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Sewer Department Report — September 2025

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Village of Red Hook SEWER DEPARTMENT REPORT September 2025

We had an operational meeting on Sept. 10 & 25 where we reviewed sewer operations.

H2O’s software platform, Waterly, is now up and running for the Village of Red Hook. This will enable the team to have ready access to all of the testing data in real time.

We discussed a list of equipment and supplies needed for the Sewer plant. Karen will review and authorize these purchases.

At the “old plant”, Plant 1B, a pump has been installed in the EQ tank to allow for better management of the flow. Now that the biology or “bugs” are growing well, there is a need to maintain the right amount which means sometimes an excess needs to be “wasted”. With the added pump in the EQ tank, that will allow for wasting to occur. The West side aeration tank is waiting for a valve replacement so that the return activated sludge can function on this side. This valve replacement is scheduled for the week of 9/29. The East side is currently handling all the flow. Some adjustment to the floats in the sand filter is needed.

The new plant, Plant 1A, the plant is operating smoothly. It functions best when it has consistent, steady flow through the plant. Wasting of the biology or “bugs” needs some adjustment and the sand filter floats also need some adjustments.

H2O did discover that our BOD testing, since June, has not been in compliance. The test required changes seasonally so from June to Oct, a different test is required. This change was made due to human error. H2O contacted DEC and has reported our non-compliance. Everything else has been in compliance. While the other test results would indicate that the BOD test should have been in compliance, there is not a calculation that can confirm that.

There was a significant toilet leak in one of the apartment buildings on the sewer system. Fortunately the water meter for that building had been changed to a cell meter so the location was isolated quickly. All the extra water flowed into the system to the WWTP which caused the extra EQ to fill up. This reiterates the need for the expanded EQ tank capacity to allow for disruptions in the system.

We reviewed the proposed alarm system from Vector and the team determined that we could set up our own system with notification via cell service that would function just as well and would be less expensive. Next steps to be discussed at our next meeting.

We received no odor complaints that tied to the WWTP in the month of September. The last WWTP odor complaint we have received was in early May.

Rural water is scheduled to meet with the Sewer team in mid-November to help the team begin developing an asset management plan.

Changes between versions

2025-10-062025-10-06
clerical+00

No substantive changes were made to the September 2025 Sewer Department Report.

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## Village of Red Hook SEWER DEPARTMENT REPORT September 2025 We had an operational meeting on Sept. 10 & 25 where we reviewed sewer operations. H2O’s software platform, Waterly, is now up and running for the Village of Red Hook. This will enable the team to have ready access to all of the testing data in real time. We discussed a list of equipment and supplies needed for the Sewer plant. Karen will review and authorize these purchases. At the “old plant”, Plant 1B, a pump has been installed in the EQ tank to allow for better management of the flow. Now that the biology or “bugs” are growing well, there is a need to maintain the right amount which means sometimes an excess needs to be “wasted”. With the added pump in the EQ tank, that will allow for wasting to occur. The West side aeration tank is waiting for a valve replacement so that the return activated sludge can function on this side. This valve replacement is scheduled for the week of 9/29. The East side is currently handling all the flow. Some adjustment to the floats in the sand filter is needed. The new plant, Plant 1A, the plant is operating smoothly. It functions best when it has consistent, steady flow through the plant. Wasting of the biology or “bugs” needs some adjustment and the sand filter floats also need some adjustments. H2O did discover that our BOD testing, since June, has not been in compliance. The test required changes seasonally so from June to Oct, a different test is required. This change was made due to human error. H2O contacted DEC and has reported our non-compliance. Everything else has been in compliance. While the other test results would indicate that the BOD test should have been in compliance, there is not a calculation that can confirm that. There was a significant toilet leak in one of the apartment buildings on the sewer system. Fortunately the water meter for that building had been changed to a cell meter so the location was isolated quickly. All the extra water flowed into the system to the WWTP which caused the extra EQ to fill up. This reiterates the need for the expanded EQ tank capacity to allow for disruptions in the system. We reviewed the proposed alarm system from Vector and the team determined that we could set up our own system with notification via cell service that would function just as well and would be less expensive. Next steps to be discussed at our next meeting. We received no odor complaints that tied to the WWTP in the month of September. The last WWTP odor complaint we have received was in early May. Rural water is scheduled to meet with the Sewer team in mid-November to help the team begin developing an asset management plan.

