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. |
1072664 |
11/03/2019 |
Deficient Monitoring |
At the end of November, Wet Chemistry section received a large influx of storm-water samples from HTPWRP, LAGWRP, DCTWRP, and WPD. Because these are ¿rush¿ samples, the analysts analyzed these first. In doing so, the sample dates of the samples collected in early November were overlooked and their holding times were exceeded. November 3rd effluent oil and grease sample was analyzed out of holding time due to this human error. This sample was accidentally stored in Wet Chemistry's back-up refrigerator and was noticed by another analyst near the expiration date of the sample. The sample was immediately analyzed once the error was realized. Unfortunately, the error was caught late and the result is being reported as ¿Analyst Error (AE)¿. All of the rest of 3 weekly results are ¿Not Detected (ND)¿ or ¿Detected but Not Quantified (DNQ)¿; therefore, the monthly median of this month is ND and in compliance of permit limit 10 mg/L. The loading associated with this result became ¿Not Calculable (NC)¿. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
399400 |
R4-2015-0119 |
N |
1102124 |
03/02/2022 |
Late Report |
Annual SMR ( PRETRPT ) report for 2021 (2362621) was due on 01-MAR-22 |
Violation |
None |
Report |
Terminal Island Water Reclamation Plant |
399400 |
R4-2015-0119 |
N |
1099060 |
01/02/2022 |
Late Report |
Annual SMR ( PROGRPT ) (Advanced Water Treatment Fac) report for 2022 (2523267) was due on 01-JAN-22 |
Violation |
None |
Report |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1072663 |
05/21/2019 |
CTOX |
Chronic Toxicity Monthly Median limit is 0 Pass/Fail (Pass = 0, Fail = 1) and reported value was 1 Pass/Fail (Pass = 0, Fail = 1) at EFF-001. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
399400 |
R4-2015-0119 |
N |
1123271 |
01/02/2024 |
Late Report |
Annual SMR ( PROGRPT ) (Advanced Water Treatment Fac) report for 2024 (2523303) was due on 01-JAN-24 |
Violation |
None |
Report |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1096401 |
08/24/2021 |
OEV |
pH Instantaneous Minimum limit is 6.5 SU and reported value was 3.3 SU at EFF-001. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1118429 |
04/07/2023 |
CAT2 |
Chlorine, Total Residual Daily Maximum limit is 0.1 mg/L and reported value was 0.17 mg/L at EFF-001. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1062072 |
05/21/2019 |
CTOX |
Chronic Toxicity Monthly Median limit is 0 Pass/Fail (Pass = 0, Fail = 1) and reported value was 1 Pass/Fail (Pass = 0, Fail = 1) at EFF-001. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
399400 |
R4-2015-0119 |
N |
1089858 |
02/21/2021 |
Deficient Monitoring |
The Los Angeles Harbor testing of HW-20 and HW-62 for chronic toxicity, and the concurrent effluent chronic toxicity testing, occurred late in February, with samples collected on the 22nd for the Harbor sites and the 21st for effluent. The reference toxicant test for this batch of samples failed, rendering the toxicity results invalid, and a re-sampling could not occur before the end of the month. This is a deficient monitoring violation as effluent chronic toxicity testing is required monthly. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
399400 |
R4-2015-0119 |
N |
1111248 |
09/28/2022 |
Deficient Monitoring |
The total flow on September 28 is Not Representative and will not be reported in this Self-Monitoring Report. It is a daily required parameter. There were communication issues with the control system and the database after a cutover to a new faceplate and the data could not be recovered. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1102969 |
01/04/2022 |
Deficient Monitoring |
On January 4 an equipment communications issue for part of the day led to inaccurate data for influent flow. It was resolved that day, but there no instantaneous peak flow can be reported for the influent that day. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1100567 |
11/01/2021 |
Deficient Monitoring |
On 11/1/2021 the effluent sample was improperly preserved for oil and grease analysis. The pH was greater than two, and therefor invalid. This was discovered on 11/9/2021, and as this is a weekly monitoring requirement, no resample for that week was possible. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1112240 |
01/02/2023 |
Late Report |
Annual SMR ( PROGRPT ) (Advanced Water Treatment Fac) report for 2023 (2523285) was due on 01-JAN-23 |
Violation |
None |
Report |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1109954 |
08/29/2022 |
CTOX |
Chronic Toxicity Maximum Daily (MDEL) limit is 0 Pass/Fail (Pass = 0, Fail = 1) and reported value was 1 Pass/Fail (Pass = 0, Fail = 1) at EFF-001. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1072662 |
05/21/2019 |
CTOX |
Chronic Toxicity Monthly Median limit is 0 Pass/Fail (Pass = 0, Fail = 1) and reported value was 1 Pass/Fail (Pass = 0, Fail = 1) at EFF-001. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
399400 |
R4-2015-0119 |
N |
1070666 |
11/03/2019 |
Deficient Monitoring |
At the end of November, Wet Chemistry section received a large influx of storm-water samples from HTP, LAG, DCT, and WPD. Because these are ¿rush¿ samples, the analyst analyzed these first. In doing so, the sample dates of the samples collected early November were overlooked and their holding times were exceeded. November 3 effluent oil and grease sample was analyzed out of holding time due to human error. This sample was accidentally put away in Wet Chemistry''s back up refrigerator and was noticed by someone else close to the expiration date of the sample. We analyzed the sample immediately once the error was realized. Unfortunately, the error was caught late and the result is being reported as ¿Analyst Error (AE)¿. All of the rest of 3 weekly results are ¿Not Detected (ND)¿ or ¿Detected but Not Quantified (DNQ)¿; therefore, the monthly median of this month is ND and in compliance of permit limit 10 mg/L. The loading associated with this result became ¿Not Calculable (NC)¿. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
399400 |
R4-2015-0119 |
N |
1119144 |
05/31/2023 |
Deficient Monitoring |
The monitoring of p,p-DDT and p,p-DDD are monthly requirements. Both analytes are analyzed by EPA method 608.3 and were missed in May. The analyst referred to the TIWRP NPDES permit and misunderstood the requirements. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
443776 |
R4-2021-0095 |
N |
1077959 |
05/28/2020 |
Deficient Monitoring |
The City of Los Angeles was unable to monitor water quality parameters during the April - June quarter in the Santa Monica Bay and Los Angeles Harbor. Equipment necessary for profiling and sampling was unavailable due to Coronavirus closures. See attached letter to Regional Board dated June 30 titled ¿Unable to perform quarterly offshore and harbor water quality monitoring (April ¿ June)¿. Conductivity-temperature-depth (CTD) profiler was out of service and under repair at Sea-Bird Facility in Washington State, which was shut down during the pandemic. The CTD profiler is used for both discrete and surface sampling. Without the use of a CTD for tracking and delineating the plume, surface sample collection involving ammonia and microbiological samples would not be meaningful. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
399400 |
R4-2015-0119 |
N |
1072660 |
11/03/2019 |
Deficient Monitoring |
At the end of November, Wet Chemistry section received a large influx of storm-water samples from HTPWRP, LAGWRP, DCTWRP, and WPD. Because these are ¿rush¿ samples, the analysts analyzed these first. In doing so, the sample dates of the samples collected in early November were overlooked and their holding times were exceeded. November 3rd effluent oil and grease sample was analyzed out of holding time due to this human error. This sample was accidentally stored in Wet Chemistry's back-up refrigerator and was noticed by another analyst near the expiration date of the sample. The sample was immediately analyzed once the error was realized. Unfortunately, the error was caught late and the result is being reported as ¿Analyst Error (AE)¿. All of the rest of 3 weekly results are ¿Not Detected (ND)¿ or ¿Detected but Not Quantified (DNQ)¿; therefore, the monthly median of this month is ND and in compliance of permit limit 10 mg/L. The loading associated with this result became ¿Not Calculable (NC)¿. |
Violation |
N |
eSMR |
Terminal Island Water Reclamation Plant |
399400 |
R4-2015-0119 |
N |
1076852 |
04/06/2020 |
Deficient Monitoring |
The April 6, 2020 LAG effluent sample for Oil and Grease, was reported as an analyst error (AE). The recovery data for the LFB quality control sample fell outside the acceptable range rendering the data for the entire batch unreliable and non-reportable. Due to staffing issues surrounding the COVID-19 pandemic, we are training new staff from other sections on various analyses. This inexperienced analyst used all back-up samples as fortified matrix duplicates within this batch. As a weekly NPDES requirement, we were unable to resample for the week of April 5-11 of 2020. This AE resulted in a deficient monitoring violation for the week of April 5-11. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1093973 |
06/30/2021 |
Deficient Monitoring |
For the NPDES quarterly receiving water requirements there was a deficient monitoring violation for dieldrin for both stations RSW-LAGT650 (R-4) and RSW-LAGT654(a) (R-7) due to a laboratory error. During the analysis, the sample was spiked in error with the target analyte instead of the required surrogates and the results are not reportable. A resample was not requested by the laboratory, so there are no results to report for the second quarter of April to June. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1070673 |
11/04/2019 |
Deficient Monitoring |
On November 4, 2019 the effluent Oil and Grease sample was analyzed past its holding time. The result was reported as an analyst error (AE). Oil and Grease, which is a weekly requirement for the effluent, was not analyzed for the week of November 3-9 of 2019. This AE resulted in a deficient monitoring violation for the week of November 3-9. At the end of November, the Wet Chemistry lab received a large influx of stormwater samples that were prioritized. These "Rush" samples were analyzed first. In doing so, analysts overlooked the sample dates of the samples collected early November. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1102047 |
12/31/2021 |
Deficient Monitoring |
For the NPDES semiannual effluent requirements there was one deficient monitoring violation for perchlorate for the July through December 2021 period. A 24-hour composite sample was analyzed in the third quarter for perchlorate instead of a grab sample as specified in the NPDES permit. A composite sample is legally valid per the analytical EPA method 314.0 used by the laboratory. During this time there was a significant increase in the frequency of monitoring in the Santa Monica Bay per order R4-2021-0107-A02 because of the sewage discharge from the Hyperion Water Reclamation Plant on July 12 of 2021, which resulted in a growing backlog of samples to be analyzed by the Wet Chemistry lab. The composite sample from LAGWRP was analyzed instead of the grab sample and the lab could not spare the resources to resample and reanalyze. The composite sample had a non-detect result. While valid, the NPDES permit requires for perchlorate to be analyzed on an effluent grab sample. Perchlorate is monitored more frequently than required in the NPDES permit. An effluent grab sample was also sampled and analyzed in the fourth quarter. The result for the effluent grab sample was reported in the semiannual discharge monitoring report. Although a correct sample type was analyzed for perchlorate in the period of July through December 2021, this still resulted in a semiannual deficient monitoring violation since the analysis was not conducted on a third quarter sample as required by the NPDES permit. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1089848 |
02/28/2021 |
Deficient Monitoring |
In February, there was a deficient monitoring violation for total nitrogen, which is required monthly for the NPDES permit. There was a resample for Nitrate-N and Nitrite-N. The resample was taken for only Nitrate-N and Nitrite-N. Since all the nitrogen constituents were not analyzed on the same day, total nitrogen was not able to be calculated. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1111238 |
