Jay: Please find enclosed the updated Injunction document. The ...

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King, Morella s Zimmerman, Jay Watts, Debra; Smith, Eric; Wilcox, Betty; Kegley, Geoff RE: Duke Injunction Cases; Draft Amended Complaints to add 6 facilities to each complaint; Attorney Client Privileged and Attorney Work Product Monday, July 29, 2013 2:31:27 PM Draft Duke Energy Progress Second Amended Injunction Complaint- Edited Sutton 07 29 2013.docx Sutton Plant- GW-59 Violation and Exceedance Table (2010-2013).xls

Jay:   Please find enclosed the updated Injunction document.  The paragraphs related to groundwater exceedances at the Sutton Plant ash ponds (from page 47 through 56) have been updated.  I am also including a table that summarizes the number of exceedances/violations per well.  According to paragraph 237, a summary table would be included in Exhibit 12 of the injunction document- I think that the table we prepared is appropriate for the exhibit.    Why does not the document include pH violations?   Please let me know if anything else is needed from this side.   Thanks,   Morella   p.s.  Jay:  The document does not address the fact that there are receptors (Cape Fear Public Utility Authority wells serving the Flemington Community).  The two wells are located ~2,200 ft from the compliance boundary or ~2,700 ft from the edge of the ash ponds.  I would like to know if this should be included in the document, or if I should write a letter to Duke.  Please advise.   Thanks!       ===========

Morella Sanchez King 910 796 7218   From: Zimmerman, Jay Sent: Monday, July 22, 2013 9:16 AM To: Barnhardt, Art; Bolich, Rick; Davidson, Landon; King, Morella s; Knight, Sherri; May, David; Pitner, Andrew Cc: Watts, Debra; Smith, Eric; Wilcox, Betty Subject: FW: Duke Injunction Cases; Draft Amended Complaints to add 6 facilities to each complaint; Attorney Client Privileged and Attorney Work Product Importance: High

  All,  

Recently I met with DENR management and our attorneys concerning future actions we were considering to take against the remaining Duke facilities. In order to be prepared once a decision has been made concerning that future action, please conduct a thorough review of the amended injunction complaints and groundwater quality data that you have for each Duke or Progress facility as requested by Kathy Cooper and determine whether or not violations of 2L standards exist for each parameter and for each well at or beyond the compliance boundary.  The goal is to determine the total number of violations that have occurred (e.g.- number of parameters exceeded and the number of times exceeded for each well).  I’d like to have this by the COB on Monday, July 29,2013.  Please forward to Eric Smith and copy Betty and Debra and me.   I realize that determining whether or not violations exist in the groundwater for each of these facilities can be difficult at times, particularly since some of the parameters occur naturally in the groundwater at the various sites. As always, use your best professional judgment in light of the information that you have and your respective knowledge of the groundwater conditions in your regions.  Each of you must feel comfortable with your decisions concerning whether or not violations exist.  Feel free to call me if you wish to discuss.   Thanks,   Jay   Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties unless the content is exempt by statute or other regulation.

 

From: Cooper, Kathy [mailto:[email protected]] Sent: Friday, July 19, 2013 5:23 PM To: Matthews, Matt; Zimmerman, Jay Cc: Poupart, Jeff; Smith, Eric; Watts, Debra; Laton, Don; LeVeaux, Anita; Oliver, Jane; Davidson, Landon; Presnell, Lacy; Osborne, Jay L Subject: Duke Injunction Cases; Draft Amended Complaints to add 6 facilities to each complaint; Attorney Client Privileged and Attorney Work Product

  All,   Attached are the draft amended complaints to add the six Duke Energy Carolinas Facilities to the Riverbend Complaint and to add the six Duke Energy Progress Facilities to the Asheville Complaint.   Please review the documents and let us know the changes we should make after the regional offices go out and inspect the facilities, especially where we have said “upon information and belief” in the documents.  Those sections are highlighted.  Also, we need more current information on the groundwater exceedances as well.  If you take us up to July 31st, that would be great.   Please let Don, Anita Jane and I know if you have any questions.   Thanks,   Kathy Cooper  

