it was destroyed during soil removal from Zone C. Monitoring well MW -2 is scheduled to be replaced on November 17, 2022. Laboratory results for soil samples collected at the extent of Zones A and B were received on November 11, 2022. The results reported residual concentrations of petroleum hydrocarbons, below the Method 1 Risk Characterization Standards, in two sidewall samples from Zone B. The remaining samples reported all concentrations of EPH/PAHs and VPH/BTEX as Non Detect Laboratory results are summarized below in Table 6. NOVEMBER 14, 2022 PAGE 7 OF 8 CAH I LL/K 11428 IMMEDIATE RESPONSE ACTION STATUS II/RTN 4-29181 Laboratory analytical results from the extent of excavation from Zone C, as well as the results of groundwater monitoring on November 8, are pending at the time of this report. 2.3 Details of and/or Plans for Remediation Waste, Remedial Wastewater Al or Remedial Additives Approximately 100 cubic yards (139.39 tons) of impacted soils were transported off site and transported to Ondrick Materials & Recycling in Chicopee, MA. Weight slips for this material are included for reference in Appendix C. As described above, 560 lbs. of RegenOx° Part A was mixed into bottom -of -hole soils in Zone C as a contingency for chemical oxidation treatment as may be desired pending receipt of analytical results of endpoint soils and groundwater analysis. If laboratory results indicate that additional treatment is necessary, BEA proposes to apply 560 lbs. of RegenOx° Part B to the subsurface using the infiltration system installed prior to backfilling the excavation. It is understood that written approval from the Department would be required prior to applying the Part B RegenOx°. Quarterly groundwater monitoring has included baseline testing for remedial monitoring in anticipation of RegenOx° use. Groundwater samples were collected for iron, sodium, sulfate, calcium, magnesium, and hardness consistent with the chemical properties of the RegenOx° product. 2.4 Other Information Required by the Department in its Approval of the IRA Plan No other information was requested by the Department to approve the IRA Plan. NOVEMBER 14, 2022 PAGE 8OF8 CAH I LL/K11428 IMMEDIATE RESPONSE ACTION STATUS II/RTN 4-29181 2.5 LSP Opinion as to Whether the IRA is Being Conducted in Conformance with the IRA Plan and any Conditions of Approval established by the Department The LSP Opinion that the IRA is being conducted in conformance with the IRA Plan and any conditions of approval established by the Department can be found on the enclosed Immediate Response Action Transmittal Form (13WSC405) in Appendix C. tl1 rn o n z �Go) 0'a N � y _ a 9 mn m �n fE n'a F 3 � pO12 F yw OA 11 �J1 N ® I 5nn°znnZ �55O IA O34 0 In 30 0 rflN 3 _ F SAGS of o Dna a@_ m mi On PAiMNAY n �o� 33n'� O m OOI+� K Oz;Dm CCC]]]nas U3 zz3zW it zL i2 0 Fa 9 F Massachusetts Department of Environmental Protection Bureau of Waste Site Cleanup Immediate Response Action (IRA) Transmittal Form Pursuant to 310 CMR 40.0424 - 40.0427 (Subpart D) A. SITE LOCATION: 1. Rel caseNanrre/LocationAid: CONCRETE STORAGEAREAUNDERDECK 2. Street Address: 450 GULLS WAY 3. City/Town: BREWSTER 4. Zip Code: r 5. Check here if this location is Adequately Regulated, pursuant to 310 CMR 40.0110-0114. BWSC 105 Release Tracking Number 4 J ' 29181 026310000 I` a. CERCLA r b. HSWA Corrective Action r c. Solid Waste Management (� d. RCRA State Program (21C Facilities) B. THIS FORM I5 BEING USED TO: (check all that apply) I. List Submittal Date of Initial IRA Written Plan (if previously submitted): r 2. Submit an Initial IRA Plan. r 3. Submit a Modified IRA Plan of a previously submitted written IRA Plan. F 4. Submit an Imminent Hazard Evaluation. (check one) 3/23/2022 r a. An Imminent Hazard exists in connection with this Release or Threat of Release. r b. An Imminent Hazard does not exist in connection with this Release or Threat of Release. I� c. It is unknown whether an Imminent Hazard exists in connection with this Release or Threat of Release, and further assessment activities will be undertaken. F d. It is unknown whether an Imminent Hazard exists in connection with this Release or Threat of Release. However, response actions will address those conditions that could pose an Imminent Hazard. r S. Submit a request to Terminate an Active Remedial System or Response Action(s) Taken to Address an Imminent Hazard. V 6. Submit an IRA Status Report r 7. Submit a Remedial Monitoring Report. (This report can only be submitted through eDEP.) a. Type of Report: (check one) r i. Initial Report r ii. Interim Report r iii. Final Report b. Frequency of Submitt al: (check all that apply) F' i. A Remedial Monitoring Report(s) submitted monthly to address an Imminent Hazard. J' ii. A Remedial Monitoring Report(s) submitted monthly to address a Condition of Substantial Release Migration. r iii. A Remedial Monitoring Report(s) submitted every six months, concurrent with an IRA Status Report. r iv. A Remedial Monitoring Report(s) submitted annually, concurrent with an IRA Status Report. c. Number of Remedial Systems and/or Monitoring Programs: A separate BWSC105A, IRA Remedial Monitoring Report, must be filled out for each Remedial System an d/or Monitoring Program addressed by this transmittal form. Revised: 11/14/2013 Page 1 of 6 Massachusetts Department of Environmental Protection BWSC 105 Bureau of Waste Site Cleanup Release Tracking Number Immediate Response Action (IRA.) Transmittal Form I4 - 29181 J Pursuant to 310 CMR 40.0424 - 40.0427 (Subpart D) r 8. Submit an IRA Completion Statement. a. Check here if future response actions addressing this Release or Threat of Release notification condition will be conducted as part of the Response Actions planned or ongoing at a Site that has already been Tier Classified under a different Release Tracking Number RIN) b. Provide Release Tracking Number of Tier Classified Site (Primary RTN): These additional response actions must occur according to the deadlines applicable to the Primary RAN. Use the Primary RTN when making all future submittals for the site unless specifically relating to this Immediate Response Action. f 9. Submit a Revised IRA Completion Statement. r 10. Submit a Plan for the Application of Remedial Additives near a sensitive receptor, pursuant to 310 CMR 40.0046(3). (All sections of this transmittal form must be filled out unless otherwise noted above) C. RELEASE OR THREAT OF RELEASE CONDITIONS THAT WARRANT IRA: 1. Media Impacted and Receptors Affected: (check all that apply) r d. Public Water Supply Groundwater r p. Soil Gas r. Others Specify: r e. Surface Water r k. Sediments r q. Sub -Slab Soil Gas 2. Sources of the Release or TO (check all that apply) f d. OHM Delivery r e. AST r j. UST Describe: 1-" m. Unknown r n. Other: 3. Type of Release or TOR: (check all that apply) F e. Rupture r k. UST Removal r 1. Unknown r f Vehicle Accident Describe: Other: � f. Zone 2 r 1. Wetland f a. Paved Surface r b. Basement I� a School r g. Private Well r h. Residence f+� i. Soil 1— m. Storm Drain r n. Indoor Air r o. Air r r. Critical Exposure Pathway r s. NAPL r t. Unknown f a. Transformer r b. Fuel Tank r C. Pipe )— f. Drums r g. Tanker Truck r h. Hose F i. Line � a. Dumping r g. Leak 4. Identify Oils and Hazardous Materials Released: (check all that apply) )— c. Heavy Metals � d. Others Specify: r h. Spill l+� a. Oils F' k. Vehicle r 1. Boat/Vessel 1�` c. AST Removal Test failure lr d. Overfill r j. TOR Only r b. Chlorinated Solvents D. DESCRIPTION OF RESPONSE ACTIONS: (check all that apply, for volumes list cumulative amounts) f I. Assessment and/or Monitoring Only f+7 WO 2. Temporary 3. Deployment of Absorbent or Containment Materials r 5. Structure Venting System/HVAC Modification System r 7. Product or NAPL Recovery r 9. Groundwater Treatment Systems r 11. Remedial Additives I— 13. Active Exposure Pathway Mitigation System Covers or Caps r 4. emporaij Water Supplies f 6. Temporary Evacuation or Relocation of Residents r 8. Fencing and Sign Posting r 10. Soil Vapor Extraction r 12. Air Sparging f 14. Passive Exposure Pathway Mitigation System Revised: 11/14/2013 Page 2 of 6 Massachusetts Department of Environmental Protection Bureau of Waste Site Cleanup Immediate Response Action (IRA) Transmittal Form Pursuant to 310 CMR 40.0424 - 40.0427 (Subpart D) D. DESCRIPTION OF RESPONSE ACTIONS: (cont.) 1Yo 15. Excavation of Contaminated Soils. �' a. Re -use, Recycling or Treatment j-' i. On Site r ii. Off Site iia. Receiving Facility: ONDRICK MATERIALS &RECYCLING iib. Receiving Facility: iii. Describe: r' b. Store iia. Receiving Facility: iib. Receiving Facility: J-' c. Landfill Receiving Facility: Receiving Facility: Removal of Drums, Tanks, or Containers: a. Describe Quantity an d Amount: bI Receiving Facility : cI Receiving Facility : Removal of Other Contaminated Media: a. Specify Type an d Volume: Other Response Actions: r i. On Site r ii. Off Site Estimated volume in cubic yards Estimated volume in cubic yards 100 Town: ('.HICOPEE Town: Estimated volume in cubic yards Estimated volume in cubic yards Town: Town: r i. Cover Estimated volume in cubic yards Town: J— ii. Disposal Estimated volume in cubic yards Town: Town: Town: Describe: APPLY 560 LBS, OF REGENOX PART A IN BOTTOM OF HOLE SOILS Use of Innovative Technologies: Describe: BWSC 105 Release Tracking Number ' 29181 State: MA State: State: State: State: State: State: State: Revised: 11/14/2013 Page 3 of 6 Massachusetts Department of Environmental Protection BwSC 105 Bureau of Waste Site Cleanup Release Tracking Number Immediate Response Action (IRA) Transmittal Form [4 - 29181 Pursuant to 310 CMR 40.0424 - 40.0427 (Subpart D) U E. LSP SIGNATURE AND STAMP: I attest under the pains and penalties of perjury that I have personally examined and am familiar with this transmittal form, including any and all documents accompanying this submittal. In my professional opinion and judgment based upon application of (i) the standard of care in 309 CMR 4.02(1), (ii) the applicable provisionsof 309 CMR 4.02(2) and (3), and 309 CMR 4.03(2), and (iii) the provisions of 309 CMR 4.03(3), to the best of my knowledge, information and belief, > if Section B of this form indicates that an Immediate Response Action Plan is being submitted, the response action(s) that is(are) the subject of this submittal (i) has (have) been developed in accordance with the applicable provisions of M.G.L. c. 21E and 310 CMR 40.0000, (ii) is(are) appropriate and reasonable to accomplish thepurposes of such response action(s) as set forth in the applicable provisions of M.G.L. c. 21E and 310 CMR 40.0000 and (iii) complies(y) with the identified provisions of all orders, permits, and approvals identified in this submittal; > if Section B of this form indicates that an Imminent Hazard Evaluation is being submitted, this Imminent Hazard Evaluation was developed in accordance with the applicable provisions of M.G.L. c. 21E and 310 CMR 40.0000, and the assessment activity(ies) undertaken to support this Imminent Hazard Evaluation comply(ies) with the applicable provisions of M.G.L. c. 21E and 310 CMR 40.0000; > if Section B of this form indicates that an Immediate Response Action Status Report and/or a Remedial Monitoring Report is(are) being submitted, the response action(s) that is (are) the subject of this submittal (i) is (are) being implemented in accordance with the applicable provisions of M.G.L. c. 21E and 310 CMR 40.0000,00 is (are) appropriate and reasonable to accomplish the purposes of such response actions) as set forth in the applicable provisions of M.G.L. c. 21E and 310 CMR 40.0000 and (iii) comply(ies) with the identified provisions of all orders, permits, and approvals identified in this submittal; > if Section B of this form indicates that an Immediate Response Action Completion Statement or a request to Terminate an Active Remedial System or Response Action(s) Taken to Address an Imminent Hazard is being submitted, the response action(s) that is(are) the subject of this submittal (i) has (have) been developed and implemented in accordance with the applicable provisions of M.G.L. c. 21E and 310 CMR 40.0000, (ii) is(are) appropriate and reasonable to accomplish the purposes of such response action(s) as set forth in the applicable provisions of M.G.L. c. 21E and 310 CMR 40.0000 and (iii) comply(ies) with the identified provisions of all orders, permits, and approvals identified in this submittal. I am aware that significant penalties may result, including, but not limited to, possible fines and imprisonment, if I submit information which I know to be false, inaccurate or materially incomplete. 1. LSP #: 1707 2. First Name: JOHN 4. Telephone: 508-535-0487 3. Last Name: TADEMA-UNELANDT 6. Email: jtadema-weilandt@ 7. Signature: JOHN TADEMA-WIELANDT 8. Date: 11/18/2022 5. Ext: nsuwater.com �mm�aa�yyyy) 9. LSP cam'=` fir: EiectronicCZ Seal 'aS1t� PS0 Revised: 11/14/2013 Page 4 of 6 Massachusetts Department of Environmental Protection BwSC 105 Bureau of Waste Site Cleanup Release Tracking Number Immediate Response Action (IRA) Transmittal Form - 29181 Pursuant to 310 CMR 40.0424 - 40.0427 (Subpart D) L—I F. PERSON UNDERTAKING IRA: 1. Check all that apply: 2. Name of Organization: 3. Contact First Name: a4 change in contact name DANIEL 5. Street: 450 GULLS WAY 7. City/Town: BREVNSTER 10. Telephone: 774-722-9014 b. change of address 4. Last Name: CAHILL c. change in the person undertaking response actions 6. Title: HOMEOUMJER 8. State: MA 9. Zip Code: 026310000 11. Ext: 12. Email: cahill.dan450@gmail.com G. RELATIONSHIP TO RELEASE OR THREAT OF RELEASE OF PERSON UNDERTAKING IRA: � Check here to change relationship 1. RP or PRP rV' a. Owner r b. Operator T' c. Generator r d. Transporter I' e. Other RP or PRP Specify Relationship: 2. Fiduciary, Secured Lender or Municipality with Exempt Status (as defined by M.G.L. c. 21E, s. 2) 3. Agency or Public Utility on a Right of Way (as defined by M.G.L. c. 21E, s. 50)) � 4. An}' Other Person Undertaking Response Actions: Specify Relationship: H. REQUIRED ATTACHME NT AND SUBMITTALS: r 1. Check here if any Remediation Waste, generated as a result of this IRA, will be stored, treated, managed, recycled or reused at the site following submission of the IRA Completion Statement. If this box is checked, you must submit one of the following plans, along with the appropriate transmittal form. r a. A Release Abatement Measure (RAM) Plan (BWSC106) r b. Phase N Remedy Implementation Plan (BWSC108) Check here if the Response Action(s) on which this opinion is based, if any, are (were) subject to any order(s), permit(s) and/or approval(s) issued by MassDEP or EPA. If the box is checked, you MUST attach a statement identifying the applicable provisions thereof. J 3. Check here to certify that the Chief Municipal Officer and the Local Boardof Health were notified of the implementation of an Immediate Response Action taken to control, prevent, abate or eliminate an Imminent Hazard. 1� 4. Check here to certify that the Chief Municipal Officer and the Local Boardof Health were notified of the submitt al of a Completion Statement for an Immediate Response Action taken to control, prevent, abate or eliminate an Imminent Hazard. J" 5. Check here if any non-updatable information provided on this form is incorrect, e.g. Release Address/Location Aid. Send corrections to BWSC.eDEP@state.ma.us. Check here to certify that the LSP Opinion containing the material facts, data, and other information is att ached. Revised: 11/14/2013 Page 5 of 6 Massachusetts Department of Environmental Protection BwSC 105 Bureau of Waste Site Cleanup Release Trackuig Number Immediate Response Action (IRA) Transmittal Form - 29181 Pursuant to 310 CMR 40.0424 - 40.0427 (Subpart D) KI I. CERTIFICATION OF PERSON UNDERTAHING IRA: 1412 DANIEL CAHILL , attest under the pains and penalties of perjury (i) that I have personally examined and am familiar with the information contained in this submittal, including any and all documents accompanying this transmittal form; 00 that, based on my inquiry of the/those individual(s) immediately responsible for obtaining the information, the material information contained herein is, to the best of my knowledge, information and belief, true, accurate and complete; (iii) that, to the best of my knowledge, information and belief, I/the person(s) or entity(ies) on whose behalf this submittal is made satisfy(ies) the criteria in 310 CMR 40.0183(2); (iv) that I/the person(s) or entity(ies) on whose behalf this submittal is made have provided notice in accordance with 310 CMR 40.0183(5); and (v) that I am fully authorized to make this attestation on behalf of the person(s) or entity(ies) legally responsible for this submittal. I/the person(s) or entity(ies) on whose behalf this submittal is made is/are aware that there are significant penalties, including, but not limited to, possible fines and imprisonment, for willfully submitting false, inaccurate, or incomplete information. 2. By: DANIEL CAHILL 3. Title: HOMEOWNER 4. For: DANIELCAHILL 5. Date: 11/18/2022 (mm/dd/yyyy) r 6. Check here if the address of the person providing certification is different from address recorded in Section F. 7. Street: 8. City/Town: 9. State: 10. Zip Code: 11. Telephone: 12. Ext: 13. Email: YOU ARE SUBJECT TO AN ANNUAL COMPLIANCE ASSURANCE FEE OF UP TO $10,000 PER BILLABLE YEAR FOR THIS DISPOSAL SITE. YOU MUST LEGIBLY COMPLETE ALL RELEVANT SECTIONS OF THIS FORM OR DEP MAY RETURN THE DOCUMENT AS INCOMPLETE. IF YOU SUBMIT AN INCOMPLETE FORM, YOU MAY BE PENALIZED FOR MISSING A REQUIRED DEADLINE. Date Stamp (DEP USE ONLY:) Received by DEP on 11/18/2022 12:40:04 Pi12 Revised: 11 / 14/2013 Page 6 of 6 Massachusetts Department of Environmental Protection BWSC 120 12 Bureau of Waste Site Cleanup Release Tracking Number HOMEOWNER CERTIFICATION TRANSMITTAL FORM j� (- 29181 Pursuant to 310 CMR 4.02 L� A. HOMEOWNER IDENTIFICATION AND RESIDENTIAL PROPERTY LOCATION: Property owner: L First Name: DANIEL 2. Last Name: 3. Name of Ownership Entity or Condominium Association (if applicable): 4. Property Address 5. CityfI'own 450 GULLS WAY 6. ZIP Code: CAHILL 026310000 7. Telephone: 7747229014 8. Number of Residential Units: r a. One r b. Two r c. Three r d. Four (Homeowner certifications do not apply to residences of greater then 4 units) Timely Action The person or entity listed above must meet the definition of Homeowner pursuant to 310 CMR 4.02, Schedule and Fee Provisions, that states: A Homeowner is an owner occupant of a residential one to four family structure who has provided a written certification on a Department approved form and whose structure has been used exclusively as a one to four family residence throughout his or her ownership, where the owner's unit is the owner's principal residence for 6 or more months of the year and the owner is conducting response actions at the residence in response to a release of oil. B. RELATIONSHIP OF PERSON/ENTITY MAKING HOMEOWNER CERTIFICATION TO PROPERTY: 17 1. Homeowner r 2. Person authorized to make the attestation in Section C on behalf of Homeowner l-` 3. Condominium Association with one to four units C. CERTIFICATION