References

This document cites or incorporates the following separate documents:

  • 2025-10-28DEC Water Violation Report Form — October 2025
    — pinned to version dated 2025-10-28
    Document B is a formal DEC noncompliance report filed in response to the BOD testing violation mentioned in Document A; they are separate regulatory documents in different slots (operational report vs. compliance filing).
  • 2025-11-17EPA Discharge Monitoring Report — October 2025
    — pinned to version dated 2025-11-17
    Document A is an internal operational report; Document B is the formal NYS DEC SPDES compliance report for the same facility and month—two separate documents serving different regulatory slots (internal operations vs. state filing).
  • 2025-11-17Water Quality Lab Report #76018 — September 2025
    — pinned to version dated 2025-11-17
    Document B is a lab test report for September samples that Document A references and discusses; they are separate artifacts where the report provides data supporting the narrative in the department report.
  • 2025-11-13NYS DEC Wastewater Facility Operation Report — Two Plants
    Document A is an internal operational report on September activities; Document B is a separate NYS DEC regulatory compliance report for the same facility—different documents serving different slots (internal operations vs. regulatory filing).
  • 2025-11-13Plant 1 Operation Report (Page 1 of 4)
    Document A is an internal operational report on sewer department activities; Document B is a separate NYS DEC regulatory compliance report on the same facility—different documents serving different slots (internal operations vs. external regulatory reporting).
  • 2025-11-13Plant 2 Operation Report (Page 1 of 4)
    Document A is an operational status report on sewer department activities; Document B is a separate regulatory compliance filing (EPA DMR); they are distinct board artifacts linked by subject matter, not revisions of the same instrument.
  • 2025-11-13Wastewater Facility Operation Report for September 2025 and Laboratory Test Results
    Both documents report on the same wastewater facility operations for September 2025; Document B is the formal state-required SPEDES permit report form containing the detailed laboratory data underlying the operational narrative in Document A.
  • 2025-09-182025 09 18
    Document B appears to be a working document or draft related to WWTP operations, while Document A is a completed September 2025 sewer department report; they are separate artifacts in different stages/formats rather than one being a revision of the other.
  • 2025-11-13EPA Discharge Monitoring Report (DMR) — Two Facilities
    Document A is an operational meeting summary; Document B is a regulatory discharge monitoring report—different slots (internal operations review vs. EPA compliance filing), linked by subject matter but separate artifacts.
  • 2025-11-17Water Quality Lab Report #76017 — September 2025
    Document B is a standalone lab report testing water samples from the sewer plant; Document A is a narrative operational report that references testing data and compliance issues but is not itself revised by the lab report.
  • 2025-11-13DEC Noncompliance Report Form (Section 1–4)
    Document B is a regulatory filing/report form responding to the noncompliance issue mentioned in Document A; they are separate artifacts in different slots (operational report vs. regulatory compliance filing).

Referenced by

These other documents cite or incorporate this one:

  • 2025-11-17EPA Discharge Monitoring Report — October 2025
    Document B is a narrative operational summary report; Document A is the formal SPDES regulatory monitoring report for the same facility and month—they are separate board documents serving different purposes (operational discussion vs. regulatory compliance filing).
  • 2025-11-17Water Quality Lab Report #76018 — September 2025
    Document A is a lab test report for specific water samples; Document B is a sewer department operational summary that references the lab results as part of broader facility management discussion, not a revision of the same instrument.
  • 2025-11-17Water Quality Lab Report #76017 — September 2025
    Document A is a lab test report for a specific sample batch; Document B is a sewer department operational summary that references the lab results (BOD testing compliance issue) as one item among many operational matters, but they are separate artifacts serving different purposes.
  • 2025-11-17DEC Water Violation Report Form — October 2025
    Document B is a monthly operational report that references and discusses the DEC water violation (BOD non-compliance) reported in Document A, but they occupy different slots: A is the formal DEC violation report form itself, B is the sewer department's internal operational summary that mentions the violation as context.

Recurring pattern

These other chains use the same template but are separate decisions: