Violation ID |
Occurrence Date |
Violation Type |
Violation Description(-) |
Violation Status |
Priority |
Source |
Facility Name |
Violated Reg. Meas. ID |
Violated Reg. Meas. Order No. |
Linked to Enf. |
1069895 |
01/28/2020 |
Groundwater |
b. Discharge Specification C.1 of the WDRs states: ¿Neither the treatment nor the discharge shall cause a nuisance or condition of pollution as defined by the California Water Code, Section 13050¿, and Discharge Specification C.1 of the WDRs states: ¿The discharge shall not cause degradation of any water supply.¿ The following are violations of these requirements: iii. Recent coliform results indicate that groundwater may have been impacted by golf course operation. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1089912 |
05/13/2021 |
Deficient Monitoring |
The Discharger submits multiple reports each month, with each report being prepared by a different responsible party and covering different requirements of the MRP. These include the November 2020 report typically submitted by Perc Water Corporation, the current contract operator. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1089913 |
05/13/2021 |
Deficient Monitoring |
The Discharger submits multiple reports each month, with each report being prepared by a different responsible party and covering different requirements of the MRP. These include the February 2021 report typically submitted by Perc Water Corporation, the current contract operator. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1069896 |
01/28/2020 |
Order Conditions |
c. Discharge Specification C.6 of the WDRs states: ¿A 2.0-foot freeboard shall be maintained in all treatment and storage ponds at all times or an operational plan shall be submitted which shows why a 2.0-foot freeboard is not needed to prevent overtopping of the berms.¿ Several freeboard violations for the tertiary plant ponds. Violations appear to have been addressed in the monitoring reports. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1069892 |
01/28/2020 |
Deficient Monitoring |
a. Discharge Prohibition C.1 of the WDRs states: ¿Discharge of wastes to surface waters or surface water drainage courses is prohibited¿, and Discharge Specification D.3 of the WDRs states: ¿The discharge shall remain within the designated disposal area at all times.¿ The discharge of effluent from the Golf Course ponds to Mule Creek is a violation of these requirements. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1089911 |
05/13/2021 |
Deficient Monitoring |
it does not appear that any of the monitoring required under the Castle Oaks Golf Course Disposal Field Monitoring section of the MRP. This is a violation of the WDRs. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1069897 |
01/28/2020 |
Order Conditions |
d. Discharge Specification C.6 of the WDRs states: ¿The dissolved oxygen content of holding ponds shall not be less than 1.0 mg/l for 16 hours in any 24-hour period.¿ Several dissolved oxygen violations at the Golf Course ponds. Violations appear to have been addressed in the monitoring reports. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1069893 |
01/28/2020 |
Deficient Monitoring |
b. Discharge Specification C.1 of the WDRs states: ¿Neither the treatment nor the discharge shall cause a nuisance or condition of pollution as defined by the California Water Code, Section 13050¿, and Discharge Specification C.1 of the WDRs states: ¿The discharge shall not cause degradation of any water supply.¿ The following are violations of these requirements: i. Arsenic was detected above the Maximum concentration limit of 0.01 mg/L in the Henderson Storage reservoir for all monthly samples reported in 2019. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1089914 |
05/13/2021 |
Deficient Monitoring |
The Discharger submits multiple reports each month, with each report being prepared by a different responsible party and covering different requirements of the MRP. These include the March 2021 report typically submitted by Perc Water Corporation, the current contract operator. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1069891 |
01/28/2020 |
Deficient Monitoring |
¿ Acreage applied to needs to be noted for each land application area for Hoskins and Bowers LAAs. ¿ Effluent pH is not being monitored. ¿ Flow, rainfall, and acreage applied was not monitored for the Castle Oaks Golf Course. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
1069894 |
01/28/2020 |
Groundwater |
bb. Discharge Specification C.1 of the WDRs states: ¿Neither the treatment nor the discharge shall cause a nuisance or condition of pollution as defined by the California Water Code, Section 13050¿, and Discharge Specification C.1 of the WDRs states: ¿The discharge shall not cause degradation of any water supply.¿ The following are violations of these requirements: ii. Recent TDS results indicate that groundwater may have been impacted by golf course operation. |
Violation |
N |
Report |
Amador County Regional Outfall |
141187 |
R5-1993-0240 |
N |
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