Merrimack Station Final NPDES Permit No. NH0001465
2020 Final Permit
The United States Environmental Protection Agency (EPA) has issued a final National Pollutant Discharge Elimination System (NPDES) permit for Merrimack Station (Permit No. NH0001465) pursuant to the Clean Water Act, 33 U.S.C. § 1251 et seq., as amended, and the State of New Hampshire, Surface Water Quality Regulations, Chapter 1700, as amended.
The Final Permit authorizes Merrimack Station's discharges of pollutants to, and the withdrawal of water for cooling from, the Merrimack River. Merrimack Station is a coal-burning power plant located in Bow, New Hampshire. The Facility's pollutant discharges are regulated by EPA technology-based effluent limitation guidelines (ELGs) set under the Clean Water Act for the Steam Electric Power Generating Category of industrial dischargers. See 40 CFR part 423. The Facility's discharges of waste heat and withdrawals of river water for cooling are also subject to statutory and regulatory requirements under the Clean Water Act. See 33 U.S.C. §§ 1311(b)(2), 1326(a) and 1326(b). In addition, these discharges and withdrawal must also satisfy applicable New Hampshire water quality standards. See 33 U.S.C. § 1311(b)(1)(C).
EPA invited the public to submit comments on the new Merrimack Station NPDES permit during three separate public comment periods:
- Public Notice of the 2011 Draft Permit (comment period opened September 30, 2011, and closed February 28, 2012, see AR-1082, AR-1124 and AR-947);
- Public Notice of the 2014 Revised Draft Permit (comment period opened April 18, 2014, and closed on October 22, 2014, see AR-1137 and https://www.epa.gov/npdes-permits/merrimack-station-draft-npdes-permit#2014DraftPermit); and
- Public Notice of the 2017 Statement of Substantial New Questions for Public Comment (comment period opened August 4, 2017, and closed December 18, 2017, see AR-1533, AR-1692).
During these public comment periods, numerous parties submitted comments to EPA. Most comments focused on three areas of regulation: 1) setting permit requirements for cooling water withdrawals; 2) discharges of waste heat; and 3) discharges of other types of steam electric power plant pollutant discharges.
- Cooling Water Withdrawals
In the Final Permit, EPA determined that, based on the information and data in the record, the best technology available (BTA) is for the seasonal use (April 1 to August 15) of fine-mesh wedgewire screens with a maximum through-screen velocity of 0.5 ft/sec., use of a traveling screen system with low pressure spray wash systems to remove fish, and installation and use of a new fish return sluice to return to the river any fish and other aquatic organisms that have been collected or trapped on the intake screens. In addition, the Final Permit establishes a best management practice to schedule the Unit 2 maintenance outage to take place during the peak entrainment period (May 15 to June 15) whenever practicable.
- Discharges of Waste Heat
In the Final Permit, EPA decided, based on new data and the Facility's much reduced operations since the 2011 Draft Permit, to set thermal and operational limits based on a CWA § 316(a) variance (from technology-based and water quality-based requirements) that sets instream thermal limits for the Hooksett Pool that will assure the protection and propagation of the balanced indigenous population of the shellfish, fish, and wildlife in the Merrimack River and that reflect Merrimack Station's current mode of operation similar to a peaking facility.
- Steam Electric Power Plant Pollutant Discharges
In the Final Permit, EPA continues to apply the existing, effective effluent limitations guidelines (ELGs) to Merrimack Station's discharges of bottom ash transport water, non-chemical metal cleaning wastes, combustion residual leachate, and other wastestreams covered by part 423 of EPA's regulations. 40 CFR part 423. Specifically, for bottom ash transport water, EPA is applying zero-discharge limits beginning on December 31, 2023, and limits for total suspended solids (TSS) and oil and grease ("O&G") prior to that date, based on the ELGs currently in effect. In addition, with respect to non-chemical metal cleaning wastes, EPA maintains the iron and copper limits and the requirements to segregate metal cleaning waste from other wastestreams prior to sampling, as set forth in its previous draft Permits. With respect to combustion residual leachate, EPA continues to apply TSS and O&G limits based on the effective ELGs, and consistent with those limits imposed in the 2011 Draft Permit. Finally, due to Granite Shore Power's recent withdrawal of its request to authorization to discharge FGD wastewater, the Final Permit no longer authorizes such discharges.