09/30/2022 |
Deficient Monitoring |
For the receiving water requirements there were two deficient monitoring violations for stations RSW-LAGT650 and RSW-LAGT654(a) for the July through September 2022 period. The quarterly diazinon monitoring for these stations was not conducted concurrently with the receiving water chronic toxicity sampling. Although both of these constituents were monitored during the July through September period, meeting the minimum sampling frequency required by the permit, the permit specifies diazinon sampling shall be conducted concurrently with the receiving water chronic toxicity sampling. This resulted in two monitoring deficiencies. These deficiencies will be reported in the September 2022 report which is with the July through September 2022 quarterly period. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1091962 |
04/02/2021 |
Deficient Monitoring |
On April 2 of 2021, the LAGWRP effluent grab sample was not analyzed for total residual chlorine which is a daily requirement Monday through Friday only, except for holidays. Due to the COVID-19 pandemic, the City of Los Angeles has been experiencing financial hardship, and, as a cost-saving measure, has adopted unpaid holidays for the majority of the city employees. April 2 was one of those unpaid holidays and the laboratory was staffed for the weekend schedule. This resulted in a deficient monitoring violation for total residual chlorine. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1093974 |
06/30/2021 |
Deficient Monitoring |
For the NPDES quarterly receiving water requirements there was a deficient monitoring violation for dieldrin for both stations RSW-LAGT650 (R-4) and RSW-LAGT654(a) (R-7) due to a laboratory error. During the analysis, the sample was spiked in error with the target analyte instead of the required surrogates and the results are not reportable. A resample was not requested by the laboratory, so there are no results to report for the second quarter of April to June. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1111239 |
09/30/2022 |
Deficient Monitoring |
For the receiving water requirements there were two deficient monitoring violations for stations RSW-LAGT650 and RSW-LAGT654(a) for the July through September 2022 period. The quarterly diazinon monitoring for these stations was not conducted concurrently with the receiving water chronic toxicity sampling. Although both of these constituents were monitored during the July through September period, meeting the minimum sampling frequency required by the permit, the permit specifies diazinon sampling shall be conducted concurrently with the receiving water chronic toxicity sampling. This resulted in two monitoring deficiencies. These deficiencies will be reported in the September 2022 report which is with the July through September 2022 quarterly period. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1119407 |
05/16/2023 |
Late Report |
Once Only OneTime ( TECHRPT ) (Tech Advisory and Stakeholder Committee Selection and Meeting) report for 2023/02/01 (2750306) was due on 15-MAY-23 |
Violation |
None |
Report |
Los Angeles-Glendale WWRP |
452152 |
R4-2022-0343 |
N |
1106969 |
05/08/2022 |
CTOX |
Chronic Toxicity Maximum Daily (MDEL) limit is 0 Pass/Fail (Pass = 0, Fail = 1) and reported value was 1 Pass/Fail (Pass = 0, Fail = 1) at EFF-001A. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1117226 |
05/16/2023 |
Late Report |
Once Only OneTime ( TECHRPT ) (Progress Report of Tech Advisory and Stakeholder Committee Selection and Meeting) report for 2023/02/01 (2709764) was due on 15-MAY-23 |
Violation |
None |
Report |
Los Angeles-Glendale WWRP |
452152 |
R4-2022-0343 |
N |
1093161 |
05/31/2021 |
Deficient Monitoring |
For the NPDES monthly effluent requirements there was one deficient monitoring violation for dieldrin due to a laboratory error. During the analysis, the sample was spiked in error with the target analyte instead of the required surrogates and the results are not reportable. There are no results to report in May. |
Violation |
N |
eSMR |
Los Angeles-Glendale WWRP |
407633 |
R4-2017-0063 |
N |
1095241 |
07/31/2021 |
CAT1 |
BOD5 @ 20 Deg. C, Percent Removal Monthly Average (Mean) limit is 85 % and reported value was 84 % at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095260 |
07/31/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average (Mean) limit is 105000 lb/day and reported value was 258780 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095269 |
07/24/2021 |
CAT1 |
Settleable Solids Weekly Average (Mean) limit is 1.5 ml/L and reported value was 1.9 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096384 |
08/28/2021 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 45 mg/L and reported value was 47 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096387 |
08/14/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 45 mg/L and reported value was 52 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096397 |
08/31/2021 |
CAT1 |
BOD5 @ 20 Deg. C, Percent Removal Monthly Average (Mean) limit is 85 % and reported value was 61 % at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1098834 |
10/02/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 12 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1101921 |
12/31/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average limit is 30 mg/L and reported value was 31 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095243 |
07/31/2021 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 160000 lb/day and reported value was 544420 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095249 |
07/31/2021 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 30 mg/L and reported value was 126 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095271 |
07/11/2021 |
Deficient Monitoring |
On July 11, 2021, an excessive amount of debris suddenly collected on the barscreens of Hyperion's Headworks Screening Facility. The barscreens were overwhelmed, causing flooding of the Treatment Plant and discharge of approximately 17 million gallons of untreated wastewater via the storm drain system to the 1-Mile Outfall. Flooding of the pipe galleries and equipment caused significant damage and degraded Hyperion¿s treatment processes, resulting in effluent violations throughout the month of July. No sample could be collected at the legally mandated sampling point for INF-001 on 7/12/2021. This is a deficient monitoring violation for analyses required daily: TSS and BOD. Additionally, average and maximum flows for 7/11 and 7/12 are Not Representative. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096091 |
07/11/2021 |
Unauthorized Discharge |
Unauthorized discharge of raw sewage from HTP to Pacific Ocean from July 11, 2021 through July 12, 2021. According to 5-day and 30-day report, approximately 16.874 MG of raw sewage was discharged through Discharge Point 001; an additional 80,000 gallons of raw sewage was discharged through Discharge Point 002 after blending with HTP's normal effluent. |
Violation |
N |
Report |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096388 |
08/07/2021 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 160000 lb/day and reported value was 402840 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095251 |
07/24/2021 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 45 mg/L and reported value was 186 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095252 |
07/23/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 8 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095266 |
07/24/2021 |
CAT1 |
Oil and Grease Weekly Average (Mean) limit is 40 mg/L and reported value was 59 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095268 |
07/29/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 3.5 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095270 |
07/31/2021 |
CAT1 |
Settleable Solids Weekly Average (Mean) limit is 1.5 ml/L and reported value was 8.2 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096395 |
08/31/2021 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 30 mg/L and reported value was 81 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096398 |
08/07/2021 |
CAT1 |
Settleable Solids Weekly Average (Mean) limit is 1.5 ml/L and reported value was 3.0 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1097869 |
09/01/2021 |
Deficient Monitoring |
The monitoring of temperature is a continuous requirement of the effluent. There is no data for the month of September, 2021 due to damage of the equipment sustained during the July 11 overflow and flooding. This is a Deficient Monitoring Violation. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1102964 |
01/08/2022 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 45 mg/L and reported value was 66 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095237 |
07/10/2021 |
Deficient Monitoring |
On July 11, 2021, an excessive amount of debris suddenly collected on the barscreens of Hyperion¿s Headworks Screening Facility. The barscreens were overwhelmed, causing flooding of the Treatment Plant and discharge of approximately 17 million gallons of untreated wastewater via the storm drain system to the 1-Mile Outfall. Flooding of the pipe galleries and equipment caused significant damage and degraded Hyperion¿s treatment processes, resulting in effluent violations throughout the month of July. No sample could be collected at the legally mandated sampling point for INF-004 on 7/12/2021 and the sample for 7/11/2021 was not delivered to the laboratory. This is a deficient monitoring violation for analyses required daily: TSS and BOD. Additionally, average and maximum flows for 7/11 and 7/12 are Not Representative. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095255 |
07/11/2021 |
Deficient Monitoring |
On July 11, 2021, an excessive amount of debris suddenly collected on the barscreens of Hyperion's Headworks Screening Facility. The barscreens were overwhelmed, causing flooding of the Treatment Plant and discharge of approximately 17 million gallons of untreated wastewater via the storm drain system to the 1-Mile Outfall. Flooding of the pipe galleries and equipment caused significant damage and degraded Hyperion's treatment processes, resulting in effluent violations throughout the month of July. The average and maximum daily flows through the 5-Mile Outfall cannot be calculated on 7/11/2021 and 7/12/2021. Therefore, mass loadings for BOD and TSS cannot be reported. Settleable Solids and Turbidity were not sampled on 7/12/2021. Effluent temperature cannot be reported after 7/12/2021 for the month of July due to equipment damage. These are collectively a deficient monitoring violation. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095256 |
07/11/2021 |
Deficient Monitoring |
On July 11, 2021, an excessive amount of debris suddenly collected on the barscreens of Hyperion¿s Headworks Screening Facility. The barscreens were overwhelmed, causing flooding of the Treatment Plant and discharge of approximately 17 million gallons of untreated wastewater via the storm drain system to the 1-Mile Outfall. Flooding of the pipe galleries and equipment caused significant damage and degraded Hyperion¿s treatment processes, resulting in effluent violations throughout the month of July. No sample could be collected at the legally mandated sampling point for INF-003 on 7/12/2021. This is a deficient monitoring violation for analyses required daily: TSS and BOD. Additionally, average and maximum flows for 7/11 and 7/12 are Not Representative. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095262 |
07/31/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 45.0 mg/L and reported value was 223.0 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1102965 |
01/08/2022 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 45 mg/L and reported value was 52 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095238 |
07/11/2021 |
Deficient Monitoring |