OF PERSON/ENTITY SUBMITTING HOMEOWNER CERTIFICATION FORM: 1. I, DANIEL CAHILL attest under the pains and penalties of perjury: > if Section B of this form indicates Homeowner, (i) that I am the owner and occupant of a one to four family residential structure that has been used exclusively as a one to four family residence throughout my ownership; (ii) that the residential structure is my principal residence for 6 or more months of the year; (iii) that I am conducting response actions pursuant to M.G.L. chapter 21E and 310 CMR 40.0000, the Massachusetts Contingency Plan, at the residence in response to a release of oil; and (iv) that I am aware that there are significant penalties, including, but not limited to, possible fines and imprisonment, for willfully submitting false, or inaccurate attestation regarding (i), (ii), or (iii) of this certification. > if Section B of this form indicates Person authorized to make this attestation on behalf of the Homeowner, (i) that I am a duly authorized representative of the person listed in Section A of this form who is the owner and occupant of a one to fou► family residential structure that has been used exclusively as a one to four family residence throughout the ownership of the person listed in Section A; (ii) that the residential structure is the principal residence of the person listed in Section A for 6 or more months of the year; (iii) that the person listed in Section A is conducting response actions pursuant to M.G.L. chapter 21E and 310 CMR 40.0000, the Massachusetts Contingency Plan, at the residence in response to a release of oil; and (iv) that I am aware that there are significant penalties, including, but not limited to, possible fines and imprisonment, for willfully submitting false, or inaccurate attestation regarding (i), (ii), or (iii) of this certification. Revised: 05/13/2013 Page 1 of 2 Massachusetts Department of Environmental Protection BWSC 120 12 Bureau of Waste Site Cleanup Release Tracking Number HOMEOWNER CERTIFICATION TRANSMITTAL FORM , I - 29181 Pursuant to 310 CMR 4.02 C. CERTIFICATION OF PERSON/ENTITY SUBMITTING HOMEOWNER CERTIFICATION FORM: > if Section B of this form indicates Condominium Association, (i) that I am a duly authorized representative of the entity listed in Section A of this form which is comprised of one or more individual owner(s) and occupant(s) of a one to four family residential structure that has been used exclusively as a one to four family residence throughout the period of ownership; (ii) that the residential structure is the principal residence for 6 or more months of the year of the owner(s) and occupant(s); (iii) that the person or entity listed in Section A of this form is conducting response actions pursuant to M.G.L. chapter 21E and 310 CMR 40.0000, the Massachusetts Contingency Plan, at the residence in response to a release of oil; and (iv) that I am aware that there are significant penalties, including, but not limited to, possible fines and imprisonment, for willfully submitting false, or inaccurate attestation regarding (i), (ii), or (iii) of this certification. 2. By: DANIEL CAHILL 3. Date: 11/18/2022 Signature mm/dd/yyyy r 4. Check here if the address of the person providing certification is different from address recorded in Section A. 5. Street: 6. Ciry/Town: 9. Telephone: 10. Ext.: 7. State: 11. Email: 8. ZIP Code: If submitting by hand oi• mail, the completed form with original signature must be submitted to the following DEP office Massachusetts Department of Environmental Protection Bureau of Waste Site Cleanup, Cost Recovery, Fees and Revenue Section One Winter Street, 3rd Floor Boston, MA 02108-4747 Date Stamp (DEP USE ONLY:) Received by DEP on 11/18/2022 10:15:34 AM Revised: 05/13/2013 Page 2 of 2 Massachusetts Department of Environmental Protection ?DEP Transaction Copy Here is the file you requested for your records. To retain a copy of this file you must save and/or print. Transaction ID: 1443855 DOCument: Groundwater Discharge Monitoring Report Forms Size of File: 1026.32K Status of Transaction: submitted Date and Time Created: 11/23/2022:11:22:59 AM Note: This file only includes forms that were part of your transaction as of the date and time indicated above. If you need a more current copy of your transaction, return to eDEP and select to "Download a Copy" from the Current Submittals page. Massachusetts Department of Environmental Protection Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit DAILY LOG SHEET A. Facility Information Important:When filling out forms on 1. Facility name, address: 1. Permit Number 2. Tax identification Number 2022 OCT DAILY 3. Sampling Month & Frequency the computer, use SERENITY BREWSTER WWTF only the tab key to a. Name move your cursor - - -- - — - -- 873 HARWICH ROAD do not use the ... . .. - ... ........ return key. b. Street Address tdb terrsn BREWSTER MA 02631 c. City 2. Contact information: D FELDMAN a. Name of Facility Contact Person 17079527 b. Telephone Number 3. Sampling information: 0/31 /2022 d. State e. Zip Code dfeldman@wingatehealthcare.com c. a -mail address ITEWATER a. Date Sampled (mm/dd/yyyy) b. Laboratory Name DOUG MURPHY c. Analysis Perf ormed By (Name) B. Form Selection 1. Please select Form Type and Sampling Month &Frequency Daily Log Sheet - 2022 Oct Daily — All forms for submittal have been completed. 2. -This is the last selection. 3. f- Delete the selected form. gdpols 2015-09-15.doc •rev. 09/15/15 Groundwater Permit Daily Log Sheet •Page 1 of 1 Date 1 2 3 4 5 — 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 Massachusetts Department of Environmental Protection ff599 —( Bureau of Resource Protection - Groundwater Discharge Program I1. Permit Number Groundwater Permit1 - - 2. Tax identification Number DAILY LOG SHEET 2022 OCT DAILY 3, Sampling Month & Frequency C. Daily Readings/Analysis Information Effluent Reuse Irrigation Turbidity Influent pH Flow GPD Flow GPD Flow GPD 5533 5010 5948 6071 5783 5038 6111 5198 5848 5425 5202 5076 8041 5159 5504 5136 6370 5488 4887 4731 5499 5911 5200 4899 8183 4995 5037 4854 4862 5097 Effluent Chlorine pH Residual (mg/1) uv Intensity gdpols.doc •rev. 09/15/15 Groundwater Permit Daily Log Sheet • Page 1 of 1 Massachusetts Department of Environmental Protection 599 Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit MONITORING WELL DATA REPORT A. Facility Information Important:When filling out forms on 1. Facility name, address: the computer, use SERENITY BREWSTER WWTF only the tab key to move your cursor - do not use. the . return key. IL AV a. Name X873 HARWICH ROAD --- ----� 1. Permit Number 2. Tax identification Number 12022 OCT MONTHLY _J 3. Sampling Month & Frequency b. Street Address - - BREWSTER MA 02631 o. City 2. Contact information: rerisnA DAVID FELDMAN W k a. Name of Facility Contact Person 17079527 b. Telephone Number 3. Sampling information: 0/20/2022 d. State e. Zip Code dfeldman@wingatehealthcare.com c. e-mail address ITEWATER a. Date Sampled (mm/dd/yyyy) b. Laboratory Name DOUG MURPHY c. Analysis Performed By (Name) B. Form Selection 1. Please select Form Type and Sampling Month &Frequency Monitoring Well Data Report - 2022 Oct Monthly f- All forms for submittal have been completed. This is the last selection. 3. T- Delete the selected form. gdpols 2015-09-15.doc •rev. 09/15/15 Groundwater Permit Daily Lag Sheet •Page 1 of 1 Massachusetts Department of Environmental Protection 599 --- - - Bureau of Resource Protection - Groundwater Discharge Program 1. Permit Number Groundwater Permit- 2. Tax identification Number - MONITORING WELL DATA REPORT -- — 2022 OCT MONTHLY 3. Sampling Month & Frequency C. Contaminant Analysis Information • For , below detection limit, less than (<) value, or not detected, enter "ND" < • TNTC = too numerous to count. (Fecal results only) • NS =Not Sampled • DRY = Not enough water in well to sample. Parameter/Contaminant MW1 MW2 MW3 MW4 Units Well #: 1 Well #: 2 Well #: 3 Well #: 4 Well #: 5 Well #: 6 �6.6 I�6.5 16.6 S.U. STATIC WATER LEVEL 58.95 151.82 130.17 FEET SPECIFIC CONDUCTANCE 174 266 295 134 UMHOS/C mwdgwp-blank.doc •rev. 09/15/15 Monitoring Well Data for Groundwater Permit •Page 1 of 1 Massachusetts Department of Environmental Protection Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit DISCHARGE MONITORING REPORT A. Facility Information Important:when filling out forms on 1. Facility name, address: the computer, use 1SERENITY BREWSTER WWTF only the tab key to a. Name move your cursor- — - - - ---_ _-- -- - - 873 HARWICH ROAD do not use the . - - - - ...... - ... . return key. b. Street Address BREWSTER IMA r�} C. City d. State 2. Contact information: DAVID FELDMAN 1. Permit Number 2. Tax identification Number 2022 Obf MONTHLY __ ___i 3. Sampling Month & Frequency 02631 e. Zip Code a. Name of Facility Contact Person 7817079527 dfeldman@wingatehealthcare.com b. Telephone Number c. e-mail address 3. Sampling information: )10/26/2022 JRI ANALYTICAL a. Date Sampled (mm/dd/yyyy) b. Laboratory Name BRENT PLANT c. Analysis Performed By (Name) B. Form Selection 1. Please select Form Type and Sampling Month &Frequency Discharge Monitoring Report - 2022 Oct Monthly T- All forms for submittal have been completed. 2. r This is the last selection. 3. 1_ Delete the selected form. gdpols 2015-09-15.doc •rev. 09/15/15 Groundwater Permit Daily Log Sheet •Page 1 of 1 Massachusetts Department of Environmental Protection Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit DISCHARGE MONITORING REPORT D. Contaminant Analysis Information • For , below detection limit, less than (<) value, or not detected, enter "ND" • TNTC = too numerous to count. (Fecal results only) • NS = Not Sampled 599 1. Permit Number 2. Tax identification Number 2022 OCT MONTHLY 3. Sampling Month & Frequency 1: Parameter/Contaminant 2. Influent 3. Effluent 4: Effluent Method Units Detection limit BOD 8.3 _— —� ND -- ] 3.0 ---- MG/L TSS 9.0 ND MG/L TOTAL SOLIDS MG/L AMMONIA -N MG/L NITRATE -N MG/L TOTAL NITROGEN(NO3+NO2+TKN) MG/L OIL &GREASE lLI Ce► 0.050 0.50 0.50 infeffrp-blank.doc •rev. 09/15/15 Groundwater Permit Discharge Monitoring Report •Page 1 of 1 Important:when filling out forms on the computer, use only the tab key to Massachusetts Department of Environmental Protection Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit Facility Information (SERENITY BREWSTER WWTF a. Name HARWICH ROAD 599 1. Permit Number 2. Tax identification Number move your cursor - b. Street Address - do not use the IBREWSTER MA... 102631_ return key. ream Any person signing a document under 314 CMR 5.14(1) or (2) shall make the following certification If you are filing electronic -ally and want to attach additional comments, select the check box. r Certification "I cert d. State e. Zip Code ify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, true, accurate and complete. I am aware that the are significant penalties for submitt ing false information, including the possibility of fine and imprisonment for knowing violations." ELIZABETH BELAIR 11/22/2022 a. Signature b. Date (mm/dd/yyyy) gdpols 2015-09-15.doc •rev. 09/15/15 Groundwater Permit •Page 1 of 1 Massachusetts Department of Environmental Protection eDEP Transaction Copy Here is the file you requested for your records. _ Username:_ SFARRENKOPF Transaction ID: 1449347 Document: Groundwater Discharge Monitoring Report Forms Size of File: 1031.00K Status of Transaction: in Process Date and Time Created: 11122/2022:1:59:07 PM Note: This file only includes forms that were part of your transaction as of the date and time indicated above. If you need a more current copy of your transaction, return to eDEP and select to "Download a Copy" from the Current Submittals page. Important:when filling out forms on the computer, use only the tab key to move your cursor do- not use the return key. Qro "n Massachusetts Department of Environmental Protection (951 Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit DAILY LOG SHEET A. Facility Information 1. Facility name, address: --- 1. Permit Number 2. Tax identification Number 2022 OCT DAILY 3. Sampling Month & Frequency jMAPLEWOOD AT BREWSTER a. Name 820 HARWICH ROAD b. Street Address BREWSTER IMA 102631 c. City 2. Contact information: JOSEPH SMITH a. Name of Facility Contact Person 42125005 b. Telephone Number 3. Sampling information: 0/1 /2022 a. Date Sampled (mm/dd/yyyy) BEA NSU PERSONNEL c. Analysis Perf ormed By (Name) B. Form Selection d. State e. Zip Code jsmith@NSUWater.com c. a -mail address NOT APPLICABLE b. Laboratory Name 1. Please select Form Type and Sampling Month &Frequency Daily Log Sheet - 2022 Oct Daily - All forms for submittal have been completed. 2. L- This is the last selection. 3. I— Delete the selected form. gdpols 2015-09-15.doc •rev. 09/15/15 Groundwater Permit Daily Log Sheet •Page 1 of 1 I 1 2 3 4 - - 5 -. 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 Massachusetts Department of Environmental Protection�g51 3ureau of Resource Protection - Groundwater Discharge Program 1. Permit Number Groundwater Permit - - - - 2. Tax identification Number DAILY LOG SHEET 2022 OCT DAILY 3, Sampling Month & Frequency C. Daily Readings/Analysis Information Effluent Reuse Irrigation Turbidity Influent pH Flow GPD Flow GPD Flow GPD 5415 5402 6695 - 5395 5322 5322 5322 5455 6564 5670 5284 6751 6751 6751 5391 7336 4296 5191 5690 5690 5690 4445 5504 6270 4010 5395 5395 5395 5531 Effluent Chlorine UV pH Residual Intensity (mg/1) N 6.8 7.1 6.9 7.2 - - 6.7 7.2 6.8 7.1 6.7 7.1 6.9 6.9 7.1 6.8 ' 7.1 6.9 6.9 7.1 6.9 7.1 6.8 7.2 6.9 6.9 I 17.1 gdpols.doc •rev. 09/15/15 Groundwater Permit Daily Log Sheet • Page 1 of 1 Massachusetts Department of Environmental Protection 951 Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit DISCHARGE MONITORING REPORT A. Facility Information Important:When filling out forms on the computer, use only the tab key to move your cursor - _ _ ...... _ do not use the_ 1. Facility name, address: MAPLEWOOD AT BREWSTER 1. Permit Number 2. Tax identification Number 2022 OCT MONTHLY 3. Sampling Month & Frequency a. Name 820 HARWICH ROAD b. Street Address BREWSTER MA 02631 c. City 2. Contact information: awA JOSEPH SMITH a. Name of Facility d. State e. Zip Code Contact Person 7742125005 jsmith@NSUWater.com b. Telephone Number 3. Sampling information: c. e-mail address 10/20/2022 ALPHA ANALYTICAL a. Date Sampled (mm/dd/yyyy) b. Laboratory Name ALPHAANALYTICAL PERSONNEL c. Analysis Performed By (Name) B. Form Selection 1. Please select Form Type and Sampling Month &Frequency Discharge Monitoring Report - 2022 Oct Monthly - —All forms for submittal have been completed. 2. r This is the last selection. 3. r Delete the selected form. gdpols 2015-09-15.doc •rev. 09/15/15 Groundwater Permit Daily Log Sheet •Page 1 of 1 Massachusetts Department of Environmental Protection 9 Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit DISCHARGE MONITORING REPORT D. Contaminant Analysis Information • For , below detection limit, less than (<) value, or not detected, enter "ND" • TNTC = too numerous to count. (Fecal results only) • NS = Not Sampled 51 1. Permit Number 2. Tax identification Number 2022 OCT MONTHLY 3. Sampling Month & Frequency 1: Parameter/Contaminant - 2: Influent - 3. Effluent 4. Effluerit Method Units BOD (190 ----- - -----� � 19 — --- — MG/L MG/L TOTAL SOLIDS MG/L AMMONIA -N MG/L NITRATE -N MG/L TOTAL NITROGEN(NO3+NO2+TKN) MG/L OIL &GREASE MG/L Detection limit z.o 460 18.3 I 5.9 9.46 ND a10 � 0.450 4.0 infeffrp-blank.doc •rev. 09/15/15 Groundwater Permit Discharge Monitoring Report •Page 1 of 1 Massachusetts Department of Environmental Protection 1651- Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit MONITORING WELL DATA REPORT 4 Facility Information Important:When filling out forms on 1. Facility name, address: the computer, use MAPLEWOOD AT BREWSTER only the tab key to a. Name move yourour cursor - - _ - ---- - --- - --- -- _ - -- _ _- --- - --- 820 HARWICH ROAD ------------ 1. Permit Number 2. Tax identification Number 2022 OCT MONTHLY _ $. Sampling Month & Frequency return key. b. Street Address BREWSTER MA 02631 ray C. City d. State e. Zip Code 2. Contact information: ANrvn IJOSEPH SMITH a. Name of Facility Contact Person 42125005 b. Telephone Number 3. Sampling information: 0/27/2022 a. Date Sampled (mm/dd/yyyy) BEA NSU PERSONNEL c. Analysis Performed By (Name) B. Form Selection �jsmith@NSUWater.com c. e-mail address NOT APPLICABLE b. Laboratory Name 1. Please select Form Type and Sampling Month &Frequency Monitoring Well Data Report - 2022 Oct Monthly i— All forms for submittal have been completed. This is the last selection. 3. r Delete the selected form. gdpols 2015-09-15.doc •rev. 09/15/15 Groundwater Permit Daily Log Sheet •Page 1 of 1 Massachusetts Department of Environmental Protection rg51 Bureau of Resource Protection - Groundwater Discharge Program I1. Permit Number Groundwater Permit I - 2. Tax identification Number MONITORING WELL DATA REPORT - 2022 OCT MONTHLY 3. Sampling Month & Frequency C. Contaminant Analysis Information • For "0", below detection limit, less than (<) value, or not detected, enter "ND" • TNTC = too numerous to count. (Fecal results only) • NS =Not Sampled • DRY = Not enough water in well to sample. Parameter/Contaminant MW -1 MW -2 MW -3 MW -4 Units Well #: 1 Well #: 2 Well #: 3 Well #: 4 Well #: 5 Well #: 6 7:20 S.U. STATIC WATER LEVEL 32.38 _ 31.25 31.77 31.64 FEET SPECIFIC CONDUCTANCE 120.8 226.1 280.6 1 84.2 UMHOS/C mwdgwp-blank.doc •rev. 09/15/15 Monitoring Well Data for Groundwater Permit •Page 1 of 1 Important when filling out forms on the computer, use only the tab key to move your cursor - do not use the ... return key, Any person signing a document under 314 CMR 5.14(1) or (2) shall make the following certification If you are filing electronic -ally and want to attach additional comments, select the check box. Massachusetts Department of Environmental Protection rg51 Bureau of Resource Protection - Groundwater Discharge Program I1. Permit Number Groundwater Permit I - 2. Tax identification Number Facility Information MAPLEWOOD AT BREWSTER l-'w�FTii['1 HARWICH ROAD b. Street Address 1BREW.S.TER - - _ c. City Certification MA .. 