Red Hook WatchIndependent Community Resource

Report Noncompliance Event — SPDES Permit Violation

1 versions2026-02-03working document

Versions

  1. 12026-02-03

Document

Original file not available online (local: data/sources/village_docs/doc_2710.pdf)View version history →Meeting on 2026-02-03 →

©Copyright 1992-95, WindowChem Software, Inc., All Rights Reserved., (707) 864-0845, Revision 3.0

|SECTION 1 To: DEC Water Contact Report Type: X Permit Violation|SECTION 1 To: DEC Water Contact Report Type: X Permit Violation|SECTION 1 To: DEC Water Contact Report Type: X Permit Violation|SECTION 1 To: DEC Water Contact Report Type: X Permit Violation|SECTION 1 To: DEC Water Contact Report Type: X Permit Violation|SECTION 1 To: DEC Water Contact Report Type: X Permit Violation|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Order Violation New York State Department of Enviromental Conservation Division of Water Report Noncompliance Event Anticipated Noncompliance|Bypass/Overflow| |---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---| ||||||||Order Violation

Division of Water Report Noncompliance| Division of Water Report Noncompliance| Division of Water|||||||| |||||||||||||||||| |||||||||||||||||| | Facility: | - | - | - | - | - | Facility: | Village of Red Hook | | SECTION 2 | - | - | - | - | - | - | - | | SPDES #:NY-0271420 | - | - | - | - | - | - | - | | Village of Red Hook | - | - | - | - | - | - | - | | **Date of noncompliance:**1/22/2026 | - | - | - | - | - | - | - | | Location (Outfall, Treatment Unit, or Pump Station): | - | - | - | - | - | - | - | | Description of noncompliance(s) and cause(s): | - | - | - | - | - | - | - | | Exceeded TSS on 1A likelydue to short circuitingof the tertiaryfilters. | - | - | - | - | - | - | - | ||||||||Location (Outfall, Treatment Unit, or Pump Station):|||||||||Outfall| |||||||||||||||||| |||||||||||||||||| |||||||||||||||||| |||||||||||||||||| |||||||||||||||||| |Yes Immediate corrective actions: Date notification made to DEC? Start date, time of event: Has event ceased? If so,||||If so,|, when?|, (AM)(PM)End date, time of event: 2/3/2026 (AM)(PM)

Was event due to plant upset?||||||||No l contacted:||YES (AM)(PM) VijayGandhi SPDES limits violation| ||||||||||||||DEC Officia|||| |||||||||||||||||| ||||||Add additional anthracite to filter|||||to level specified bymanufacturer||||||| |||||||||||||||||| |||||||||||||||||| |Preventive (long term) corrective actions:||||||||||||||||| |||||||Monitor levels||||||||||| |||||||||||||||||| |||||||||||||||||| |||||||||||||||||| |||||||||||||||||| |||SECTION 3 Complete this section if event was a bypass: Bypass amount: DEC Official contacted: Describe event in "Description of noncompliance and cause" are||||(Yes)(No) Date of DEC approval: a in Section 2. Detail the start and end dates and times in Section 2 also. Was proir DEC authorization received for this event?||||||||||| |||||||||||||||||| |||||||||||||||||| |||SECTION 4 Facility Representative Phone #: 845-544-3151 Leslie A Coon Jr|||Leslie A Coon Jr|Title: Date: Fax #: Sr. Area Manager||||||||||Forms by EnviroWin (312-244-1900) 2/3/2026| ||||||||||||||||||

3506-101 (12/93)

References

This document cites or incorporates the following separate documents:

  • 2026-01-222026 01 22
    — pinned to version dated 2026-01-22
    Document A is a formal DEC noncompliance report filed on 2026-04-09 about an event that occurred on 2026-01-22; Document B appears to be a separate operational record from that same date; they are distinct artifacts where one documents/reports the other rather than revising the same instrument.
  • 2026-04-09Water Systems Operation Report — March 2026
    Document A reports a specific SPDES permit violation event (TSS exceedance on 1/22/2026); Document B is a separate monthly operational report for March 2026 covering routine chlorination and microbiological monitoring—different regulatory slots and different time periods, linked only by shared facility.
  • 2026-03-09NYS DEC SPEDES Operation Report — Facility 2
    Document A is a noncompliance event report filed with DEC; Document B is a routine monthly operational report—different slots (incident reporting vs. periodic compliance monitoring), not a revision of the same instrument.
  • 2026-01-01EPA Discharge Monitoring Report — January 2026
    Document A is a noncompliance event report filed with DEC; Document B is a separate EPA discharge monitoring report—two distinct regulatory documents about the same facility that reference each other but occupy different reporting slots.
  • 2026-02-05NYS DEC SPEDES Operation Report — Facility 2
    Document A is a noncompliance event report filed with DEC; Document B is a separate operational report for the same facility—they are distinct board/regulatory documents that may reference the same facility but occupy different reporting slots.
  • 2026-01-01SPDES Permit Monthly Operation Report — Facility 1, December 2025
    Document A is a noncompliance event report for a specific violation dated 1/22/2026; Document B is a routine monthly operational report template for a different time period (2020), making them separate artifacts linked by facility reference, not revisions of the same instrument.
  • 2026-03-09NYS DEC SPEDES Operation Report — Facility 1
    Document A is a DEC noncompliance event report for a specific violation dated 1/22/2026; Document B is a routine operational report for two facilities dated one month earlier, covering different reporting slots (incident report vs. periodic operations summary).
  • 2026-03-09AG Environmental Lab Report #81335 — January 2026
    Document A is a noncompliance event report to DEC about a specific violation; Document B is a separate EPA discharge monitoring report for the same facility—different regulatory documents serving different reporting slots.
  • 2026-03-09EPA Discharge Monitoring Report (DMR) — January 2026
    Document A is a DEC noncompliance event report for a specific violation dated 1/22/2026; Document B is a routine monthly operational report for the same facility dated one month earlier, occupying different slots (incident reporting vs. periodic compliance monitoring).
  • 2026-02-05DEC Noncompliance Report Form
    Document A is a DEC noncompliance report filed by the facility; Document B appears to be a separate facility report document—they are distinct artifacts even if related to the same operational context.

Referenced by

These other documents cite or incorporate this one:

  • 2026-03-09Wastewater Facility Operation Report for January 2026
    — pins a specific version of this chain
    Document A is a routine monthly operational report for January 2026; Document B is a separate noncompliance violation report filed in April 2026 that references data from Document A to document a permit violation, but they occupy different slots (operational reporting vs. violation reporting).
  • 2026-02-09NetDMR Submission Notification — January 28, 2026
    Two separate noncompliance events reported on different dates (12/12/2025 vs 1/22/2026) for the same facility using the same form template; each is an independent regulatory report of a distinct incident, not a revision of the same singular event.
  • 2026-02-09DEC Wastewater Facility Report — January 2026 (Facility 2)
    Document A is a routine monthly facility operation report; Document B is a separate noncompliance violation report triggered by data from that report—they occupy different slots (operational monitoring vs. violation reporting).
  • 2026-02-09EPA Discharge Monitoring Report (DMR) — January 2026
    Document A is a routine monthly DMR report; Document B is a separate noncompliance violation report triggered by data from that report—they are distinct board actions linked by subject matter, not revisions of the same instrument.

Recurring pattern

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