On July 11, 2021, an excessive amount of debris suddenly collected on the barscreens of Hyperion¿s Headworks Screening Facility. The barscreens were overwhelmed, causing flooding of the Treatment Plant and discharge of approximately 17 million gallons of untreated wastewater via the storm drain system to the 1-Mile Outfall. Flooding of the pipe galleries and equipment caused significant damage and degraded Hyperion¿s treatment processes, resulting in effluent violations throughout the month of July. No sample could be collected at the legally mandated sampling point for INF-005 on 7/12/2021. This is a deficient monitoring violation for analyses required daily: TSS and BOD. Additionally, average and maximum flows for 7/11 and 7/12 are Not Representative. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095264 |
07/31/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 160000 lb/day and reported value was 441550 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095267 |
07/31/2021 |
CAT1 |
Oil and Grease Weekly Average (Mean) limit is 40 mg/L and reported value was 83 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096383 |
08/14/2021 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 45 mg/L and reported value was 51 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096399 |
08/31/2021 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 105000 lb/day and reported value was 160210 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096400 |
08/31/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average limit is 30 mg/L and reported value was 62 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1102966 |
01/31/2022 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average (Mean) limit is 30 mg/L and reported value was 44 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1110021 |
10/18/2021 |
Deficient Monitoring |
Section 1 of the CWC 13383 Order and its amendments require that LASAN perform daily offshore sampling. LASAN failed to perform offshore sampling as required by the CWC 13383 Order and its amendments on the following dates: Daily from September 3, 2021 through September 9, 2021; September 11, 2021; September 12, 2021; September 17, 2021; September 20, 2021; September 22, 2021; October 6, 2021; October 18, 2021 |
Violation |
N |
Report |
Hyperion WWTP |
444445 |
R4-2021-0107 |
Y |
1095239 |
07/17/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 45 mg/L and reported value was 113 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095240 |
07/17/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 160000 lb/day and reported value was 220880 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095248 |
07/31/2021 |
CAT1 |
Oil and Grease Weekly Average (Mean) limit is 140000 lb/day and reported value was 164660 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095250 |
07/17/2021 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 45 mg/L and reported value was 74 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095254 |
07/28/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 8 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095259 |
07/31/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average (Mean) limit is 30 mg/L and reported value was 135 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095265 |
07/26/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 18 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096385 |
08/31/2021 |
CAT1 |
Total Suspended Solids (TSS), Percent Removal Monthly Average (Mean) limit is 85 % and reported value was 58 % at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096391 |
08/02/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 15.5 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1097870 |
09/30/2021 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 30 mg/L and reported value was 35 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1098835 |
10/01/2021 |
Deficient Monitoring |
The monitoring of temperature is a continuous requirement of the effluent. There is no data for the month of October, 2021, from October 1 through October 27 due to damage of the equipment sustained during the July 11 overflow and flooding incident. This is a Deficient Monitoring Violation. Temperature monitoring resumed October 28. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095234 |
07/31/2021 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 45 mg/L and reported value was 274 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095242 |
07/24/2021 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 160000 lb/day and reported value was 363970 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095257 |
07/30/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 6.5 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095258 |
07/31/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 9 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095263 |
07/24/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 160000 lb/day and reported value was 454060 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095272 |
07/31/2021 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 105000 lb/day and reported value was 242050 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096382 |
08/07/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 160000 lb/day and reported value was 277910 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096386 |
08/01/2021 |
Deficient Monitoring |
The monitoring of temperature is a continuous requirement for the effluent. There is no data to report for the month of August, 2021 due to damage of the equipment sustained during the July 11 overflow and flooding. This is a Deficient Monitoring violation. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096390 |
08/07/2021 |
CAT1 |
Oil and Grease Weekly Average (Mean) limit is 40 mg/L and reported value was 52 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096392 |
08/03/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 10 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1097871 |
09/30/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average (Mean) limit is 30 mg/L and reported value was 33 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1102967 |
01/31/2022 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 30 mg/L and reported value was 41 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1105403 |
03/31/2022 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 30 mg/L and reported value was 31 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095236 |
07/11/2021 |
Deficient Monitoring |
On July 11, 2021, an excessive amount of debris suddenly collected on the barscreens of Hyperion¿s Headworks Screening Facility. The barscreens were overwhelmed, causing flooding of the Treatment Plant and discharge of approximately 17 million gallons of untreated wastewater via the storm drain system to the 1-Mile Outfall. Flooding of the pipe galleries and equipment caused significant damage and degraded Hyperion¿s treatment processes, resulting in effluent violations throughout the month of July. No sample could be collected at the legally mandated sampling point for INF-002 on 7/12/2021. This is a deficient monitoring violation for analyses required daily: TSS and BOD. Additionally, average and maximum flows for 7/11 and 7/12 are Not Representative. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095244 |
07/31/2021 |
CAT1 |
Oil and Grease Monthly Average (Mean) limit is 25 mg/L and reported value was 39 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095245 |
07/28/2021 |
CAT1 |
Oil and Grease Instantaneous Maximum limit is 75 mg/L and reported value was 83 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095246 |
07/24/2021 |
OEV |
Turbidity Weekly Average (Mean) limit is 100 NTU and reported value was 117 NTU at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095247 |
07/31/2021 |
OEV |
Turbidity Weekly Average (Mean) limit is 100 NTU and reported value was 131 NTU at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095253 |
07/25/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 11 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1095261 |
07/24/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 45 mg/L and reported value was 232 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096389 |
08/01/2021 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 7.5 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096393 |
08/07/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average (Mean) limit is 45 mg/L and reported value was 140 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096394 |
08/31/2021 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average (Mean) limit is 105000 lb/day and reported value was 122570 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1096396 |
08/07/2021 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average (Mean) limit is 45 mg/L and reported value was 203 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1106960 |
05/31/2022 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 30 mg/L and reported value was 31 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
Y |
1073902 |
02/01/2020 |
Deficient Monitoring |
All influent samples and 5-mile effluent with the sampling date February 1st, 2020 were reported as Analyst Error (AE) for BOD analysis. This issue continues from January 31. This is due to the BOD test failure, as all the samples were depleted after 5 days of incubation; therefore no results were obtained on February 5th, 2020. Corresponding TSS from February 1st, 2020 were normal for all samples, and there were no exceedances. Process Control Laboratory is still troubleshooting and DI water contamination is suspected. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1072649 |
11/03/2019 |
Deficient Monitoring |
At the end of November, Wet Chemistry section received a large influx of storm-water samples from HTPWRP, LAGWRP, DCTWRP, and Watershed Protection Division (WPD). Because these are ¿rush¿ samples, the analysts analyzed these first. In doing so, the sample dates of the samples collected in early November were overlooked and their holding times were exceeded. November 3rd Inf-003 (COS) oil and grease sample was analyzed out of holding time due to this human error. This sample was accidentally stored in Wet Chemistry's back-up refrigerator and was noticed by another analyst near the expiration date of the sample. The sample was immediately analyzed once the error was realized. Unfortunately, the error was caught late and the result is being reported as ¿Analyst Error (AE)¿. All of the rest of 3 weekly results are ¿Not Detected (ND)¿ or ¿Detected but Not Quantified (DNQ)¿; therefore, the monthly median of this month is ND and in compliance of permit limit 10 mg/L. Staff have been informed to pay close attention to sample collection dates on sample bottles and to always analyze the oldest samples first. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127441 |
02/24/2024 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average limit is 160000 lb/day and reported value was 484510 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1072647 |
12/23/2019 |
Deficient Monitoring |
On December 23th, five influent and one effluent total suspended solids composite samples were reported as ¿Analyst Error (AE)¿. The analyst lost the dry weights of those samples and data could not be recovered from LIMS. Therefore, suspended solids could not be calculated from dry weight. Loading on that day could not be calculated. The plant was in normal operation at the time and effluent suspended solids from the previous and subsequent day were 21 mg/L and 20 mg/L, respectively. The monthly average was 18 mg/L and in compliance. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1106959 |
05/22/2022 |
Deficient Monitoring |
The CWIS samples with sample dates 5/22/22, 5/23/22, and 5/24/22 are reported as AE for BOD analysis. This was due to the unexpected high TSS on those days, even though analysts diluted the samples, oxygen was completely depleted. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127430 |
02/16/2024 |
CAT1 |
Settleable Solids Instantaneous Minimum limit is 3 ml/L and reported value was 13 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127442 |
02/17/2024 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average limit is 45 mg/L and reported value was 139 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1072644 |
06/18/2019 |
Deficient Monitoring |