- Final Permit for Merrimack Station (pdf) (907 K)
- Response to Comments for Merrimack Station (All Chapters) (pdf) (8 MB)
- Cover Page and Table of Contents (pdf) (179 K)
- Chapter I. Introduction (pdf) (324 K)
- Chapter II. CWA Thermal Issues (pdf) (4 MB)
- Chapter III. CWA § 316(b) Cooling Water Intake Structure (pdf) (2 MB)
- Chapter IV. Metal Cleaning and Low Volume Wastestream (pdf) (597 K)
- Chapter V. Bottom Ash Transport Water, Landfill Leachate and Coal Pile Run-off (pdf) (993 K)
- Chapter VI. Other Outfalls, Miscellaneous (pdf) (444 K)
- Chapter VII. General Comments (pdf) (407 K)
- Chapter VIII. Flue Gas Desulfurization Wastewater (pdf) (359 K)
- State Certification (pdf) (872 K)
- Merrimack Station Administrative Record
2017 Comment Period
Public Comment Period Reopened for the Merrimack Station Draft NPDES Permit
While continuing to work with New Hampshire Department of Environmental Services to reissue the Merrimack Station Final NPDES Permit, EPA has decided to reopen the public comment period for the Merrimack Station Draft NPDES Permit, pursuant to 40 C.F.R. § 124.14(b). EPA is reopening the comment period because, since issuance of the Draft and Revised Draft Permits, new data, information, and arguments pertinent to certain aspects of the permit – including data, information, and arguments related to new EPA regulations applicable to the permit – have emerged and appear to raise substantial new questions concerning the permit. By reopening the comment period, EPA will provide the public an opportunity to comment on the new information, data, and arguments, including those related to the new regulations. In this regard, EPA notes that PSNH has requested that EPA reopen the comment period on multiple occasions, including most recently in a December 22, 2016, letter to EPA. While reopening the comment period means that additional time will be devoted taking public comment, EPA is hopeful that providing for additional public input will yield an improved permit and ultimately save time in the long run.
In accordance with 40 C.F.R. § 124.14(c), the comment period for the Draft Permit is not being reopened "across the board." It is, instead, only being reopened with respect to certain issues. In conjunction with this public notice, EPA has prepared a document entitled, "Statement of Substantial New Questions for Public Comment" (the Statement). The Statement discusses the new data, information (including new regulations), and arguments, that appear to raise substantial new questions and have prompted EPA to reopen the comment period. The Statement also specifies particular records that are at issue. These records are included in EPA's administrative record for the Merrimack Station NPDES permit. The link to the administrative record is found further below on this page. The Statement also identifies substantial new questions that may be at issue, including possible alternative approaches to designing appropriate permit conditions in light of the new information that is at issue.
More specifically, the comment period is being reopened to give the public an opportunity to comment on the following:
new data (and/or old data presented in a revised, easier-to-understand manner), information, and arguments concerning waste heat discharges by Merrimack Station and their effects on Merrimack River water temperatures;
new data, information, and arguments concerning the status of aquatic organisms, including the Asian clam, in the Merrimack River in the vicinity of Merrimack Station;
questions and arguments about whether any of this new information should lead to changes to either EPA's decision to deny PSNH's request for renewal of its existing thermal discharge variance under CWA § 316(a), 33 U.S.C. § 1326(a), or EPA's analysis of how to apply New Hampshire water quality standards to the regulation of Merrimack Station's thermal discharges;
new EPA regulations under CWA § 316(b), 33 U.S.C. § 1326(b), pertaining to cooling water intake structures at existing facilities, 79 Fed. Reg. 48300 (Aug. 15, 2014) (Final Rule), and questions and arguments about how they should be applied to the Merrimack Station NPDES permit, and about how to take account of current litigation challenging the regulations;
new technical reports assessing the efficacy of cylindrical wedgewire screen technology for reducing impingement mortality and entrainment by cooling water intake structures;
new information concerning cylindrical wedgewire screen design (e.g., cylindrical half-screens) that could make the technology easier to deploy at Merrimack Station;
questions and arguments about what would constitute a reasonable schedule for retrofitting Merrimack Station to comply with CWA § 316(b) by either installing cooling towers to convert the facility to a closed-cycle cooling system, or installing cylindrical wedgewire screens while retaining an open-cycle cooling system;
questions and arguments regarding the application to the Merrimack Station permit of the new EPA regulations promulgated under CWA §§ 301 and 304, 33 U.S.C. §§ 1311 and 1314, and setting effluent limitation guidelines (ELGs) to address certain pollutant discharges from Steam Electric Power Plants, including FGD wastewater discharges, bottom ash transport water, non-chemical metal cleaning wastes, 80 Fed. Reg. 67838 (Nov. 3, 2015) (Final Rule) (the Steam Electric ELGs);
how to take account of the fact that EPA is currently considering an industry petition that the Agency withdraw the new Steam Electric ELGs, and how to take account of existing litigation challenging the Steam Electric ELGs;
how to properly set effluent limits, compliance dates, and other requirements to regulate Merrimack Station's discharges of FGD wastewater, bottom ash transport water, and non-chemical metal cleaning wastes, taking into account the new Steam Electric ELGs as well as the previously issued Revised Draft Permit and any other new information in the administrative record;
in setting NPDES permit limits for Merrimack Station, how, if at all, should EPA take account of the substantial drop in the facility's overall capacity utilization, while recognizing that the units still run a great deal at certain times; and
in setting NPDES permit limits for Merrimack Station, how, if at all, should EPA take account of the current state-administered auction process through which PSNH is slated to divest itself of its generating assets, such as Merrimack Station.