02631 A. State e. Zip Code "I certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, true, accurate and complete. I am aware that the are significant penalties for submitting false information, including the possibility of fine and imprisonment for knowing violations." SAMANTHA FARRENKOPF 11/22/2022 a. Signature b. Date (mm/dd/yyyy) Package Comments ENNETT ENVIRONMENTAL ASSOCIATES, LLC. (BEA) HAS COMPLETED THE OCTOBER 2022 ONTHLY INFLUENT AND EFFLUENT SAMPLING OF THE BIOCLERE WASTEWATER �EATMENT SYSTEM. MONTHLY AND QUARTERLY WASTEWATER SAMPLING WAS OMPLETED ON 10/20/22, LABORATORY RESULTS REPORTED ALL PARAMETERS WITHIN ISCHARGE PERMIT LIMITS. EFFLUENT PH WAS REPORTED WITHIN THE 6.5-8.5 RANGE �ROUGHOUT THE MONTH, FLOW VOLUME MEASUREMENTS WERE ASSESSED DURING IE MONTH FROM THE SYSTEM'S EFFLUENT FLOW METER. DAILY FLOW REMAINED WITHIN THE 19,800 -GPD LIMITATION THROUGHOUT THE MONTH, THE MINIMUM, MAXIMUM ND AVERAGE GPD FLOWS REPORTED OVER THE COURSE OF THE MONTH WERE 4,010 PD, 7,336 GPD AND 5,622 GPD, RESPECTIVELY. gdpols 2015-09-15.doc •rev. 09/15/15 Groundwater Permit •Page 1 of 1 Charles D. Baker Governor Karyn E. Polito Lieutenant Governor Commonwealth of Massachusetts Executive Office of Energy & Environmental Affairs Department of Environmental Protection Southeast Regional Office • 20 Riverside Drive, Lakeville MA 02347.508-946-2700 Mr. Paul Anderson Brewster Water Department -- l�ommerce Parc Roa Brewster, MA 02631 Dear Mr. Anderson, November 28, 2022. RE: BREWSTER-Public Water Supply Brewster Water Department PWS ID#: 4041W00 Water Quality Sampling Schedule Bethany A. Card Secretary Martin Suuberg Commissioner Enclosed please find the 2023-2025 sampling schedule foryour systema You will notice a slightly new format. Please take the time to review the document for accuracy. Note, this sampling schedule is being provided for your convenience and its accuracy is not guaranteed; it is the PWS's responsibility to comply with all_. regulatory sampling requirements. If you have recently applied for a waiver, it may not be reflected in the schedule. A revised 2023-2025 sampling schedule will be provided when waivers are approved. If you have any questions, please contact one of Regional Drinking Water Staff listed below. Additionally, earlier this year MassDEP Drinking Water Program issued a notice that all PWS must begin or continue to have their certified laboratories use eDEP for submittal of all applicable monitoring reports starting on January 1St, 2023 (310 CMR 22.03(13)). When the results are submitted electronically, a paper copy does not need to be mailed to the Regional Office. The online system, eDEP, requires all location codes and location names to accurately agree with your sample schedule. When completing a chain of custody, please make sure to list the location codes and names as they appear on the sampling schedule so that the lab will use the proper codes and names when submitting the results. Please contact your lab to make sure this process is set up and provide them your 2023-2025 sample schedule if necessary. The sample schedule is available online at www.mass.gov/service-details/public-water-suppli er-document- search . If you have any questions regarding this matter, please contact Katie Sousa Kathr�rt.sousa(i4mass.gov , Bill Schwartz William.schwartz(&mass.gov , or Sean Nugent sean.nug_entnmass.gov. Sirn:are y, Kathryn Sousa Drinking Water Program Bureau of Water Resources Encl. Sample Schedule Y:\DWP\Archive\SERO\Brewster-4041000-Water Quality -2022-11-28 ec: Paul Anderson, panderson(a brewster-ma.>;ov Brewster Board of Health, tmasonAbrewster-ma.gov This information is available in alternate format. Contact Glynis Bugg at 617-348-4040. TTY# MassRelay Service 1-800-439-2370 MassDEP Website: www.mass.gov/dep Printed on Recycled Paper d U U C In U) U � W mo O L7 C'J o M L _T C. U a a w 2 z w N o N a� W o 2w N i @ W Y O LL w m C. 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(D 0 c N O O N O) m � H H o 0 N N N T Uj E p C 0 O O (n D_ N O N C 3 C L C O N � � 0 !n o E V% N 4UJ � N � L � O a N C � N c0 o CD NO 3 'ow v E r to N c Z Z z Z Z c LL o O W c a U) U U) U) U)o f � � o > a W C LL LL LL LL LL LL m 2 U N E t U) iii U) U) iii N 00 (D C -P O U C _ O N 0 M N j Q Z Jn J LL J LL o d J 0 J Ur J (D J LL pL m 0 Q Q w C7 c w 0 U> Q> Q> Q o Q J V C N Z U) W W W Z J N WE o O Q 2 :2LL� LL J d'. > 2 w o C)W W W Z 'J M F- W Q LL U C7 W () O ww (D 2 W LL CO LL LL N V' > (o N W J ,:3 0 0 0 0 a c O O O O O « Z 0 0 0 0 0 c JQ Od m O Nt O O o p 0 coo II C:) po op o p �a a w a O O O O O � E W C7 W W (n co jJ W U) O Z z 2i Z co m O 00 rn m m 0 0 0 0 T 0 Z 0 I o. (D 0 c N O O N O) m � H H o 0 N N N T Uj E p C 0 O O (n D_ N O N C 3 C L C O N � � 0 !n o E V% N 4UJ � N � L � O a N C � N c0 o CD NO 3 'ow v E r to N c Z Z z Z Z c LL o O W c a U) U U) U) U)o f � � o > a W C LL LL LL LL LL LL m 2 U N E t U) iii U) U) iii N 00 (D C -P O U C _ O N 0 M N j Q Z Jn J LL J LL o d J 0 J Ur J (D J LL pL m 0 Q Q w C7 c w 0 U> Q> Q> Q o Q J V C N Z U) W W W Z J N WE o O Q 2 :2LL� LL J d'. > 2 w o C)W W W Z 'J M F- W Q LL U C7 W () O ww (D 2 W LL CO LL LL N V' > (o N W J ,:3 0 0 0 0 a c O O O O O « Z 0 0 0 0 0 c JQ Od m O Nt O O o p 0 coo II C:) po op o p �a a w a O O O O O � E Charles D. Baker Governor Karyn E. Polito Lieutenant Governor Commonwealth of Massachusetts Executive Office of Energy & Environmental Affairs Department of Environmental Protection Southeast Regional Office • 20 Riverside Drive, Lakeville MA 02347.508-946-2700 Sweetwater Forest Inc. Attn: Mr. James Rylander -P:O-Box 1-797 - --- - ---Brewster; MA 02631 - Dear Mr. Rylander, Bethany A. Card Secretary Martin Suuberg Commissioner November 30, 2022 RE: BREWSTER- Public Water Supply Sweetwater Forest Inc. - - ---- - ?WS-ID#:404.1004- -- - - - --Nater Quality Sampling Schedule Enclosed please fmd the 20232025 sampling schedule for your system. You will notice a slightly new format. Please take the time to review the document for accuracy. Note, this sampling schedule is being provided for your convenience and its accuracy is not guaranteed; it is the PWS's responsibility to comply with all regulatory sampling requirements. If you have recently applied for a waiver, it may not be reflected in the schedule. A revised 2023-2025 sampling schedule will be provided when waivers are approved. If you have any questions, please contact one of Regional Drinking Water Staff listed below. Additionally, earlier this year MassDEP Drinking Water Program issued a notice that all PWS must begin or continue to have their certified laboratories use eDEP for submittal of all applicable monitoring reports starting on January 1St, 2023 (3 10 CMR 22.03(13)). When the results are submitted electronically, a paper copy does not need to be mailed to the Regional Office. The online system, eDEP, requires all location codes and location names to accurately agree with your sample schedule. When completing a chain of custody, please make sure to list the location codes and names as they appear on the sampling schedule so that the lab will use the proper codes and names when submitting the results. Please contact your lab to make sure this process is set up and provide them your 2023-2025 sample schedule if necessary. The sample schedule is available online at www.mas s.gov/service-details/public-water-supplier-document- search . If you have any questions regarding this matter, please contact Katie Sousa Kathryn.sousa(a�mass.gov , Bill Schwartz William.schwartzna mass.gov , or Sean Nugent ean.nugent@mass.gov. Sincere y, Kathryn Sousa Drinking Water Program Bureau of Water Resources Encl. Sample Schedule Y:\DWP\Archive\SERO\Brewster-4041004-Water Quality -2022-11-30 ec: James Rylander, JHRYLANDERnn,AOL.COM Marisa Picone -Devine, mdevine(&sarianco.com Brewster Board of Health, brhealth(@brewster-ma.sov This information is available in alternate format. Contact Glynis Bugg at 617-348-4040. TTY# MassRelay Service 1.800-439-2370 MassDEP Website: www.mass.gov/dep Printed on Recycled Paper U Z U) Q' m FW- U U) W w m O O C O o T i�l o U d d � yr N z N Z a C fn W _ N. L O N o LL CL W W °1 o a� L W LL W 0) C CL U) E a) m E U c z U LL m a) N O Or O T a) N C C) 0 a) a) p a O U L U U O a U) C O O (D C (9 O O a) •— O N O .L-. c) O C OL °� 0 E O O T p U O C Co O O a) O U ) c `3 > m o Q m a) CU mw c w c m oa)� a flm. 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N C p O O V o � 0 c � � o w ° N � � � m o u � N V) N N O m t � o � o• m N of � U � � � O 0 0 y a E t � N N � C N i v c O m c m � � o � � a li, c ti O � U N E 0 � o >, n N d c V c 0 O N O a O N N m a) d U m N c N N fV) j C p O N y O E O m o 0 w N O w N m w a o ' Z y O• � E J J _ C7 J U w o W �o M J H J U J J ~ U o o 0 C) Q OV N0 CD CD 0 `o w c O O O N v � n. r E ° Q m � N T V o. N C p O O V o � 0 c � � o w ° N � � � m o u � N V) N N O m t � o � o• m N of � U � � � O 0 0 y a E t � N N � C N i v c O m c m � � o � � a li, c ti O � U N E 0 � o >, n N d c V c 0 O N O a O N N m a) d U m N c N N fV) j C p O N y O E O m o 0 w N O w N m w a o ' Z y O• � E Charles D. Baker Governor Katyn E. Polito Lieutenant Governor Commonwealth of Massachusetts Executive Office of Energy & Environmental Affairs Department of Environmental Protection Southeast Regional Office • 20 Riverside Drive, Lakeville MA 02347.508-946 2700 Bethany A. Card Secretary Martin Suuberg Commissioner I November 30, 2022 Girl Scouts of Eastern MA RE: BREWSTER- Public Water Supply Attn: Mr. Ben Smith Camp Favorite - - - --265-Beaver St. - - -- ----- - -- - - PWS ID#: 404-1006—--- - - ---- - - -- -- Waltham AM 02452 - -----_ --Nater Quality Sampling Schedule Dear Mr. Smith, Enclosed please find the 2023-2025 sampling schedule for your system. You will notice a slightly new format. Please take the time to review the document for accuracy. Note, this sampling schedule is being provided for your convenience and its accuracy is not guaranteed; it is the PWS's responsibility to comply with all regulatory sampling requirements. If you have recently applied for a waiver, it may not be reflected in the -schedule. A revised 2023-2025 sampling schedule will be provided when waivers are approved. If you have any questions, please contact one of Regional Drinking Water Staff listed below. Additionally, earlier this year MassDEP Drinking Water Program issued a notice that all PWS must begin or continue to have their certified laboratories use eDEP for submittal of all applicable monitoring reports starting on January 1St, 2023 (3 10 CMR 22.03(13)). When the results are submitted electronically, a paper copy does not need to be mailed to the Regional Office. The online system, eDEP, requires all location codes and location names to accurately agree with your sample schedule. When completing a chain of custody, please make sure to list the location codes and names as they appear on the sampling schedule so that the lab will use the proper codes and names when submitting the results. Please contact your lab to make sure this process is set up and provide them your 2023-2025 sample schedule if necessary. The sample schedule is available online at www.mas s.gov/service-details/public-water-supplier-document- search . If you have any questions regarding this matter, please contact Katie Sousa <aft.y@mass.gov Bill Schwartz William.schwartz(a�mass.gov , or Sean Nugent sean.nu ent ,mass.gov. Sincer y, Kathryn Sousa Drinking Water Program Bureau of Water Resources Encl. Sample Schedule Y:\DWP\Atchive\SERO\Brewster-4041006-Water Quality -2022-11-30 ec: Ben Smith, bsmith(a,ssema.ot•>; Rosemary Terra, rterra(insuwater.com Brewster Board of Health, brhealthQftewster-ma.gov This information is available in alternate format. Contact Glynis Bugg at 817-348-4040. 