The daily Influent NOS (INF-004) sample on June 18 was analyzed for biochemical oxygen demand (BOD). The BOD result was extremely low. After discussion with the analyst, it was suspected that the sample was not properly prepared causing the abnormal result. The lab reported the result as AE. BOD is a daily requirement for INF-004; this AE resulted in a deficient monitoring violation. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127427 |
02/29/2024 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average (Mean) limit is 105000 lb/day and reported value was 205540 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127414 |
02/24/2024 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average limit is 160000 lb/day and reported value was 334380 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127424 |
02/05/2024 |
CTOX |
Chronic Toxicity Maximum Daily (MDEL) limit is 0 Pass/Fail (Pass = 0, Fail = 1) and reported value was 1 Pass/Fail (Pass = 0, Fail = 1) at EFF-001. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1072653 |
10/30/2019 |
Deficient Monitoring |
On October 30, 2019 5-mile effluent weekly DO was not performed because the analyst forgot to analyze DO. Other parameters, such as BOD, suspended solids, pH, and temperature, were normal on that day. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127429 |
02/05/2024 |
Deficient Monitoring |
Temperature is continuous monitoring requirement for both discharge locations. During the discharge from the 1-mile outfall on February 5th, temperature was not monitored. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1072650 |
12/23/2019 |
Deficient Monitoring |
On December 23th, five influent and one effluent total suspended solids composite samples were reported as ¿Analyst Error (AE)¿. The analyst lost the dry weights of those samples and data could not be recovered from LIMS. Therefore, suspended solids could not be calculated from dry weight. Loading on that day could not be calculated. The plant was in normal operation at the time and effluent suspended solids from the previous and subsequent day were 21 mg/L and 20 mg/L, respectively. The monthly average was 18 mg/L and in compliance. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1083791 |
10/29/2020 |
Deficient Monitoring |
The ammonia sample for the Santa Monica Bay station 3305 at 30 M depth was improperly preserved and could not be analyzed. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127443 |
02/17/2024 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average limit is 160000 lb/day and reported value was 316010 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127437 |
02/24/2024 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average limit is 45 mg/L and reported value was 193 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127433 |
02/19/2024 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 31 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1095235 |
07/11/2021 |
Deficient Monitoring |
On July 11, 2021, an excessive amount of debris suddenly collected on the barscreens of Hyperion's Headworks Screening Facility. The barscreens were overwhelmed, causing flooding of the Treatment Plant and discharge of approximately 17 million gallons of untreated wastewater via the storm drain system to the 1-Mile Outfall. Flooding of the pipe galleries and equipment caused significant damage and degraded Hyperion's treatment processes, resulting in effluent violations throughout the month of July. There was no wastewater flow through the 1-Mile sampling point and no sample could be collected at the legally mandated sampling point during the discharge. This is a deficient monitoring violation. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127426 |
02/10/2024 |
CAT1 |
Total Suspended Solids (TSS) Weekly Average limit is 45 mg/L and reported value was 88.9 mg/L at EFF-001. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127440 |
02/20/2024 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 14 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127415 |
02/29/2024 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average limit is 30 mg/L and reported value was 105 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1119955 |
06/30/2023 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 30 mg/L and reported value was 32 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127434 |
02/17/2024 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average limit is 45 mg/L and reported value was 100 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1070579 |
11/03/2019 |
Deficient Monitoring |
November 3rd Inf-003 (COS) oil and grease sample was analyzed out of holding time due to human error. This sample was accidentally stored in Wet Chemistry''s back-up refrigerator and was noticed by another analyst near the expiration date of the sample. We analyzed the sample immediately once the error was realized. Unfortunately, the error was caught late and the result is being reported as ¿Analyst Error (AE)¿. All of the rest of 3 weekly results are ¿Not Detected (ND)¿ or ¿Detected but Not Quantified (DNQ)¿; therefore, the monthly median of this month is ND and in compliance of permit limit 10 mg/L. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1103993 |
02/08/2022 |
Deficient Monitoring |
A review of effluent TSS data on February 14, 2022, discovered a high result of 71 mg/L on the February 8 sample, outside the normal range of recent results. Typically, the ratio of biological oxygen demand (BOD) and TSS are near 1:1, but the ratio for that day was 2.7:1. Other effluent parameters, such as BOD (26 mg/L), turbidity (13 NTU), and settleable solids (<0.1 mL) were within the expected range. A reanalysis of the sample that was conducted one day past the acceptable holding time yielded a result of 22 mg/L, within the expected range. The original TSS result has been determined to be invalid. The reanalysis, while it produced the expected result, is also invalid as it was past the holding time of the sample. TSS monitoring in Hyperion effluent is required daily and there is no valid result to report for February 8. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127419 |
02/24/2024 |
CAT1 |
Settleable Solids Weekly Average limit is 1.5 ml/L and reported value was 12 ml/L. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1072646 |
11/03/2019 |
Deficient Monitoring |
At the end of November, Wet Chemistry section received a large influx of storm-water samples from HTPWRP, LAGWRP, DCTWRP, and Watershed Protection Division (WPD). Because these are ¿rush¿ samples, the analysts analyzed these first. In doing so, the sample dates of the samples collected in early November were overlooked and their holding times were exceeded. November 3rd Inf-003 (COS) oil and grease sample was analyzed out of holding time due to this human error. This sample was accidentally stored in Wet Chemistry's back-up refrigerator and was noticed by another analyst near the expiration date of the sample. The sample was immediately analyzed once the error was realized. Unfortunately, the error was caught late and the result is being reported as ¿Analyst Error (AE)¿. All of the rest of 3 weekly results are ¿Not Detected (ND)¿ or ¿Detected but Not Quantified (DNQ)¿; therefore, the monthly median of this month is ND and in compliance of permit limit 10 mg/L. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127432 |
02/18/2024 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 20 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1116657 |
02/28/2023 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 30 mg/L and reported value was 36 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1063539 |
06/18/2019 |
Deficient Monitoring |
The daily Influent NOS (INF-004) sample on June 18 was analyzed for BOD. The BOD result was extremely low. After discussion with the analyst, it was suspected that the sample was not properly prepared causing the abnormal result. The lab reported the result as an analyst error (AE). BOD is a daily requirement for INF-004; this AE resulted in a deficient monitoring violation. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127416 |
02/29/2024 |
CAT1 |
Total Suspended Solids (TSS) Monthly Average (Mean) limit is 105000 lb/day and reported value was 270260 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1109217 |
07/14/2022 |
Deficient Monitoring |
Stations 4003 and IS-01 were not monitored during the Santa Monica Bay Offshore Water Quality survey or the annual Inshore Water Quality Monitoring, respectively. There have been delays renewing the California Department of Fish and Wildlife Scientific Collection Permit and these two stations are located in the Marine Protected Area extending south from Point Dume. They could not be sampled without a valid Scientific Collection Permit. The remainder of the quarter was spent on additional required monitoring activities that fully require the Scientific Collection Permit. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1068481 |
10/30/2019 |
Deficient Monitoring |
On October 30, 5 mile weekly dissolved oxygen (DO) was not performed because analyst forget to analyze DO of this sample.. Others parameters are normal, such as BOD, suspended solids, pH, and temperature on that day. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1087435 |
12/03/2020 |
Deficient Monitoring |
On December 3, 2020, all influent BOD results indicated that no samples were added to the bottles, as there was no oxygen depletion. All five influent samples for that day were invalid due to analyst error. BOD analysis is a daily influent requirement, and this results in a deficient monitoring violation. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1119954 |
06/26/2023 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 1 ml/L and reported value was 9 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127435 |
02/17/2024 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average limit is 160000 lb/day and reported value was 228050 lb/day at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1109218 |
07/21/2022 |
Deficient Monitoring |
Stations 4003 and IS-01 were not monitored during the Santa Monica Bay Offshore Water Quality survey or the annual Inshore Water Quality Monitoring, respectively. There have been delays renewing the California Department of Fish and Wildlife Scientific Collection Permit and these two stations are located in the Marine Protected Area extending south from Point Dume. They could not be sampled without a valid Scientific Collection Permit. The remainder of the quarter was spent on additional required monitoring activities that fully require the Scientific Collection Permit. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127439 |
02/15/2024 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 19 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1072645 |
10/30/2019 |
Deficient Monitoring |
On October 30, 2019 5-mile effluent weekly DO was not performed because the analyst forgot to analyze DO. Other parameters, such as BOD, suspended solids, pH, and temperature, were normal on that day. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127425 |
02/10/2024 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average limit is 45 mg/L and reported value was 60 mg/L at EFF-001. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127417 |
02/21/2024 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 18 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127413 |
02/24/2024 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Weekly Average limit is 45 mg/L and reported value was 133 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1070580 |
11/19/2019 |
Deficient Monitoring |
On November 20th, during the initial set-up of the November 19th INF-004(NOS) influent composite sample for BOD, the analyst didn''t add the NOS sample to the BOD bottle, which caused the 5-day BOD result to be as low as a method blank. The BOD result was reported as Analyst Error (AE). The 5-mile effluent (EFF-002) BOD result was 17 mg/l and in normal range. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127418 |
02/17/2024 |
CAT1 |
Settleable Solids Weekly Average limit is 1.5 ml/L and reported value was 8.1 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1106096 |
04/06/2022 |
Deficient Monitoring |
The April 6 biochemical oxygen demand (BOD) analysis for the NORS influent sewer had no depletion and is considered an analyst error. BOD analysis of the influent sewers is required daily. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1122502 |