EPA has prepared a "Statement of Substantial New Questions for Public Comment" which should be referred to for a complete description of the new questions and possible new conditions for the Merrimack Station draft NPDES Permit that are now subject to public comment during the reopened public comment period. See link below. EPA also is making available through this web site the administrative record, including the documents containing the new information that is a subject of this public comment period.
This public notice period ends on December 4, 2017. For further information on the public notice period, including how to submit comments, see links below.
- Statement of Substantial New Questions for Public Comment (pdf) (724 K)
- Joint Public Notice of the Reopening of the Public Comment Period for the Draft NPDES Permit for Merrimack Station (pdf) (225 K)
- Public Notice Extension (pdf) (163 K)
- Second Public Notice Extension (pdf) (163 K)
- Administrative Record
2014 Draft Permit
The Draft Permit for Merrimack Station that was issued September 30, 2011, addressed wastewater discharges from several different aspects of the power plant's operations. One important part of the permit set limits for potential wastewater discharges from the facility's flue gas desulfurization (FGD) air pollution control system. The Draft Permit set limits for this wastewater based on the use of the Station's proposed "primary treatment system" for FGD wastewater, plus the addition of a biological treatment stage. Since issuance of the Draft Permit, Region 1 learned that PSNH had, of its own accord, installed and begun operating not only the primary treatment system, but also an FGD secondary wastewater treatment system (SWWTS) consisting of a falling-film evaporator (or brine concentrator) and forced circulation crystallizers capable of operating as a zero liquid discharge (ZLD) system. Region 1 also received a number of comments on the suitability of VCE for Merrimack Station during the 2011 Draft Permit public comment period and has gathered additional information in response to those comments. After considering all this material in connection with an evaluation of the Best Available Technology (BAT) factors specified in the statute and regulations, Region 1 has concluded on a site-specific basis, based on its Best Professional Judgment (BPJ), that the combined primary and secondary FGD WWTS currently operating at the Facility is the BAT for treating the FGD wastewater generated at Merrimack Station.
The particular provisions of the September 2011 Draft Permit now being reconsidered and revised are the effluent limits and reporting requirements for Outfall 003C at Part I.A.4 and for Outfall 003A at Part I.A.2. Region 1 has prepared a Revised Draft Permit and Fact Sheet that includes certain changes to these provisions from the September 30, 2011, Draft Permit. In addition, the Region has compiled the administrative record associated with this action, which is available at the link near the bottom of this page. (Please note that records after #840 have been added since the Draft Permit was issued September 30, 2011). The Agency is now seeking comment on the Revised Draft Permit provisions as well as on Region 1's analysis supporting the revisions. The Region is providing a two-stage comment period. The first stage is an initial 60 day comment period. The second stage is an added 35 days in order that any interested person may file a written response to the material filed by any other person.
- Revised Draft Permit (pdf) (pp 1-29, 2 MB)
- Revised Draft Permit Fact Sheet (pdf) (pp 30-86, 2 MB)
- Revised Draft Permit Public Notice (pdf) (pp 87-88p, 2 MB)
Please note that the initial public comment period for the Revised Draft Permit for Merrimack Station was extended an additional 60 days from June 17, 2014 to August 18, 2014. All persons, including applicants, who believe any condition of the Revised Draft Permit is inappropriate, must raise all issues and submit all available arguments and all supporting material for their arguments in full by August 18, 2014, to the address listed below. In addition, Region 1 extended the additional 35-day comment period by 30 more days during which any interested person may file a written response to the material filed by any other person. This additional comment period begins August 18, 2014 and ends October 22, 2014. Public comments will be added to the Administrative Record in a timely manner to allow for review and response during the additional 65-day period.
U.S. Environmental Protection Agency – Region 1
5 Post Office Square, Suite 100 (OEP06-1)
Boston, MA 02109-3912
Telephone: (617) 918-1995
Comments Received in Response to the Revised Draft Permit for Merrimack Station
- Public Service of New Hampshire, August 18, 2014
- Southern Company Comments on the Revised Draft Merrimack Permit August 18, 2014 (pdf) (394 K)
- Conservation Law Foundation, Earthjustice, Environmental Integrity Project, Sierra Club Comments on the Revised Draft Permit for Merrimack Station (pdf) (336 K)
- Utility Water Act Group Comments on Revised Draft Permit for the Merrimack Station (pdf) (2 MB)
- Electric Power Research Institute (EPRI) Comments on Merrimack Station Revised Draft Permit (pdf) (3 MB)
- Upper Merrimack River Local Advisory Committee Comments (pdf) (235 K)
Comments Responding to Initial Comments on the Revised Draft Permit
- CLF, EIP, Earthjustice, and Sierra Club's Comments Responding to Initial Comments on the Draft Permit, October 22, 2014 (pdf) (608 K)
- Exhibit A - