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Last modified
12/19/2025 1:41:10 PM
Creation date
12/19/2025 1:39:54 PM
Metadata
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Template:
Official Documents
Official Document Type
Work Order
Approved Date
12/09/2025
Control Number
2025-291
Agenda Item Number
16.B.2.
Entity Name
Geosyntec Consultants
Subject
Work Order 10 for Annual Compliance Monitoring and Reporting for 2026
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Mr. Himanshu H. Mehta, P.E. <br />13 November 2025 <br />Page 2 <br />The Class I landfill currently accepts both Class I waste and C&D debris for disposal under the <br />Florida Department of Environmental Protection (FDEP) Construct and Operate Permit Permit <br />Nos. 0128769 -022 -SC and 0128769 -023 -SO, issued 5 January 2016 with Minor Permit <br />Modification No. 0128769 -034 -SO -MM, dated 1 March 2024 (Class I Permit). The C&D debris <br />disposal facility operates under FDEP Permit No. 0128769 -032 -SO -24, dated June 1, 2022 <br />(C&D Permit). <br />Semi -Annual Water Ouality Compliance Monitoring and Reporting <br />The Water Quality Monitoring Plan (WQMP) for each of the IRCL facilities permits (which is <br />listed as Appendix 3 of each permit) indicates that groundwater and surface water quality <br />monitoring are required. Semi-annual sampling of the Class I landfill and C&D debris disposal <br />facility groundwater monitoring wells shall be conducted in January and July 2026. The samples <br />collected from the Class I landfill and C&D debris disposal facility monitoring wells shall be <br />analyzed for the routine monitoring parameters listed in Section 11.3 (Class I Permit) and <br />Paragraph 8 (C&D Permit) of the WQMP, respectively, as required by paragraphs 62- <br />701.510(5)(c) & (7)(a) and 62-701.730(8)(d), Florida Administrative Code (F.A.C.). Samples <br />from one surface water monitoring site (SW -2) shall be collected semi-annually in January and <br />July, if water is discharging from the stormwater pond. The samples, if collected, shall be <br />analyzed for the list of parameters listed in Section 111.2 of the Class I Landfill WQMP, as <br />required by paragraphs 62-701.510 (5)(d) and (7)(b), F.A.C. <br />Geosyntec will perform field sampling activities, and the analytical testing will be conducted by <br />Eurofins Scientific Laboratory (Eurofins), the analytical laboratory contracted with, and direct <br />bill to, SWDD. The results of the semi-annual water -quality monitoring events are to be <br />reported to the FDEP within 60 days of receipt of analysis from the laboratory. <br />Ouarterly Assessment Monitoring for the C&D Debris Disposal Facility <br />Geosyntec understands that results of routine sampling of C&D debris disposal facility <br />groundwater monitoring well (MW -21 S) in January 2017 indicated exceedances of benzene and <br />sodium groundwater cleanup target levels (GCTLs). As a result, the SWDD was requested by <br />the FDEP to initiate evaluation monitoring in accordance with subsection 62-701.510(6), F.A.C. <br />Pursuant to this request the SWDD installed one groundwater monitoring well (MW -49S) in July <br />2017. These and other wells (MW -21S, MW -33S, MW -35S, MW -40S, MW -49S, MW -50S, <br />MW -51S, and MW -52S) and seven surface water (SW) Lateral Canal (LC) sample sites (SW - <br />LCI, SW-LC2, SW-LC3, LC-SW4, LC-SW5, LC-SW6, and LC-SW8) have been sampled <br />quarterly from July 2017 to October 2020 under an evaluation monitoring program with the <br />FDEP. However, in correspondence dated 14 October 2019 from the FDEP to the SWDD, the <br />NCP2525467/2026 Compliance Monitoring Proposal_F <br />engineers I scientists I innovators <br />
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