09/09/2023 |
Deficient Monitoring |
All Hyperion influent samples were collected, but the effluent was not. September 9 was a Saturday so the sampling could not be rescheduled. Per the NPDES permit, the day of sampling for weekly constituents must rotate week-to-week with all days being represented. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1077917 |
05/05/2020 |
Deficient Monitoring |
The City of Los Angeles was unable to monitor water quality parameters during the April - June quarter in the Santa Monica Bay and Los Angeles Harbor. Equipment necessary for profiling and sampling was unavailable due to Coronavirus closures. See attached letter to Regional Board dated June 30 titled ¿Unable to perform quarterly offshore and harbor water quality monitoring (April ¿ June)¿. Conductivity-temperature-depth (CTD) profiler was out of service and under repair at Sea-Bird Facility in Washington State, which was shut down during the pandemic. The CTD profiler is used for both discrete and surface sampling. Without the use of a CTD for tracking and delineating the plume, surface sample collection involving ammonia and microbiological samples would not be meaningful. Additionally, EMD did not have equipment available that was capable of sampling the immediate subsurface from the deck of a marine vessel in a sterile or safe manner. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127428 |
02/29/2024 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average (Mean) limit is 30 mg/L and reported value was 80 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1072652 |
06/18/2019 |
Deficient Monitoring |
The daily Influent NOS (INF-004) sample on June 18 was analyzed for biochemical oxygen demand (BOD). The BOD result was extremely low. After discussion with the analyst, it was suspected that the sample was not properly prepared causing the abnormal result. The lab reported the result as AE. BOD is a daily requirement for INF-004; this AE resulted in a deficient monitoring violation. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1072641 |
01/31/2020 |
Deficient Monitoring |
All the influent samples and 5-mile efluent with the sampling date January 31 and February 1, 2020 were reported as Analyst Error (AE) for BOD analysis. This is due to the BOD test failure, as all the samples were depleted after 5 days of incubation; therefore no results were obtained on February 5th, 2020. Process Control Laboratory is still troubleshooting and we suspect it¿s the DI water contamination. Corresponding TSS from January 31, 2020 were normal for all samples, there were no exceedance. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1072648 |
11/19/2019 |
Deficient Monitoring |
On November 20th, during the initial set-up of the November 19th INF-004(NOS) influent composite sample for BOD, the analyst didn't add the actual NOS sample to the BOD bottle, which caused the 5-day BOD result to be as low as the method blank. The BOD result was reported as Analyst Error (AE). The 5-mile effluent (EFF-002) BOD result was 17 mg/L and in normal range. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127421 |
02/24/2024 |
OEV |
Turbidity Weekly Average limit is 100 NTU and reported value was 101 NTU at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127423 |
02/05/2024 |
CAT2 |
Copper, Total Recoverable Instantaneous Maximum limit is 160 ug/L and reported value was 873 ug/L at EFF-001. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1076823 |
04/14/2020 |
Deficient Monitoring |
The operators that collected the Oil and Grease (OAG) sample on April 14 for COS (INF-003) did not collect the sample correctly. The sample was too "clean¿. The OAG results were either very low or Not Detected (ND) which is unusual for influent samples. Therefore, the results were reported as Not Representative (NR). It is suspected that the line was not flushed long enough when the sample was collected. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127422 |
02/29/2024 |
CAT2 |
Copper, Total Recoverable Monthly Average limit is 16 ug/L and reported value was 30.1 ug/L at EFF-001. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1107973 |
06/21/2022 |
Deficient Monitoring |
Station 4003 was not monitored during the Santa Monica Bay Offshore Water Quality survey. There have been delays renewing the California Department of Fish and Wildlife Scientific Collection Permit and this station is located in the Marine Protected Area extending south from Point Dume. It could not be sampled without a valid Scientific Collection Permit. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127436 |
02/29/2024 |
CAT1 |
Total Suspended Solids (TSS), Percent Removal Monthly Average limit is 85 % and reported value was 83 % at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1072654 |
11/19/2019 |
Deficient Monitoring |
On November 20th, during the initial set-up of the November 19th INF-004(NOS) influent composite sample for BOD, the analyst didn't add the actual NOS sample to the BOD bottle, which caused the 5-day BOD result to be as low as the method blank. The BOD result was reported as Analyst Error (AE). The 5-mile effluent (EFF-002) BOD result was 17 mg/L and in normal range. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1109948 |
08/29/2022 |
CTOX |
Chronic Toxicity Maximum Daily (MDEL) limit is 0 Pass/Fail (Pass = 0, Fail = 1) and reported value was 1 Pass/Fail (Pass = 0, Fail = 1) at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1071570 |
12/23/2019 |
Deficient Monitoring |
On December 23th, five influent and one effluent total suspended solids composite samples were reported as ¿Analyst Error (AE)¿. The analyst lost the dry weights of those samples and data could not be recovered from LIMS. Therefore, suspended solids could not be calculated from dry weight. Loading on that day could not be calculated. The plant was in normal operation at the time and effluent suspended solids from the previous and subsequent day were 21 mg/L and 20 mg/L, respectively. The monthly average was 18 mg/L and in compliance. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1112236 |
10/16/2022 |
Deficient Monitoring |
There was an autosampler malfunction and no sample could be collected October 16, 2022 for INF-001. Monitoring of suspended solids and biochemical oxygen demand are required daily for each individual influent sewer. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1102968 |
01/28/2022 |
Deficient Monitoring |
On January 28, all influent and effluent biological oxygen demand results were invalid due to quality control (QC) failures. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1127431 |
02/17/2024 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 20 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127420 |
02/19/2024 |
OEV |
Turbidity Instantaneous Maximum limit is 225 NTU and reported value was 230 NTU at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1062071 |
05/18/2019 |
Deficient Monitoring |
The weekly 5-Mile grab sample on May 16 was analyzed for dissolved oxygen (DO), due to a malfunction of the DO probe, the analyst tried multiple times to achieve a stabilized reading. The analyst continued trying to achieve a stabilized reading for three hours. The lab reported the result as an analyst error (AE). DO is a weekly requirement for the effluent, this AE resulted in a deficient monitoring violation for the week of May12-18. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1119953 |
06/30/2023 |
CAT1 |
Biochemical Oxygen Demand (BOD) (5-day @ 20 Deg. C) Monthly Average (Mean) limit is 30 mg/L and reported value was 35 mg/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1079178 |
06/14/2020 |
Deficient Monitoring |
The CIWS BOD sample prepared on June 15, with a calculated result on June 20, showed no oxygen depletion. This result indicated that perhaps the CIWS sample was not added to the two sample bottles in the June 15 preparation; therefore, this result was reported as ¿Analyst Error AE¿. The 5-mile BOD result on that day was 19 mg/L and in normal range. |
Violation |
N |
eSMR |
Hyperion WWTP |
384601 |
R4-2017-0045 |
N |
1119141 |
05/31/2023 |
Deficient Monitoring |
Two new requirements in the effective NPDES permit were missed in May, but corrected in June: the monitoring of copper in influent and organic-nitrogen in effluent. Both of these analyses are required monthly. Organic-nitrogen is required to calculate total nitrogen, another monthly requirement. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1127438 |
02/14/2024 |
CAT1 |
Settleable Solids Instantaneous Maximum limit is 3 ml/L and reported value was 4.5 ml/L at EFF-002. |
Violation |
N |
eSMR |
Hyperion WWTP |
447793 |
R4-2023-0033 |
N |
1108864 |
08/24/2021 |
Order Conditions |
The Enrollee lacks a substantive communication plan with tributary and/or satellite sewer systems in violation of Provision D.13(xi) of SSS WDRs. |
Violation |
None |
Inspection |
Hyperion CS |
300593 |
2022-0103-DWQ |
Y |
1108865 |
08/24/2021 |
Order Conditions |
The Enrollee is not properly maintaining all parts of the Collection System in violation of Provision D.8 of SSS WDRs. Corroded equipment and sewage debris above the walking grates over the wet well were visible at the Venice Pumping Station. Grease mat/foaming was visible in the wet well at Pumping Plant #610. Debris accumulation in the Coastal Interceptor upstream of the Hyperion wastewater treatment plant were apparent in CCTV footage provided by the Enrollee. Obstruction in the Coastal Outfall Sewer between Manholes 56313048 and 56314046 was visible in CCTV footage provided by the Enrollee. |
Violation |
None |
Inspection |
Hyperion CS |
300593 |
2022-0103-DWQ |
Y |
1063855 |
06/07/2019 |
OEV |
Total Coliform 7-Day Median limit is 2.2 MPN/100 mL and reported value was 3.1 MPN/100 mL at EFF-001B. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
Y |
1065311 |
07/31/2019 |
CAT2 |
Copper, Total Recoverable Monthly Average limit is 27 ug/L and reported value was 77.1 ug/L at EFF-001A. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
Y |
1097977 |
09/30/2021 |
Deficient Monitoring |
For the sediment requirements there were deficient monitoring violations for stations RSW-4(4), RSW-W2(W-2), and RSW-LATT622(D). There are no results to report for the diazinon quarterly requirements for the July through September 2021 period and the pesticides semiannual requirements for the July through December 2021 period. The analysis for these constituents are contracted out. During this period, the contract lab that normally conducts this analysis was relocating so they decided to subcontract the analysis. Due to this, the samples were analyzed after their holding time so results are not reportable. The permit specifies that quarterly and semiannual requirements must be conducted in the third quarter, so by the time this issue was noticed it was already past the third quarter and resampling was not possible. This resulted in 3 monitoring deficiencies for the quarterly requirements. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1122500 |
09/30/2023 |
Deficient Monitoring |
For the monthly effluent requirements there was a deficient monitoring violation for carbon tetrachloride. Per the DCTWRP permit Order No. R4-2022-0341 effective February 1, 2023, carbon tetrachloride is a monthly required constituent with an effluent limit of 0.5 ug/L. It was not analyzed in the month of September. This resulted in one deficient monitoring violation. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
447892 |
R4-2022-0341 |
N |
1080244 |
07/07/2020 |
Deficient Monitoring |
For the NPDES weekly lake requirement for RSW-W2(W-2) there were a total of 3 deficient monitoring violations. The sample taken on July 7, 2020, was not analyzed for organic Nitrogen within the 28 day holding time. As a result no results were reported for the organic nitrogen for the week of July 5-11 resulting in 1 weekly monitoring deficiency. Also for the week of July 5-11, since there were no results for organic nitrogen, total nitrogen was not able to be calculated which resulted in 1 more weekly monitoring deficiency. The samples taken on July 14, 2020, were not analyzed for Nitrate-N and Nitrite-N within their 48 hours holding time. There was a resample on July 17, 2020 for only Nitrate-N and Nitrite-N. Since all the nitrogen constituents in the week of July 12-18 were not analyzed on the same day, total nitrogen was not able to be calculated which resulted in 1 more weekly monitoring deficiency. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1082477 |