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O. N a c O U = � O N O N v N N m N d U N C vl a) � 0 C N N O N N O o N O O E y0 N O H W a) aNi a o . Z c ii) a 0 0 0 0 d d 0 z `o N II ai C N O `o O N m d = a� � n m � N T � Q 0 0 o � `o m � N d � C r • N 0^ N O y N � r � F- ai •� Q m N N � U � O 3 '_ m O v a E L � N N CI LL � 3 � o a I I N LL = a�ca O � U N E c m O >. O. N a c O U = � O N O N v N N m N d U N C vl a) � 0 C N N O N N O o N O O E y0 N O H W a) aNi a o . Z c ii) a Charles D. Baker Governor Karyn E. Polito Lieutenant Governor Commonwealth of Massachusetts Executive Office of Energy & Environmental Affairs Department of Environmental Protection Southeast Regional Office • 20 Riverside Drive, Lakeville MA 02347.508-946-2700 Camp Milton Crossroads for Kids Attn: Ms. Joanne Fay - --149 -Myrtle-St. ----- -1- 1. - - - — --- ----- - - _ Dux ury; - - 02332 - Dear Ms. Fay, Bethany A. Card Secretary Martin Suuberg Commissioner November 30, 2022 RE: BREWSTER- Public Water Supply Camp Mitton _.. ----PWS ID#: 4041007 ------ - - Water Qua ity Sampling Schedule Enclosed please find the 2023-2025 sampling schedule for your system. You will notice a slightly new format. Please take the time to review the document for accuracy. Note, this sampling schedule is being provided for your convenience andits accuracy is not guaranteed; it is the PWS's responsibility to comply with all regulatory sampling requirements. If you have recently applied for a waiver, it may not be reflected in the schedule. A revised 2023-2025 sampling schedule will be provided when waivers are approved. If you have any questions, please contact one of Regional Drinking Water Staff listed below. Additionally, earlier this year MassDEP Drinking Water Program issued a notice that all PWS must begin or continue to have if certified laboratories use eDEP for submittal of all applicable monitoring reports starting on January 1St, 2023 (3 10 CMR 22.03(13)). When the results are submitted electronically, a paper copy does not need to be mailed to the Regional Office. The online system, eDEP, requires all location codes and location names to accurately agree with your sample schedule. When completing a chain of custody, please make sure to list the location codes and names as they appear on the sampling schedule so that the lab will use the proper codes and names when submitting the results. Please contact your lab to make sure this process is set up and provide them your 2023-2025 sample schedule if necessary. The sample schedule is available online at www.mas s.gov/service-details/public-water-supplier-document- search . If you have any questions regarding this matter, please contact Katie Sousa Kathryn.sousa ,mass.gov , Bill Schwartz William.schwartz@mass.gov , or Sean Nugent sean.nuge,ni@mass.gov. Sincere y, Kathryn Sousa Drinking Water Program Bureau of Water Resources Encl. Sample Schedule Y:\DWP\Archive\SERO\Brewster-4041007-Water Quality -2022-11-30 ec: Joanne Fay, ioanne ,crossroadsma.orQ Marisa Picone -Devine, mdevine@sarianco.com Brewster Board of Health, brhealthAbrewster-ma.gov This information is available in alternate format. Contact Glynis Bugg at 617-3484040. TTY# MassRelay Service 1-800-439-2370 MassDEP Website: www.mass.gov/dep Printed on Recycled Paper L G m L Ci H O O � U W C a) N ° O (n m Co 00 O LL (n M = to 0) U O O L G m L U Z co � U W m LO C: N O _T 0 U a M N N. Z cu O} N C � C O a LL m Q U n' E a) @ L (0 Z U O •D Ci H 'o O � U W C C N ° O (n m m m U (n U Z co � U W m LO C: N O _T 0 U a M N N. Z cu O} N C � C O a LL m Q U n' E a) @ L (0 Z U O •D C O ui N � @ O O a) •- W a) U m O- O w (T O C O_ N 7 E �'o m mU U O a) m (0 M O 'O N O U w° mo (n ° ami c 0 0 � NCL N °• In m @ N L �O rL m m C N C m O N (6 d .0 E a) m C_ N O a E2 -0 U) ° U ") L@ d O U U : m U o W N 7 T n N o W 7 7 g a)o c U) -mo m cq-o a`) c n aI o Ci H O � O O U CD O O t1 (D o CD 0 U = � U LL U C O ui N � @ O O a) •- W a) U m O- O w (T O C O_ N 7 E �'o m mU U O a) m (0 M O 'O N O U w° mo (n ° ami c 0 0 � NCL N °• In m @ N L �O rL m m C N C m O N (6 d .0 E a) m C_ N O a E2 -0 U) ° U ") L@ d O U U : m U o W N 7 T n N o W 7 7 g a)o c U) -mo m cq-o a`) c n aI o Q awi lz Ci H ry H O O U N O CL t1 Q awi lz Ci ry U 0 <r U 0 0 0 0 0 0 0 0 0 0 0 0 W Z Z Z U U U U U LL LL LL Z CO U) J J J W J � W < a U U 1) LLI W Z o CD O z O O Q O Nt O J W J W a � < LL U J U J W C7 C) W I; O /yam o_ O O ZO J J W W a � Qa O U Q U I U J W C7 O o Z C) O U o 0 CD O 0 0 0 0 J L C Ci ry 0 <r m N O N LO C3N CD N 2' � H U 0 0 0 0 0 0 0 0 0 0 0 0 W Z Z Z U U U U U LL LL LL Z CO U) J J J W J � W < a U U 1) LLI W Z o CD O z O O Q O Nt O J W J W a � < LL U J U J W C7 C) W I; O /yam o_ O O ZO J J W W a � Qa O U Q U I U J W C7 O o Z C) O U o 0 CD O 0 0 0 0 J L C Ci co <r � N O N N CN 2' 0 0 0 0 0 0 0 0 0 0 0 0 W Z Z Z U U U U U LL LL LL Z CO U) J J J W J � W < a U U 1) LLI W Z o CD O z O O Q O Nt O J W J W a � < LL U J U J W C7 C) W I; O /yam o_ O O ZO J J W W a � Qa O U Q U I U J W C7 O o Z C) O U o 0 CD O 0 0 0 0 J L C Ci M � N O N N Q, 2' 0 0 0 0 0 0 0 0 0 0 0 0 W Z Z Z U U U U U LL LL LL Z CO U) J J J W J � W < a U U 1) LLI W Z o CD O z O O Q O Nt O J W J W a � < LL U J U J W C7 C) W I; O /yam o_ O O ZO J J W W a � Qa O U Q U I U J W C7 O o Z C) O U o 0 CD O 0 0 0 0 J L C COASTAL engineering co. TECHNICAL SERVICES 260 Cranberry Highway Orleans, MA 02653 508,255.6511 P 508.255,6700 F Orleans I Sandwich I Nantucket coastalengineeringcompany.com To: Brewster Town Hall Board of Health Department 2198 Main St Brewster, MA 02631 Subject: Cape Cod Sea Camps 3057 Main Street Brewster, MA GWDP 977-0 Plans � Copy of Letter We are sending the following items: Copies Date Nov Description 1 09/2022 C16845.07 Daily Log Sheet (Not field-tested — Camp is Closed) 1 09/2022 C16845,07 Monthly Discharge Monitor Report (Not sampled — Camp is Closed) 1 10/27/2022 C16845.07 eDEP Electronic Receipt 1 tul P 1 0 ?nq� ..,... TRANSMITTAL :�LTH Date: 10/27/2022 Via Specifications Project No. C16845.07 ®1st Class Mail Pick up Certified Fed Ex ® Other These are transmitted as checked below: for approval ®for your use �as requested for review 6 comment Remarks: Enclosed are the recent monthly reporting forms for the system at the above referenced location under GWDP 977-0. The laundry mat has been shut down since the camp has been closed. No flow or pH was able to be recorded and the distribution box was not sampled. Please do not hesitate to contact us if you have any questions or comments, JGS/acc By: John G. Schnaible Cc plombardi(agbrewster-ma,gov �aMAll c Q OCT 3,i 2022 NOTE: If enclosures are not as noted, please contact us at (508) Z55-6511 D:\DOC\C16800\16845,07 - No Physical Folder\Transmittals\2022 10-27 Transmittal (GWDP 2022).doc Orleans I Sandwich I Nantucket Date 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 Massachusetts Department of Environmental Protectiong�7 Bureau of Resource Protection - Groundwater Discharge Program 1. Permit Number Groundwater Permit 2. Tax identification Number DAILY LOG SHEET 2022 SEP DAILY 3, Sampling Month & Frequency C. Daily Readings/Analysis Information Effluent Reuse Irrigation Turbidity Influent pH Effluent Flow GPD Flow GPD Flow GPD pH NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS NS I';J gdpols.doc •rev. 09/15/15 Chlorine Residual (mg /1) uv Intensity Groundwater Permit Daily Log Sheet • Page 1 of 1 Massachusetts Department of Environmental Protection 977 Bureau of Resource Protection - Groundwater Discharge Program Groundwater Permit MONITORING WELL DATA REPORT C. Contaminant Analysis Information • For "0", below detection limit, less than (<) value, or not detected, enter "ND" • TNTC = too numerous to count. (Fecal results only) • NS = Not Sampled • DRY = Not enough water in well to sample. Parameter/Contaminant LAUNDRYEFFL Units Well #: 1 Tss NS MG/L OIL &GREASE NS MG/L FOAMING AGENTS (MBAs) NS MG/L mwdgwp-blank.doc •rev. 09/15/15 1. Permit Number 2. Tax identification Number 2022 SEP MONTHLY 3. Sampling Month & Frequency Well #: 2 Well #: 3 Well #: 4 Well #: 5 Well #: 6 Monitoring Well Data for Groundwater Permit •Page 1 of 1 10/27/22, 1:14 PM eDEP - MassDEP's OnlineFiling System - --_ MassDEP Home i Contact i Privacy Policy MassDEP's Online Filing System IlaarnameCASI�MR Receipt Summary/Receipt Your submission is complete. Thank you for using DEP's online reporting system. You can select "My eDEP" to see a list of your transactions. DEP Transaction ID: 1440999 Date and Time Submitted: 10/27/2022 1:13:33 PM Other Email : DEP Transaction ID: 1440999 Date and Time Submitted: 10/27/2022 1:13:33 PM Other Email : DEP Transaction ID: 1440999 Date and Time Submitted: 10/27/2022 1:13:33 PM Other Email : Form Name: Groundwater Discharge Monitoring Report Forms Facility Information: Tax Identification Number: 043070847 location: 3057 MAIN STREET Address: BREWSTER ZIP: 02631 Daily Log Sheet(2022 SEP DAILY) Form Name: Groundwater Discharge Monitoring Report Forms Facility Information: Tax Identification Number: 043070847 location: 3057 MAIN STREET Address: BREWSTER ZIP: 02631 Monitoring Well Data Report(1 - 2022 Sep Monthly) Form Name: Comments Forms Signature Receipt print receipt Exit My eDEP MassDEP Home i Contact I Privacy Policy MassDEP's Online Filing System ver.16.2.0.0© 2022 MassDEP https://edep.dep.mass.gov/eDEP/Pages/PrintReceipt.aspx 1/1 a '}1- r� 1 i 7r, _ P. ie `L • T ado' e N-10 lit ib `�• ,i 1' a i�Y a+; _ a Ne FT 99 t `) ♦� 4 years, unless local water districts come up with plans to mitigate nitrogen pollution. The new regulations would at first affect only Cape Cod, where decades of nitrogen pollution —primarily from septic systems — has led to severely diminished water quality in bays and estuaries. But the regulations will eventually expand to include other affected areas in Martha's Vineyard, Nantucket and the south coast of Massachusetts. WBUR is a nonprofit news organization. Our coverage relies on your financial support. If you value articles like the one you're reading right now, give today. "This is the biggest regulatory change I've seen in my 33 -year career," said Barnstable Town Manager Mark Ells. "This is enormous." In most Cape Cod households, wastewater from toilets, dishwashers, sinks and showers runs through septic systems that release liquid into nearby soil, rather than centralized water treatment plants. Because the soil on Cape Cod is so sandy and porous, dissolved nutrients —like nitrogen from urine — make their way to nearby waterways. Excess nitrogen prompts overgrowth of algae and invasive plants that smother native ecosystems, resulting in murky, foul-smelling water. Marybeth Chubb, the wastewater section chief at the Massachusetts Department of Environmental Protection (MassDEP), called the impacts on water quality "devastating." An algae bloom at Prince Cove in Marstons Mills. (Courtesy Barnstable Clean Water Coalition) The state is proposing two amendments to the "Title 5" regulations that govern the use of septic systems in the state. The first amendment would create "Nitrogen Sensitive Areas" where nitrogen pollution from septic systems is known to damage coastal waters. The second amendment would require that property owners within these areas replace or upgrade their septic systems within five years, unless their water district presents a community -wide watershed permit plan to combat nitrogen pollution. Replacing a septic system for a single-family home with an updated, nitrogen - filtering system could cost up to $35,000, said Zenas Crocker, executive director of the nonprofit Barnstable Clean Water Coalition. Upgrading an existing system to add additional filtration for nitrogen costs roughly $30,000. Replacing septic systems with municipal sewers is also expensive — Barnstable's plan to expand its sewer system to about 12,000 additional properties is estimated to " ��QM IF a IF ION IF IF FF- FbI FIFF TI-. fit �- Flow • • — r• VS. IF -rp IF I MIFF Fir OF OF OFF IFF, viIF It IF 1,6 IF IF 1p IF T i LLL Air- pF FF Vtz bp FFF% kf FIV IF Vv IS IF, OFFIFFIr IF le VV j� Cape Cod. "Those are legitimate concerns," said MassDEP's Marybeth Chubb. She noted that communities that choose to create watershed protection plans would have 20 years to implement them, which would "hopefully lessen those impacts" on homeowners. The proposed amendments were prompted by legal action from the Conservation Law Foundation (CLF), which has filed multiple lawsuits in recent years to reduce nitrogen pollution on Cape Cod. CLF has agreed to stay a lawsuit against the state as the new regulations roll out. CLF staff attorney Maggie Nivison said the new regulations should prod water districts to address nitrogen pollution at the community level. "Rather than leaving it to individual homeowners to upgrade their septic systems, communities should look at what's happening in their watershed," said Nivison. "That is going to be the least heavy lift for homeowners, and it should be the most efficient way to get those waters as clean as possible as soon as possible." The state will conduct three public hearings on the new regulations in November and December, with the first scheduled for Nov. 30 in Lakeville. Public comments will be accepted until December 16, and the state is expected to issue final regulations in early 2023. Related: • Cape Cod's water quality is getting worse, report finds • In coastal areas, rising seas can also mean failing septic tanks • Lawsuit Aims To Protect Cape Cod Waters From 'Putrid Smells And Unsightly Scums' Barbara Moran Correspondent, Climate and Environment Barbara Moran is a correspondent on WBUR's environmental team. More... 40 tiq, � ` �; '� 1� 300 —400 Million Gallons of Wastewater GaintoThet' round �F 4d d ,Eve ry. Year In.Brewstats , �x1A ajJJ[. Iry s 'IrtC VI AMVI VIV AC I IV -' .J• - Y --'. JI VIM MI ` VMV -'� �-���+Icr i�9ill P�in�l Cyun��hac(��t-in 61�ro�i�, ilu,�us1 202L i i I t �1 40 tiq, � ` �; '� 1� 300 —400 Million Gallons of Wastewater GaintoThet' round �F 4d d ,Eve ry. Year In.Brewstats , �x1A ajJJ[. Iry s 'IrtC VI AMVI VIV AC I IV -' .J• - Y --'. JI VIM MI ` VMV -'� �-���+Icr i�9ill P�in�l Cyun��hac(��t-in 61�ro�i�, ilu,�us1 202L i i i By John Keith and Susan Bridges Water quality issues on Cape Cod have been a growing concern for over 25 years. The causes are mostly due to human development—more houses, more roads, more lawns. Number one among the human causes— accounting for an estimated 80-85% of water impair- ment to freshwater ponds and estuaries—is nutrient loading from septic systems, specifically nitrogen and phosphorus. Fertilizer and stormwater runoff make up the remaining 15-20%. Why are nutrients bad? Nitrogen and phosphorus are essential for living things, but an overabundance in ponds or sea water promotes excessive algae and cyanobacteria growth. Cyanobacteria and algae blooms deplete the oxygen in the water and can lead to fish kills and loss of aquatic life, including turtles and frogs. Cyanobacteria blooms also produce toxins that can be life threatening to hu- mans, pets, and wildlife. Blooms have become more and more frequent in Cape Cod ponds. When blooms occur, health departments post warning signs against the use of the pond for recreational activities—some- thing that happened several times this past summer in Cliff, Walkers, Lower Mill, and Schoolhouse ponds. Putting it into perspective Every home, communal living facility, restaurant, busi- ness, and school in Brewster is connected to a septic system. In total, these septic systems process 300 to 400 million gallons of wastewater every year, the equivalent of 2-3 average -sized swimming pools per household! All of the wastewater from these houses and other buildings flows to septic tanks where the so- lids settle and harmful bacteria is treated. From the tanks, the wastewater, still containing most of the ni- . trogen and phosphorus, flows to a leach field and then to the sandy soil below. The wastewater percolates down through the sand to the underlying aquifer and from there flows slowly in the ground to a pond or to the Cape Cod or Pleasant Bays, as well as to any wells in the aquifer. Tackling Problem #1 Although we've known for years that septic systems are the number one source of nutrients impacting our ponds and bays, Cape Cod towns have been slow to develop remediation plans. The solutions are expen- sive and/or have been experimental. There are basically four ways to solve the problem: sewering and sewage treatment plants, alternative septic systems that re- move phosphorus and nitrogen, or a combination of the two. The fourth option, composting toilets, ap- pears to be an even harder sell. What Other Towns Are Doing Most of the 15 towns on Cape Cod are building or planning to build sewer systems and sewage treatment plants to replace septic systems in much of their towns, particularly in densely settled areas. Province - town, Barnstable, Chatham, Orleans, and Falmouth are in the process of expanding systems that have already -been built: Harwich,-Mashpee; and Yarmouth are also moving forward with approved plans, while Dennis is in the planning development phase. Wellfleet has de- veloped aphased plan including a mixture of upgraded _.