Red Hook WatchIndependent Community Resource

EPA Discharge Monitoring Report — September 2025

1 versions2025-10-06attached document

Document

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SECTION 1 New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event To: DEC Water Contact Report Type: X Permit Violation Order Violation Anticipated Noncompliance Bypass/Overflow SECTION 2 SPDES #:NY-0271420 Facility: Village of Red Hook Date of noncompliance: 8/1/2025 Location (Outfall, Treatment Unit, or Pump Station): Outfall Description of noncompliance(s) and cause(s): Throughout the month the temp exceeded SPEDS limits due to no process to cool water Facility failed to sample BOD, lbs p/day, % Removal due to human error with the change in seasonal sampling protocol Has event ceased? No If so, when? Was event due to plant upset? No SPDES limits violation YES Start date, time of event: , (AM)(PM) End date, time of event: (AM)(PM) Date email notification made to DEC? , (AM)(PM) DEC Official contacted: Immediate corrective actions: uncontrollable variable Sampled for BOD in September Preventive (long term) corrective actions: SECTION 3 Complete this section if event was a bypass: Bypass amount: Was proir DEC authorization received for this event? (Yes)(No) DEC Official contacted: Date of DEC approval: Describe event in "Description of noncompliance and cause" area in Section 2. Detail the start and end dates and times in Section 2 also. Forms by EnviroWin (312-244-1900) SECTION 4 Facility Representative Leslie A Coon Jr Title: Sr. Area Manager Date: 9/24/2025 Phone #: 845-544-3151 Fax #:

Facility Representative 3506-101 (12/93)

References

This document cites or incorporates the following separate documents:

  • 2025-08-01August 2025 Sewer Report
    — pinned to version dated 2025-08-01
    Document B (August sewer report) is a separate operational report that Document A (October DMR noncompliance notice) cites and references as the source of the violations being reported to DEC.
  • 2025-08-012025 08 01 Date of Noncompliance Report 2025 09 28
    — pinned to version dated 2025-08-01
    Document B is a DEC compliance action document that references and responds to the noncompliance event reported in Document A; they are separate artifacts in different slots (report vs. agency action), not revisions of the same instrument.
  • 2025-10-06DEC SPEDES Wastewater Facility Operation Reports — August 2025
    — pinned to version dated 2025-10-06
    Document A is a noncompliance event report for August 2025; Document B is a separate operational report for the same facility covering August 2025—they are distinct regulatory documents that reference the same facility and period but serve different reporting slots (violation notification vs. routine operations reporting).
  • 2026-03-30Engineering Report and Schedule Approval – WWTP Upgrade
  • 2025-10-06WWTP Discharge Monitoring Report and Noncompliance Report — August 2025
    Document A is a noncompliance event report for August 2025, while Document B is the complete monthly operational/DMR report for August 2025—two separate regulatory documents about the same facility and month, not revisions of the same instrument.
  • 2025-09-08Sewer Department Report — August 2025
    Document B is a general operational report discussing August activities including DMR reporting processes; Document A is the specific EPA Discharge Monitoring Report (DMR) for September citing noncompliance events—they are separate artifacts in different reporting slots (operational summary vs. regulatory violation report).
  • 2025-08-018 2025
    Document A is a regulatory compliance report (EPA DMR noncompliance notification) and Document B appears to be a separate operational working document; they are distinct artifacts linked by subject matter (same facility operations) but occupying different slots (regulatory reporting vs. internal operations tracking).
  • 2025-10-06Facility 1 — August 2025
    Document A is a regulatory noncompliance report filed with DEC; Document B is a separate facility operational report—they reference the same facility but serve different documentary purposes and slots (regulatory filing vs. internal facility reporting).

Referenced by

These other documents cite or incorporate this one:

  • 2025-10-06SPEDES Permit Operation Report — Plant 2 — September 2025
    — pins a specific version of this chain
    Document B is a noncompliance report that references and comments on the operational data in Document A; they are separate board artifacts serving different slots (operational reporting vs. violation reporting).
  • 2025-10-06WWTP Discharge Monitoring Report and Noncompliance Report — August 2025
    — pins a specific version of this chain
    Document A is a routine monthly operational report for August 2025; Document B is a separate noncompliance event report for the same facility citing violations detected in that data, making them distinct board actions linked by subject matter rather than revisions of the same instrument.
  • 2025-09-08Sewer Department Report — August 2025
    Document A is an operational narrative report of sewer department activities in August; Document B is a formal EPA noncompliance report for the same facility covering the same month—they are separate regulatory documents that reference the same facility and period but serve different purposes (operational summary vs. regulatory violation disclosure).

Recurring pattern

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