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EPA Discharge Monitoring Report (DMR) — January 2026

1 versions2026-02-09attached document

Document

Page 4 of 4

Effect on Receiving Stream

Effect on Receiving StreamEffect on Receiving StreamEffect on Receiving StreamEffect on Receiving StreamEffect on Receiving StreamEffect on Receiving StreamEffect on Receiving Stream
Name of Receiving Stream
Shanty Hollow Creek
Date
Station
Parameter
Result

TRUCKED WASTE RECEIVED THIS MONTH

==> picture [178 x 56] intentionally omitted <==

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1- Septage, holding tank waste and portable toilet waste Total Max day 2- All other wastes Total Max day ----- End of picture text -----

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Volume (Gal.) 2- All other wastes ----- End of picture text -----

  • 3- Number of Part 364 haulers currently approved to transport wastes to this POTW

  • a.Septage,etc

  • b. All others

|||m plant: #REF!|m plant: #REF!| |---|---|---|---| ||||| |||ontent|| |||Superior Sanitation|| |||s:|| ||||| ||||| ||||| ||||| ||||| ||||| ||||| |||ted|| |POSITION NAME|NUMBER FULL TIME|NUMBER PART TIME|TOTAL HOURS| |Operator|||| ||||| ||||| ||||| ||||| ||||| ||||| ||||| ||||| ||||| ||||| ||||| ||||| ||||| ||||| ||||| |||||

I hereby affirm under penalty of perjury that information provided on this form is true to the best of my knowledge and belief. False statements made herein are punishable as a Class A misdemeanor pursuant to Section 210.45 of the Penal Law

Leslie A Coon Jr.

Signature of Chief Operator or Designated Facility Representative

Date

References

This document cites or incorporates the following separate documents:

  • 2026-03-09Wastewater Facility Operation Report for January 2026
    — pinned to version dated 2026-03-09
    Both are separate regulatory reports on the same facility for the same month (January 2026), but they are distinct documents filed under different regulatory forms (EPA DMR vs. NY SPEDES Operation Report) occupying different reporting slots.
  • 2026-01-01EPA Discharge Monitoring Report — January 2026
    — pinned to version dated 2026-01-01
    Both are EPA Discharge Monitoring Reports for the same facility for January 2026, with Document B appearing to be a revised or corrected version of Document A filed 19 days later.
  • 2026-02-03Report Noncompliance Event — SPDES Permit Violation
    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.
  • 2026-01-01SPDES Permit Monthly Operation Report — Facility 1, December 2025
    Two separate regulatory reports for the same facility covering different time periods (January 2026 vs. January 2020), each a distinct monthly filing obligation rather than revisions of the same singular decision.
  • 2026-02-05NYS DEC SPEDES Operation Report — Facility 2
    Both are separate regulatory reports on the same facility for overlapping periods; one is an EPA DMR (January 2026) and the other is a NYS DEC SPEDES report (undated but filed Feb 5), each serving distinct compliance slots.
  • 2026-03-09NYS DEC SPEDES Operation Report — Facility 1
    Document A is a specific EPA Discharge Monitoring Report for January 2026; Document B is a separate NYS DEC SPDES Operation Report covering two facilities for a different month—they are distinct regulatory submissions about related but separate reporting obligations, not revisions of the same singular instrument.
  • 2026-01-01AG Environmental Lab Report #81335 — January 2026
    Two separate regulatory documents (EPA DMR and water quality lab report) covering overlapping time periods but serving different compliance purposes and authored by different entities.
  • 2026-02-05DEC Noncompliance Report Form
    Document A is an EPA Discharge Monitoring Report (DMR) for January 2026 filed on 2026-02-09; Document B is a separate wastewater facility report dated 2026-02-05 — they are distinct regulatory documents about the same facility that may cross-reference each other but occupy different reporting slots.
  • 2026-01-01AG Environmental Lab Report #81964 — February 2026
    Document A is a regulatory EPA discharge monitoring report for January 2026; Document B is a separate lab report dated February 2, 2026 — they are distinct artifacts that may relate to the same facility but serve different reporting purposes and are not revisions of the same singular decision or instrument.

Referenced by

These other documents cite or incorporate this one:

Recurring pattern

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