09/13/2020 |
Deficient Monitoring |
For the weeks of September 13-19 and 20-26 both stations RSW-4(4) and RSW-W2(W-2) were not sampled for any of their weekly requirements. For those two weeks there are no results for pH, temperature, dissolved oxygen, total nitrogen, TKN, ammonia nitrogen, organic nitrogen, nitrate nitrogen, nitrite nitrogen, total phosphorus, organic phosphorus, condensed phosphorus, and orthophosphorus. Boat malfunctions led to missed weekly sampling of stations RSW-4(4) and RSW-W2(W-2) for a duration of two weeks before the Department of Recreation and Parks could acquire and affix a loaned engine to one of the boats. Sampling resumed and the original engines were fixed in October. As weekly sampling of both monitoring locations are required in the DCTWRP NPDES discharge permit, alternate sites accessible by sampling pole from the shoreline were sampled until one of the boats was repaired. An alternate sampling location for RSW-W2(W-2) has already been approved previously (August 2, 2019). An approved alternate location for RSW-4(4) does not currently exist, but a suitable location has been determined to proceed with mandated weekly sampling. Due to both the approved alternate location for RSW-W2(W-2) and the unapproved alternate location of RSW-4(4) not being in the California Integrated Water Quality System, these weekly results were submitted as an attachment with this monthly report. Since these results are a weekly NPDES requirement for RSW-4(4) and were taken from an unapproved alternate site, this resulted in a deficient monitoring violation for station RSW-4(4) for the month of September. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1127322 |
02/29/2024 |
Deficient Monitoring |
The flow meter discharging into Balboa Lake stopped working on July 26, 2023. Effluent flow is a continuous monitoring requirement reported on a daily basis for the daily average flow and daily maximum flow. The daily average effluent flows being reported for effluent discharge starting on July 25, 2023 are approximate values. The flow to Balboa Lake is being estimated based on pump capacity. Until the meter is replaced, the reported daily average flow for the effluent will continue to be an approximate value. Due to the Balboa Lake meter not working, the daily maximum for the effluent flow cannot be determined, these have been reported as an instrument failure (IF) since July 25, 2023. This IF resulted in one deficient monitoring violation for February 2024. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
447892 |
R4-2022-0341 |
N |
1076850 |
04/28/2020 |
Deficient Monitoring |
On April 28, 2020 Los Angeles City Department of Recreation and Parks staff attempting to sample stations RSW-4 and RSW-W2 discovered the boat engine was inoperable. The secondary boat is also out-of-service with a necessary part on back-order. Both sampling locations are located offshore in deeper water and accessible only by boat. As weekly sampling of both monitoring locations are required in the DCTWRP NPDES discharge permit, alternate sites accessible by sampling pole from the shoreline will be sampled until at least one of the boats is repaired. An approved alternate location for RSW-4 does not currently exist, but a suitable location has been determined to proceed with mandated weekly sampling. Due to the unapproved alternate location of RSW-4 not being in the California Integrated Water Quality System, these weekly nitrogen nutrients results were submitted as an attachment with this monthly report. Since these results are a weekly NPDES requirement for RSW-4 and were taken from an unapproved alternate site, this resulted in six deficient monitoring violations for the week of April 26 to May 2 of 2020 for nitrogen nutrients. The six deficient monitoring violations were for total nitrogen, total kjeldahl nitrogen, ammonia nitrogen, organic nitrogen, nitrate nitrogen, and nitrite nitrogen. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1117755 |
03/31/2023 |
CAT2 |
Selenium, Total Recoverable Monthly Average limit is 3.9 ug/L and reported value was 4.354 ug/L at EFF-001A. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
447892 |
R4-2022-0341 |
N |
1109143 |
07/04/2022 |
CTOX |
Chronic Toxicity Maximum Daily (MDEL) limit is 0 Pass/Fail (Pass = 0, Fail = 1) and reported value was 1 Pass/Fail (Pass = 0, Fail = 1) at EFF-001A. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1079428 |
06/17/2020 |
OEV |
Total Coliform Not to exceed a specific limit more than once within any 30-day period. limit is 23 MPN/100 mL and reported value was 27 MPN/100 mL at EFF-001B. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1109951 |
08/13/2022 |
Deficient Monitoring |
For the weekly lake requirements there were deficient monitoring violations for stations RSW-4(4) and RSW-W2(W-2). The sample for both RSW-4(4) and RSW-W2(W-2) on August 12 were not analyzed for total phosphorous, organic phosphorous, and condensed phosphorous within their holding time. On Thursday August 4 the boat used to collect samples broke its motor and propeller while attempting to collect sediment samples. The following week, the boat was still not repaired and the Department of Parks and Recreation staff collected the water quality sample on August 9 from the shoreline which was believed to be an alternate site. Correspondence was sent to the LA-RWQCB on August 9 notifying them that this location was used. The Regional Board replied on August 11 that the alternative site used in the past needs prior approval, so that sample was deemed not representative. Finally, the boat was repaired on Thursday August 11 and a sample was collected mid-lake at the permitted location on August 12. The laboratory had to scramble to conduct analysis for the compounds that have short holding times, such as the nutrients (nitrogen series and phosphorus series). Due to staff shortages, an analyst was pulled from another laboratory to conduct phosphate analysis. This analyst was under the impression that he was only coming in on Saturday to perform ortho-phosphorus on overtime. The analysis for total phosphorous, organic phosphorous, and condensed phosphorous were not analyzed that day and only discovered when the sample was past holding time. The root cause of this missed analysis is a lack of communication combined with staff shortages. This event also happened when the supervisor of the analysis lab was on vacation. This resulted in a deficient monitoring violation for stations RSW-4(4) and RSW-W2(W-2). |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1071659 |
12/03/2019 |
Deficient Monitoring |
Total coliforms and E. coli had a deficient monitoring violation on December 3, 2019. The analyst dropped the opened sample bottle and contaminated the bottle cap before analysis. The result was reported as an analyst error (AE). Per the permit, this is a daily requirement, so this resulted in a daily monitoring deficiency for total coliforms and E. coli. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1097976 |
09/30/2021 |
Deficient Monitoring |
For the sediment requirements there were deficient monitoring violations for stations RSW-4(4), RSW-W2(W-2), and RSW-LATT622(D). There are no results to report for the diazinon quarterly requirements for the July through September 2021 period and the pesticides semiannual requirements for the July through December 2021 period. The analysis for these constituents are contracted out. During this period, the contract lab that normally conducts this analysis was relocating so they decided to subcontract the analysis. Due to this, the samples were analyzed after their holding time so results are not reportable. The permit specifies that quarterly and semiannual requirements must be conducted in the third quarter, so by the time this issue was noticed it was already past the third quarter and resampling was not possible. This resulted in 3 monitoring deficiencies for the quarterly requirements. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1097975 |
09/30/2021 |
Deficient Monitoring |
For the sediment requirements there were deficient monitoring violations for stations RSW-4(4), RSW-W2(W-2), and RSW-LATT622(D). There are no results to report for the diazinon quarterly requirements for the July through September 2021 period and the pesticides semiannual requirements for the July through December 2021 period. The analysis for these constituents are contracted out. During this period, the contract lab that normally conducts this analysis was relocating so they decided to subcontract the analysis. Due to this, the samples were analyzed after their holding time so results are not reportable. The permit specifies that quarterly and semiannual requirements must be conducted in the third quarter, so by the time this issue was noticed it was already past the third quarter and resampling was not possible. This resulted in 3 monitoring deficiencies for the quarterly requirements. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1088873 |
01/31/2021 |
Deficient Monitoring |
In January, there was a deficient monitoring violation for total nitrogen, which is required monthly for the NPDES permit. The ammonia and organic-nitrogen samples taken January 5 were misplaced/lost. A resample was taken for only ammonia and organic-nitrogen on January 18. Since all the nitrogen constituents were not analyzed on the same day, total nitrogen was not able to be calculated. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1093160 |
05/31/2021 |
Deficient Monitoring |
For the NPDES monthly effluent requirements there was one deficient monitoring violation for heptachlor due to a laboratory error. During the analysis, the sample was spiked in error with the target analyte instead of the required surrogates and the results are not reportable. There are no results to report in May. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1109141 |
07/08/2022 |
CAT2 |
Indeno (1,2,3-cd) Pyrene Daily Maximum limit is 0.03 lb/day and reported value was 0.044 lb/day at EFF-001A. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1105406 |
03/31/2022 |
Deficient Monitoring |
For the sediment requirements there were deficient monitoring violations for stations RSW-4(4), RSW-W2(W-2), and RSW-LATT622(D). There are no results to report for the diazinon quarterly requirements for the January through March 2022 period and the pesticides semiannual requirements for the January through June 2022 period. The analysis for these constituents are contracted out. During this period, the Sample Receiving unit did not send the sample to the contract lab by mistake. By the time the Sample Receiving unit noticed, these samples were past their holding times. The permit specifies that quarterly and semiannual requirements must be conducted in the first quarter, so by the time this issue was noticed it was already past the first quarter and resampling was not possible. Although this will not meet the permit requirements, these stations will be analyzed in the second quarter for the semiannual requirements, and results will be provided as a sign of good faith. This resulted in 6 monitoring deficiencies, 3 will be reported in the January through March 2022 period and 3 will be reported in the January through June 2022. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1109144 |
07/08/2022 |
CAT2 |
Indeno (1,2,3-cd) Pyrene Daily Maximum limit is 0.049 ug/L and reported value was 0.22 ug/L at EFF-001A. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1125965 |
01/31/2024 |
Deficient Monitoring |
The flow meter discharging into Balboa Lake stopped working on July 26, 2023. Effluent flow is a continuous monitoring requirement reported on a daily basis for the daily average flow and daily maximum flow. The daily average effluent flows being reported for effluent discharge starting on July 25, 2023 are approximate values. The flow to Balboa Lake is being estimated based on pump capacity. Until the meter is replaced, the reported daily average flow for the effluent will continue to be an approximate value. Due to the Balboa Lake meter not working, the daily maximum for the effluent flow cannot be determined, these have been reported as an instrument failure (IF) since July 25, 2023. This IF resulted in one deficient monitoring violation for January 2024. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
447892 |
R4-2022-0341 |
N |
1076847 |
04/28/2020 |
Deficient Monitoring |
On April 28, 2020 Los Angeles City Department of Recreation and Parks staff attempting to sample stations RSW-4 and RSW-W2 discovered the boat engine was inoperable. The secondary boat is also out-of-service with a necessary part on back-order. Both sampling locations are located offshore in deeper water and accessible only by boat. As weekly sampling of both monitoring locations are required in the DCTWRP NPDES discharge permit, alternate sites accessible by sampling pole from the shoreline will be sampled until at least one of the boats is repaired. An approved alternate location for RSW-4 does not currently exist, but a suitable location has been determined to proceed with mandated weekly sampling. Due to the unapproved alternate location of RSW-4 not being in the California Integrated Water Quality System, these weekly nitrogen nutrients results were submitted as an attachment with this monthly report. Since these results are a weekly NPDES requirement for RSW-4 and were taken from an unapproved alternate site, this resulted in six deficient monitoring violations for the week of April 26 to May 2 of 2020 for nitrogen nutrients. The six deficient monitoring violations were for total nitrogen, total kjeldahl nitrogen, ammonia nitrogen, organic nitrogen, nitrate nitrogen, and nitrite nitrogen. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1090988 |
03/06/2021 |
Deficient Monitoring |
For the NPDES weekly lake requirement for RSW-4(4) and RSW-W2 (W-2) there were deficient monitoring violations. The samples taken on March 2, 2021, were not analyzed for total Kjeldahl nitrogen within their 28 day holding time. Consequently, no results were reported for total Kjeldahl nitrogen, organic nitrogen, and total nitrogen for the week of February 28 to March 6 resulting in 2 weekly monitoring deficiencies. The Wet Chemistry laboratory has been experiencing staff shortages due to the COVID-19 pandemic, which resulted in a growing backlog of samples to be analyzed. The Wet Chemistry supervisor prioritized analyses with short hold times. Despite best efforts to analyze all samples in a timely manner, both the supervisor of Wet Chemistry and the staff overlooked these particular samples. In addition, the samples were mistakenly put away in the back up refrigerator prior to analysis being completed on the samples. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1076848 |
04/28/2020 |
Deficient Monitoring |
On April 28, 2020 Los Angeles City Department of Recreation and Parks staff attempting to sample stations RSW-4 and RSW-W2 discovered the boat engine was inoperable. The secondary boat is also out-of-service with a necessary part on back-order. Both sampling locations are located offshore in deeper water and accessible only by boat. As weekly sampling of both monitoring locations are required in the DCTWRP NPDES discharge permit, alternate sites accessible by sampling pole from the shoreline will be sampled until at least one of the boats is repaired. An approved alternate location for RSW-4 does not currently exist, but a suitable location has been determined to proceed with mandated weekly sampling. Due to the unapproved alternate location of RSW-4 not being in the California Integrated Water Quality System, these weekly nitrogen nutrients results were submitted as an attachment with this monthly report. Since these results are a weekly NPDES requirement for RSW-4 and were taken from an unapproved alternate site, this resulted in six deficient monitoring violations for the week of April 26 to May 2 of 2020 for nitrogen nutrients. The six deficient monitoring violations were for total nitrogen, total kjeldahl nitrogen, ammonia nitrogen, organic nitrogen, nitrate nitrogen, and nitrite nitrogen. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1108042 |
06/30/2022 |
Deficient Monitoring |
For the sediment requirements there were deficient monitoring violations for stations RSW-4(4), RSW-W2(W-2), and RSW-LATT622(D). There are no results to report for the pesticides semiannual requirements for the January through June 2022 period. The analysis for these constituents are contracted out. During this period, the Sample Receiving unit mistakenly did not send the sample to the contract lab. By the time the Sample Receiving unit noticed, these samples were past their holding times. The permit specifies that quarterly and semiannual requirements must be conducted in the first quarter, so by the time this issue was noticed it was already past the first quarter and resampling was not possible. This resulted in 3 monitoring deficiencies. Although this will not meet the permit requirements, these stations were analyzed in the second quarter for the semiannual requirements, and results were provided as a sign of good faith in the May 2022 report. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1071658 |
12/03/2019 |
Deficient Monitoring |
Total coliforms and E. coli had a deficient monitoring violation on December 3, 2019. The analyst dropped the opened sample bottle and contaminated the bottle cap before analysis. The result was reported as an analyst error (AE). Per the permit, this is a daily requirement, so this resulted in a daily monitoring deficiency for total coliforms and E. coli. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1109952 |
08/13/2022 |
Deficient Monitoring |
For the weekly lake requirements there were deficient monitoring violations for stations RSW-4(4) and RSW-W2(W-2). The sample for both RSW-4(4) and RSW-W2(W-2) on August 12 were not analyzed for total phosphorous, organic phosphorous, and condensed phosphorous within their holding time. On Thursday August 4 the boat used to collect samples broke its motor and propeller while attempting to collect sediment samples. The following week, the boat was still not repaired and the Department of Parks and Recreation staff collected the water quality sample on August 9 from the shoreline which was believed to be an alternate site. Correspondence was sent to the LA-RWQCB on August 9 notifying them that this location was used. The Regional Board replied on August 11 that the alternative site used in the past needs prior approval, so that sample was deemed not representative. Finally, the boat was repaired on Thursday August 11 and a sample was collected mid-lake at the permitted location on August 12. The laboratory had to scramble to conduct analysis for the compounds that have short holding times, such as the nutrients (nitrogen series and phosphorus series). Due to staff shortages, an analyst was pulled from another laboratory to conduct phosphate analysis. This analyst was under the impression that he was only coming in on Saturday to perform ortho-phosphorus on overtime. The analysis for total phosphorous, organic phosphorous, and condensed phosphorous were not analyzed that day and only discovered when the sample was past holding time. The root cause of this missed analysis is a lack of communication combined with staff shortages. This event also happened when the supervisor of the analysis lab was on vacation. This resulted in a deficient monitoring violation for stations RSW-4(4) and RSW-W2(W-2). |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1108043 |
06/30/2022 |
Deficient Monitoring |
For the sediment requirements there were deficient monitoring violations for stations RSW-4(4), RSW-W2(W-2), and RSW-LATT622(D). There are no results to report for the pesticides semiannual requirements for the January through June 2022 period. The analysis for these constituents are contracted out. During this period, the Sample Receiving unit mistakenly did not send the sample to the contract lab. By the time the Sample Receiving unit noticed, these samples were past their holding times. The permit specifies that quarterly and semiannual requirements must be conducted in the first quarter, so by the time this issue was noticed it was already past the first quarter and resampling was not possible. This resulted in 3 monitoring deficiencies. Although this will not meet the permit requirements, these stations were analyzed in the second quarter for the semiannual requirements, and results were provided as a sign of good faith in the May 2022 report. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1105407 |
03/31/2022 |
Deficient Monitoring |
For the sediment requirements there were deficient monitoring violations for stations RSW-4(4), RSW-W2(W-2), and RSW-LATT622(D). There are no results to report for the diazinon quarterly requirements for the January through March 2022 period and the pesticides semiannual requirements for the January through June 2022 period. The analysis for these constituents are contracted out. During this period, the Sample Receiving unit did not send the sample to the contract lab by mistake. By the time the Sample Receiving unit noticed, these samples were past their holding times. The permit specifies that quarterly and semiannual requirements must be conducted in the first quarter, so by the time this issue was noticed it was already past the first quarter and resampling was not possible. Although this will not meet the permit requirements, these stations will be analyzed in the second quarter for the semiannual requirements, and results will be provided as a sign of good faith. This resulted in 6 monitoring deficiencies, 3 will be reported in the January through March 2022 period and 3 will be reported in the January through June 2022. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1120979 |
09/29/2023 |
Late Report |
Once Only OneTime ( TECHRPT ) (Local Limit Evaluation Report) report for 2023/02/01 (2682273) was due on 28-SEP-23 |
Violation |
None |
Report |
Donald C. Tillman WWRP |
447892 |
R4-2022-0341 |
N |
1118453 |
04/30/2023 |
Deficient Monitoring |
For the monthly effluent requirements there was a deficient monitoring violation for carbon tetrachloride. Per the DCTWRP permit Order No. R4-2022-0341 effective February 1, 2023, carbon tetrachloride is a monthly required constituent with an effluent limit of 0.5 ug/L. In February and March, it was analyzed at the correct frequency, but not analyzed in April. Typically, two samples, one acidified and one not, are required for full EPA 624.1 analysis. The analyst was unaware of the effluent limitation on a single compound and assumed there would be a second sample for routine analysis, and did not analyze the sample. This resulted in one deficient monitoring violation. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
447892 |
R4-2022-0341 |
N |
1106968 |
05/04/2022 |
Deficient Monitoring |
For the NPDES daily effluent requirements there was one deficient monitoring violation for total suspended solids on May 4, 2022. The sampling container was broken as the operator transported the sample to the lab. There was no composite sample available to analyze for total suspended solids on May 4, 2022 resulting in a deficient monitoring violation. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1080243 |
07/30/2020 |
Deficient Monitoring |
On July 30, 2020, the laboratory staff did not analyze for total chlorine residual on the effluent at 10 am since the level of the effluent was still too low to obtain a grab sample because of a SOPER. The staff, however, went at 12:40 pm to get an effluent grab sample for pH, temperature, and settleable solids. Due to a laboratory miscommunication, the staff did not analyze for total chlorine residual. This was reported as a no sample (NS). Per the permit, this is a daily requirement, so this resulted in a daily monitoring deficiency for total chlorine residual. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1102045 |
12/31/2021 |
Deficient Monitoring |