Kathryn Jones Cooper Special Deputy Attorney General Water and Land Section Environmental Division

Post Office Box 629 Raleigh, NC 27602-0629 (919) 716-6600 (main telephone number) (919) 716-6960 (direct dial) (919) 716-6766 (fax) [email protected]

  From: Cooper, Kathy Sent: Friday, July 19, 2013 11:16 AM To: 'Presnell, Lacy'; Zimmerman, Jay; Osborne, Jay L Cc: Matthews, Matt; Poupart, Jeff; Smith, Eric; Watts, Debra; Laton, Don; LeVeaux, Anita; Oliver, Jane; Davidson, Landon Subject: RE: State of NC ex. rel. DENR, DWQ v. Duke Energy Carolinas; Attorney Client Privileged and Attorney Work Product

  Lacy,   We have conferred with Duke’s counsel about the clarification of Draft Consent Order Concerning Paragraph 36.  Here is the language that we would like to be posted on DWQ’s website:                   For clarification purposes, the there is a typographical error in the Draft Consent Order in the first sentence in paragraph 36 which will be corrected in the final document.  The sentence will be rewritten to substitute ¶33 for ¶34 to read as follows:                   36.          No later than 120 days of the DWQ determination of naturally occurring  concentrations, Duke Energy Progress shall submit a report evaluating whether or not substances in compliance boundary wells (other than those addressed in ¶ 33  above) exceed the groundwater standards.     If that language looks OK to you all, can someone in DWQ get it posted and let me know when it has been posted so I can respond to DJ Gerken?   Thanks,   Kathy Cooper   Kathryn Jones Cooper Special Deputy Attorney General

Water and Land Section Environmental Division

Post Office Box 629 Raleigh, NC 27602-0629 (919) 716-6600 (main telephone number) (919) 716-6960 (direct dial) (919) 716-6766 (fax) [email protected]

  From: Presnell, Lacy [mailto:[email protected]] Sent: Thursday, July 18, 2013 3:48 PM To: Cooper, Kathy; Zimmerman, Jay; Osborne, Jay L Cc: Matthews, Matt; Poupart, Jeff; Smith, Eric; Watts, Debra; Laton, Don; LeVeaux, Anita; Oliver, Jane; Davidson, Landon Subject: RE: State of NC ex. rel. DENR, DWQ v. Duke Energy Carolinas; Attorney Client Privileged and Attorney Work Product

  My inclination is to consult with Charles Case, and, if Duke concurs, post a simple note on the DWQ website about the correction.  Let me know if you think a different approach is better.    Lacy M. Presnell  III General Counsel N.C. Department of Environment and Natural Resources   Telephone:  919-707-8616   Mailing Address: 1601 Mail Service Center Raleigh, NC  27699-1601   Physical Address: 217 W. Jones Street Raleigh, NC  27603     E-mail correspondence to and from this address may be subject to the North Carolina Public Records Law and may be disclosed to third parties.

      From: Cooper, Kathy [mailto:[email protected]] Sent: Thursday, July 18, 2013 12:29 PM To: Zimmerman, Jay; Presnell, Lacy; Osborne, Jay L Cc: Matthews, Matt; Poupart, Jeff; Smith, Eric; Watts, Debra; Laton, Don; LeVeaux, Anita; Oliver, Jane; Davidson, Landon Subject: RE: State of NC ex. rel. DENR, DWQ v. Duke Energy Carolinas; Attorney Client Privileged and Attorney Work Product

  Thanks Jay.

  Lacy, do you think we should put a note on the website acknowledging that change?  We (Don, Anita, Jane and I) can draft something at our meeting at 2 pm today.   Thanks,   Kathy Cooper   Kathryn Jones Cooper Special Deputy Attorney General Water and Land Section Environmental Division

Post Office Box 629 Raleigh, NC 27602-0629 (919) 716-6600 (main telephone number) (919) 716-6960 (direct dial) (919) 716-6766 (fax) [email protected]

