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It has been determined that the influent to the WRWWTF has nutrient strengths beyond the design capacity of <br />the plant, rendering it incapable of meeting permit limits and thus future permit violations may not be <br />avoidable until eitherthe influent falls within the design characteristics of the WRWWTF or these sources of <br />elevated loadings are removed from the influent. As the findings above show, the contribution from the RDF <br />represents a significant portion of the nutrient overloading of the WRWWTF. <br />On April 1, 2017, a manifest log system was implemented at the landfill scale house to more accurately <br />track what is discharged to the RDF. This system required all haulers to supply to IRCDUS the information <br />that is required for their Florida Department of Health (FDOH) permits under Florida Administrative Code <br />(FAC) Chapter 64E-6.010. A review of the logs to date has confirmed that a significant percentage of the <br />incoming hauled waste to the RDF is generated outside of Indian River County (see Figures 3 and 4). <br />3. <br />HAULED WASTE BY SEPTIC HAULERS <br />VOLUME BY COUNT" °"""e^ or Inn PALM BEACH. 4.000 <br />(IN GALLONS) <br />5T. LUCIE, 433,4 <br />OKFFrmnRFF_ 750 <br />,e 4. <br />HAULED WASTE BY SEPTIC HAULERS <br />SOURCE OF VOLUME <br />OUT OF COUNTI <br />66% <br />MARTIN, 210,100 <br />RIVER, 382,340 <br />From April 1 to April 24, 2017 <br />N RIVER <br />4% <br />From April 1 to April 24, 2017 <br />As shown above in the charts, it has been ascertained that approximately 66% of the hauled waste brought to <br />the site by septic haulers is not generated in Indian River County. These wastes come from commercial, <br />Page 3 of 8 <br />C:\Users\GRAN IC^1\AppData\Local\Temp\BCL Tech nologies\easyPDF 7\@BCL@60050827\@BCL@6005C827.docx <br />P217 <br />