For the NPDES semiannual effluent requirements there was one deficient monitoring violation for perchlorate for the July through December 2021 period. A 24-hour composite sample was analyzed in the third quarter for perchlorate instead of a grab sample as specified in the NPDES permit. A composite sample is legally valid per the analytical EPA method 314.0 used by the laboratory. During this time there was a significant increase in the frequency of monitoring in the Santa Monica Bay per order R4-2021-0107-A02 because of the sewage discharge from the Hyperion Water Reclamation Plant on July 12 of 2021, which resulted in a growing backlog of samples to be analyzed by the Wet Chemistry lab. The composite sample from DCTWRP was analyzed instead of the grab sample and the lab could not spare the resources to resample and reanalyze. The composite sample had an estimated concentration of 0.68 ug/L. While valid, the NPDES permit requires for perchlorate to be analyzed on an effluent grab sample. Perchlorate is monitored more frequently than required in the NPDES permit. An effluent grab sample was also sampled and analyzed in the fourth quarter. The result for the effluent grab sample was reported in the semiannual discharge monitoring report. Although a correct sample type was analyzed for perchlorate in the period of July through December 2021, this still resulted in a semiannual deficient monitoring violation since the analysis was not conducted on a third quarter sample as required by the NPDES permit. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1117225 |
05/16/2023 |
Late Report |
Once Only OneTime ( PROGRPT ) (Compliance Schedule - Technical Advisory Committee and initiate technical workplan) report for 2023/02/01 (2684019) was due on 15-MAY-23 |
Violation |
None |
Report |
Donald C. Tillman WWRP |
447892 |
R4-2022-0341 |
N |
1109142 |
07/08/2022 |
CAT2 |
Dibenzo(a,h)anthracene Daily Maximum limit is 0.049 ug/L and reported value was 0.16 ug/L at EFF-001A. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1119566 |
07/16/2023 |
Late Report |
Once Only OneTime ( PROGRPT ) (Compliance Sched - TAC progress report) report for 2023/02/01 (2754172) was due on 15-JUL-23 |
Violation |
None |
Report |
Donald C. Tillman WWRP |
447892 |
R4-2022-0341 |
N |
1105405 |
03/31/2022 |
Deficient Monitoring |
For the sediment requirements there were deficient monitoring violations for stations RSW-4(4), RSW-W2(W-2), and RSW-LATT622(D). There are no results to report for the diazinon quarterly requirements for the January through March 2022 period and the pesticides semiannual requirements for the January through June 2022 period. The analysis for these constituents are contracted out. During this period, the Sample Receiving unit did not send the sample to the contract lab by mistake. By the time the Sample Receiving unit noticed, these samples were past their holding times. The permit specifies that quarterly and semiannual requirements must be conducted in the first quarter, so by the time this issue was noticed it was already past the first quarter and resampling was not possible. Although this will not meet the permit requirements, these stations will be analyzed in the second quarter for the semiannual requirements, and results will be provided as a sign of good faith. This resulted in 6 monitoring deficiencies, 3 will be reported in the January through March 2022 period and 3 will be reported in the January through June 2022. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1076846 |
04/28/2020 |
Deficient Monitoring |
On April 28, 2020 Los Angeles City Department of Recreation and Parks staff attempting to sample stations RSW-4 and RSW-W2 discovered the boat engine was inoperable. The secondary boat is also out-of-service with a necessary part on back-order. Both sampling locations are located offshore in deeper water and accessible only by boat. As weekly sampling of both monitoring locations are required in the DCTWRP NPDES discharge permit, alternate sites accessible by sampling pole from the shoreline will be sampled until at least one of the boats is repaired. An approved alternate location for RSW-4 does not currently exist, but a suitable location has been determined to proceed with mandated weekly sampling. Due to the unapproved alternate location of RSW-4 not being in the California Integrated Water Quality System, these weekly nitrogen nutrients results were submitted as an attachment with this monthly report. Since these results are a weekly NPDES requirement for RSW-4 and were taken from an unapproved alternate site, this resulted in six deficient monitoring violations for the week of April 26 to May 2 of 2020 for nitrogen nutrients. The six deficient monitoring violations were for total nitrogen, total kjeldahl nitrogen, ammonia nitrogen, organic nitrogen, nitrate nitrogen, and nitrite nitrogen. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1076849 |
04/28/2020 |
Deficient Monitoring |
On April 28, 2020 Los Angeles City Department of Recreation and Parks staff attempting to sample stations RSW-4 and RSW-W2 discovered the boat engine was inoperable. The secondary boat is also out-of-service with a necessary part on back-order. Both sampling locations are located offshore in deeper water and accessible only by boat. As weekly sampling of both monitoring locations are required in the DCTWRP NPDES discharge permit, alternate sites accessible by sampling pole from the shoreline will be sampled until at least one of the boats is repaired. An approved alternate location for RSW-4 does not currently exist, but a suitable location has been determined to proceed with mandated weekly sampling. Due to the unapproved alternate location of RSW-4 not being in the California Integrated Water Quality System, these weekly nitrogen nutrients results were submitted as an attachment with this monthly report. Since these results are a weekly NPDES requirement for RSW-4 and were taken from an unapproved alternate site, this resulted in six deficient monitoring violations for the week of April 26 to May 2 of 2020 for nitrogen nutrients. The six deficient monitoring violations were for total nitrogen, total kjeldahl nitrogen, ammonia nitrogen, organic nitrogen, nitrate nitrogen, and nitrite nitrogen. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1089847 |
02/28/2021 |
Deficient Monitoring |
In February, there was a deficient monitoring violation for total nitrogen, which is required monthly for the NPDES permit. The schedule sampling date for Ammonia and Organic Nitrogen had to be postponed due to the plant not discharging effluent because of a turbidity issue. Since all the nitrogen constituents were not analyzed on the same day, total nitrogen was not able to be calculated. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1119966 |
06/30/2023 |
Deficient Monitoring |
For the monthly effluent requirements there was a deficient monitoring violation for pentachlorophenol. Per the DCTWRP permit Order No. R4-2022-0341 effective February 1, 2023, pentachlorophenol is a monthly required constituent with an effluent limit of 1.0 ug/L. Due to the in-house method not being sensitive enough to determine compliance with the new effluent limit, monthly analysis has been contracted out. The contract lab extracted the sample outside the allowed holding time. The contract lab sent out an update once the month of June had passed, so resampling was not possible. This resulted in a deficient monitoring violation for pentachlorophenol. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
447892 |
R4-2022-0341 |
N |
1076851 |
04/28/2020 |
Deficient Monitoring |
On April 28, 2020 Los Angeles City Department of Recreation and Parks staff attempting to sample stations RSW-4 and RSW-W2 discovered the boat engine was inoperable. The secondary boat is also out-of-service with a necessary part on back-order. Both sampling locations are located offshore in deeper water and accessible only by boat. As weekly sampling of both monitoring locations are required in the DCTWRP NPDES discharge permit, alternate sites accessible by sampling pole from the shoreline will be sampled until at least one of the boats is repaired. An approved alternate location for RSW-4 does not currently exist, but a suitable location has been determined to proceed with mandated weekly sampling. Due to the unapproved alternate location of RSW-4 not being in the California Integrated Water Quality System, these weekly nitrogen nutrients results were submitted as an attachment with this monthly report. Since these results are a weekly NPDES requirement for RSW-4 and were taken from an unapproved alternate site, this resulted in six deficient monitoring violations for the week of April 26 to May 2 of 2020 for nitrogen nutrients. The six deficient monitoring violations were for total nitrogen, total kjeldahl nitrogen, ammonia nitrogen, organic nitrogen, nitrate nitrogen, and nitrite nitrogen. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1071660 |
12/11/2019 |
Deficient Monitoring |
On December 11, there was no effluent composite sample (NS) to analyze for total suspended solids (TSS) due to the plant auto sampler arm dispenser malfunctioning. Per the permit, TSS is a daily requirement, so this resulted in a daily monitoring deficiency. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1080242 |
07/07/2020 |
Deficient Monitoring |
For the NPDES weekly lake requirement for RSW-4(4) there were a total of 3 deficient monitoring violations. The sample taken on July 7, 2020, was not analyzed for organic Nitrogen within the 28 day holding time. As a result no results were reported for the organic nitrogen for the week of July 5-11 resulting in 1 weekly monitoring deficiency. Also for the week of July 5-11, since there were no results for organic nitrogen, total nitrogen was not able to be calculated which resulted in 1 more weekly monitoring deficiency. The samples taken on July 14, 2020, were not analyzed for Nitrate-N and Nitrite-N within their 48 hours holding time. There was a resample on July 17, 2020 for only Nitrate-N and Nitrite-N. Since all the nitrogen constituents in the week of July 12-18 were not analyzed on the same day, total nitrogen was not able to be calculated which resulted in 1 more weekly monitoring deficiency. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1090989 |
03/06/2021 |
Deficient Monitoring |
For the NPDES weekly lake requirement for RSW-4(4) and RSW-W2 (W-2) there were deficient monitoring violations. The samples taken on March 2, 2021, were not analyzed for total Kjeldahl nitrogen within their 28 day holding time. Consequently, no results were reported for total Kjeldahl nitrogen, organic nitrogen, and total nitrogen for the week of February 28 to March 6 resulting in 2 weekly monitoring deficiencies. The Wet Chemistry laboratory has been experiencing staff shortages due to the COVID-19 pandemic, which resulted in a growing backlog of samples to be analyzed. The Wet Chemistry supervisor prioritized analyses with short hold times. Despite best efforts to analyze all samples in a timely manner, both the supervisor of Wet Chemistry and the staff overlooked these particular samples. In addition, the samples were mistakenly put away in the back up refrigerator prior to analysis being completed on the samples. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1108041 |
06/30/2022 |
Deficient Monitoring |
For the sediment requirements there were deficient monitoring violations for stations RSW-4(4), RSW-W2(W-2), and RSW-LATT622(D). There are no results to report for the pesticides semiannual requirements for the January through June 2022 period. The analysis for these constituents are contracted out. During this period, the Sample Receiving unit mistakenly did not send the sample to the contract lab. By the time the Sample Receiving unit noticed, these samples were past their holding times. The permit specifies that quarterly and semiannual requirements must be conducted in the first quarter, so by the time this issue was noticed it was already past the first quarter and resampling was not possible. This resulted in 3 monitoring deficiencies. Although this will not meet the permit requirements, these stations were analyzed in the second quarter for the semiannual requirements, and results were provided as a sign of good faith in the May 2022 report. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
N |
1065310 |
07/01/2019 |
CAT2 |
Copper, Total Recoverable Maximum Daily (MDEL) limit is 31 ug/L and reported value was 77.1 ug/L at EFF-001A. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
Y |
1063854 |
06/08/2019 |
OEV |
Total Coliform 7-Day Median limit is 2.2 MPN/100 mL and reported value was 3.1 MPN/100 mL at EFF-001B. |
Violation |
N |
eSMR |
Donald C. Tillman WWRP |
412169 |
R4-2017-0062 |
Y |
Report currently showing last five years of violations. Click here to return to viewing one year of violations. Refer to the Interactive Violation Report for more data.
|