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Last modified
12/19/2025 1:41:10 PM
Creation date
12/19/2025 1:39:54 PM
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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 3 <br />FDEP approved the SWDD's request to replace the evaluation monitoring of the eight <br />groundwater wells and surface water sample sites with quarterly assessment monitoring and with <br />the addition of other parameters (arsenic, benzene, naphthalene, and other semi -volatile organic <br />compounds [VOCs]) to the suite of parameters to be analyzed for at these wells. The FDEP also <br />requested sampling of additional surface water sites in the Lateral C Canal for the purpose of <br />establishing background water -quality conditions. Therefore, in 2020 Geosyntec working on <br />behalf of the SWDD sampled all seven surface water sites except for April 2020 where the FDEP <br />agreed to a reduction to three locations. In 2021, Geosyntec working on behalf of the SWDD <br />eliminated six surface water sampling locations (SW-LC2, LC-SW5, LC-SW7, LC-SW8, LC- <br />SW9 and LC-SW10) and discontinued the sampling of MW -33S and MW -355. Additionally, <br />Geosyntec working on behalf of the SWDD in 2021 reduced the collection frequency of arsenic, <br />benzene, naphthalene, 1 -methylnaphthalene, 2 -methylnaphthalene, acenaphthene, and anthracene <br />at MW -21S and MW -49S from quarterly to semi-annual. Geosyntec will continue working with <br />the FDEP to further reduce the surface and groundwater quarterly sampling scope at the C&D <br />debris disposal facility in 2026 in order to provide overall cost savings to the County. <br />Therefore, in addition to the semi-annual sampling of the C&D debris disposal facility <br />monitoring wells in January and July 2026, five wells and four surface water sample sites will <br />also be sampled in April and October 2026 as part of the 2026 compliance monitoring and <br />reporting program. <br />uarterly Assessment Monitoring for the Class I Landfill <br />A comment letter from the FDEP dated 6 May 2020 provided comments regarding the results of <br />the January 2020 Semi -Annual Water Quality Monitoring Report for the Class I landfill. The <br />FDEP provided notification to the SWDD to initiate evaluation monitoring at all monitoring <br />wells with detected exceedances above applicable (GCTLs for pH, ammonia, chloride, sodium, <br />total dissolved solids (TDS) and arsenic. Geosyntec provided a response to comments (RTC) <br />letter to the FDEP comment letter on 28 May 2020 which focused on the long-term trends with <br />the dataset available from the FDEP Water Assurance Compliance System (WACS) database <br />and requested a reduction of evaluation monitoring locations from 25 locations (as originally <br />requested by the FDEP in the 8 May 2020 letter) to four (4) locations (specifically downgradient <br />of MW -3S, MW -145, MW -44S and MW -441). The FDEP approved this request in a letter dated <br />14 August 2020 and the 90 -day evaluation monitoring period was initiated on 17 September <br />2020 through a second RTC letter provided to the FDEP. Geosyntec installed the three (3) <br />groundwater evaluation monitoring wells in November 2020 (evaluation monitoring well not <br />installed downgradient of MW -14S since MW -14S was already located at the edge of the Class I <br />landfill zone of discharge), sampled the four (4) quarterly wells and collected field parameters <br />from two staff gauges (C5 -SWI and C5-SW3) for Total Ammonia Nitrogen (TAN) calculation <br />NCP2525467/2026 Compliance Monitoring Proposal_F <br />, innovators <br />
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