__septic systems to_remove_nitrogen and -semi -permeable barriers- to remove nitrogen in the aquifer before the water reaches Wellfleet Harbor. What about Brewster? Only Truro and Brewster do not have a comprehensive plan in the works to address the problem of nutrients from septic systems. The only area of Brewster where action is actively being planned at present is where the aquifer flows to- wards Pleasant Bay —basically the southeast corner of town. Yet, this is one of the least densely populated neighborhoods (fewest septic systems) and contains the most open space. Other large areas of Brewster have not been studied because the Massachusetts De- partment of Environmental Protection (MassDEP) focus in the past has been primarily on Cape Cod's bays and estuaries. Pleasant Bay is considered impaired due to excess nitrogen discharges by MassDEP. Brewster is currently part of the Pleasant Bay Watershed Permit along with Orleans, Harwich and Chatham, charged by the Mass - DEP with reducing the flow of nitrogen into Pleasant Bay. Proposed solutions for Brewster from the town's environmental engineering firm, Horsley -Witten Group, include reduction of fertilizer use at Captains Golf Course, anitrogen-removing alternative septic system at the course, and possibly neighborhood wastewater collection and treatment in parts of south- east Brewster. MassDEP has recognized that traditional Title 5 septic systems do not remove nitrogen and phospho- rus. They are in the process of revising Title 5 regula- tions for "nitrogen sensitive areas" —mainly watersheds draining into saltwater bays and estuaries. Although the focus is currently on estuaries and the bay, new regulations pertaining to freshwater impacts from septic systems will not be far behind since Mass - DEP has recognized that phosphorus for septic sys- tems is impacting freshwater ponds. Has Brewster Tried to Address Septic System Impacts in the Past? According to the Town of Brewster Environmental Consultants, Horsley -Witten, and other sources, phos- phorus, unlike nitrogen, generally does not travel as far in groundwater. This is because normally it binds to iron and manganese in subsurface soils and sed- iments. However, Cape Cod's sandy soils contain less iron than in other parts of the state. So, -while phos= phorus may travel more slowly, it is still a concern. Septic systems of more immediate concern are those with leach fields within 300 feet of a pond on the - --upgradient-side (where groundwater travels towards - - -the pond) -arid also septic systems within 100 feet on the downgradient side (since diffusion in the slow- 7 Two -three swimming pools per household worth of waste- water is leached into groundwater every year in Brewster moving aquifers can impact nearby upgradient water). Leach fields farther than 300 feet from ponds might also present risks to ponds where soils are very low in iron (which is the case in some sandy soils), or the sys- tems have been in use for many decades. Recent studies have shown that nitrogen can also be a concern in ponds, as the combination of nitrogen and phospho- rus can lead to the growth of cyanobacteria. In 2009, the Town of Brewster began a detailed study titled The Integrated Water Resource Management Plan or IWRMP to identify the Town's water quality is- sues and to propose strategies to protect and restore water quality. Water testing at that time revealed that the majority of Brewster's 80+ ponds were impaired to some extent. An update to the IWRMP in 2013 re- viewed regulations governing water quality manage- ment in Brewster and made recommendations for restoring and protecting water quality for drinking Continued on page 10 Does Brewster Have A Plan? Continued from page 7 water, freshwater ponds, and coastal estuaries. This re- port prompted the Board of Health to adopt a regula. tion prohibiting septic system leach fields within 300 feet of a pond for new construction. However, the reg- ulation does not address the roughly 600 properties that are already within the 30046ot buffer zone. In 2016, at the town's request, Horsley -Witten drafted a revision to the Board of Health regulation which would have required septic systems with leach fields within 300 feet upgradient or 100 feet down .9 of a pond toeither move beyond those distances or install alternative technology that will remove phos- phorus. The proposed regulation was discussed at a public Board of Health Hearing in 2016 but was not _adopted .due -to-questions about -the effectiveness of the -- phosphorus -reducing technologies of the time, as well as concerns about the implementation cost and how costs would be funded. S% 6EWSTER No dottem Pand $in(Nlry n �.nr r137 , ,V i �� Cong Pond wnoelanas discussed above and a Fresh Water Ponds Project, The Fresh Water Ponds Project includes three rec- ommendations: 1. Development of an updated report on pond water quality, since the last report dates back to 2009 and is now out of date. 2. Development of a pilot program for septic upgrades near freshwater ponds. 3. Installation of phosphorus removing septic systems for homes adjacent to ponds, with a town -run manage- ment entity to assure . effective. operation . . In another positive step, the Town of Brewster's Select Board's 2023-24 Strategic Plan includes a goal to "Con- vene a new Water Resources Task Force and develop__ ------ --an-updated plan and timeline for advancing integrated water quality initiatives, to include addressing DEPS proposed changes to Title 5 regulations and continuing collaboration with external stakeholders." The task force will be led by the Town Admin- �1r; istrator and include the Natural Resources Director, Health Director, Town Planner, �- Select Board Liaison, representative of the L' Cape Cod & Islands Water Protection Fund, Board of Health Chair or designee, Natural Resources Chair or designee, and the Brewster Ponds Coalition President or designee. - -- An important first step for this task =CRY ' force will be to ask the town to fund a - Z EWS- Large swaths of Brewster are now categorized as urbanized"�by the U.S. Census comprehensive water resources protection lan for thBureau. Fast forward to 2022 Newer alternative septic system technologies that can remove phosphorus have been developed and are being tested at the Massachusetts Alternative Septic System Test Center (MASSTC) and a few pilot pro- grams in Barnstable County. State and local funding opportunities are now available through the State Re- volving Fund and Cape Cod and Islands Water Protec- tion Fund for upgrading septic systems when they are part of a comprehensive water plan. The Integrated Water Resource Management Plan 2022 Update presented to the Brewster Select Board by Hors- ley -Witten earlier this year outlined recommendations for two projects: the Pleasant Bay Watershed Project 10 � s,wfity" pe entire town that specifically :3t..033im 12°=2?3i addresses the impact of septic systems on : the ponds, sea water, and the aquifer. The recommended solutions may include al- ternative septic systems, neighborhood sewer systems in some areas, or combina- tions of these. The town must be prepared to fund both the study now, and in the future, the remediation projects which the study recommends (after consid- ering public input). These future projects will be costly even with state and local funding opportunities. Doing nothing is not an option. Beautiful, healthy ponds and beaches are critical to our individual health, our enjoyment of living here, and the economic vi- brancy of our town. As a community we need to answer three questions: Who benefits if the ponds and estuaries are restored? Who suffers if the ponds and estuaries are allowed to deteriorate? Who should share in the cost? What to Expect When Getting Tested All adults, pregnant women, and people with risk factors should - get tested for hepatitis C. Most people who get infected with hepatitis C virus (HCV) develop a chronic, -or -lifelong,. infection. -Left untreated, chronic hepatitis C can cause serious health problems, including liver damage, cirrhosis, liver cancer, and even death. People can live without symptoms or feeling sick, so testing is the only way to know if you have hepatitis C. Getting tested is important to find out if you are infected so you can get lifesaving treatment that can cure hepatitis C. Getting tested for hepatitis C A blood test, called an HCV antibody test, is used to find out if someone has ever been infected with the hepatitis C virus. The HCV antibody test, sometimes called the anti -HCV test, looks for antibodies to the hepatitis C virus in blood. Antibodies are chemicals released into the bloodstream when someone gets infected. Test results can take anywhere from a few days to a few weeks to come back. Rapid anti -HCV tests are available in some health clinics and the results of these tests are available in 20 to 30 minutes. What does anon -reactive HCV antibody test result mean? A non-reactive or negative antibody test means that you are not currently infected with the hepatitis C virus. However, if you think you might have been exposed to hepatitis C in the last 6 months, you will need to be tested again. U.S. Department of Health and Human Services Centers for Diseaze Control and Prevention What does a reactive HCV antibody test result mean? A reactive or positive antibody test means you have been infected with the hepatitis C virus at some point in time. ___Once people have been infected, they will always_have__ antibodies in their blood.This is true if they have cleared the virus, have been cured, or still have the virus in their blood. A reactive antibody test does not necessarily mean that you currently have hepatitis C and a follow-up test is needed. What to do if the HCV antibody test is reactive If the antibody test is reactive or positive, you need an additional test to see if you currently have hepatitis C. This test is called a nucleic acid test (NAT) for HCV RNA. Another name used for this testis a PCR test. If the NAT for HCV RNA is: • Negative -you werenfected iwith hepatitis C virus, but the virus is no longer in your body because you were cured or cleared the virus naturally. • Positive -you now have the virus in your blood. If you have a reactive antibody test and a positive NAT for HCV RNA, you will need to talk to a doctor about treatment. Treatments are available that can cure most people with hepatitis C in 8 to 12 weeks. www.cdc.gov/hepatitis Apri12020