  From: Zimmerman, Jay [mailto:[email protected]] Sent: Thursday, July 18, 2013 12:17 PM To: Cooper, Kathy; Presnell, Lacy; Osborne, Jay L Cc: Matthews, Matt; Poupart, Jeff; Smith, Eric; Watts, Debra; Laton, Don; LeVeaux, Anita; Oliver, Jane; Davidson, Landon Subject: RE: State of NC ex. rel. DENR, DWQ v. Duke Energy Carolinas

  Good catch by Mr. Gerken although it appears he may have also incorrectly referenced a paragraph. When Mr. Gerken references ‘whether the third sentence in ¶ 35 of the proposed consent,

which currently reads “(other than those addressed in ¶ 34),” is a typographical error that instead should cross-reference ¶33.’, I believe he is in error.   I believe he meant to say “the third line in ¶ 36” .  And yes, the reference should be to paragraph 33 and not 34.   Jay    

S. Jay Zimmerman, L.G. Chief, Aquifer Protection Section Division of Water Quality   1636 Mail Service Center, Raleigh, NC 27699-1636 Ph# (919) 807-6351, Fax# (919)807-6480

web page: http://portal.ncdenr.org/web/wq/aps   Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties unless the content is exempt by statute or other regulation.

 

From: Cooper, Kathy [mailto:[email protected]] Sent: Thursday, July 18, 2013 11:18 AM To: Presnell, Lacy; Osborne, Jay L

Cc: Zimmerman, Jay; Matthews, Matt; Poupart, Jeff; Smith, Eric; Watts, Debra; Laton, Don; LeVeaux, Anita; Oliver, Jane Subject: FW: State of NC ex. rel. DENR, DWQ v. Duke Energy Carolinas

  Everyone,   DJ Gerken called yesterday afternoon with a question the Draft Consent Order. I asked him to put his question in writing to me so that we could adequately research it and possibly modify the draft or put a statement on the website and contact counsel in the cases to make any necessary clarifications.   Please see his issue below; review the paragraphs he cites and let me know if we need to clarify/modify the Draft Consent Order.  We traded so many versions on the last few days that we may have inadvertently cited to the wrong paragraph (Paragraph 34) in Paragraph 35 as to what DWQ would do with the data concerning background info.    Let me know what you think.   Thanks,   Kathy Cooper   Kathryn Jones Cooper Special Deputy Attorney General Water and Land Section Environmental Division

Post Office Box 629 Raleigh, NC 27602-0629 (919) 716-6600 (main telephone number) (919) 716-6960 (direct dial) (919) 716-6766 (fax) [email protected]

  From: DJ Gerken [mailto:[email protected]] Sent: Wednesday, July 17, 2013 6:11 PM To: Cooper, Kathy Subject: RE: State of NC ex. rel. DENR, DWQ v. Duke Energy Carolinas

 

Kathy – Thanks for taking time to speak with me today.  As we discussed on the phone briefly, I am seeking a clarification about the text of the proposed consent agreement.  At its simplest, my question is whether the third sentence in ¶ 35 of the proposed consent, which currently reads “(other than those addressed in ¶ 34),” is a typographical error that instead should cross-reference ¶33. As I understand the proposed agreement, ¶33 applies to the groundwater

exceedences described in ¶¶83-89 of the amended complaint, which the state has alleged are “violations of the groundwater standards.”   I think I understand ¶¶34-37 of the proposed agreement to deal with the exceedences alleged in ¶¶ 90-98 of the amended complaint, which the state alleged it was “working with the Defendant to determine if these exceedences are naturally occurring.”    If my understanding of the general structure is right, the statement in ¶35 that it excludes the exceedences addressed in ¶34 would seem to be a typographical error.  It would fit more logically if ¶35 was instead excluding the exceedences covered by ¶33. I would like to get clarification on that point, if that is possible, as soon as practicable as I don’t want to burden the process by raising an illusory concern. I am of course happy to reach out to Duke’s counsel with the same question – or for you to do so if you prefer – I just thought it easier to start with a conversation. Thank you DJ

      DJ Gerken Senior Attorney Southern Environmental Law Center [email protected] 22 S. Pack Square, Suite 700 Asheville, North Carolina 28801-3494 Tel: (828) 258-2023 Fax: (828) 258-2024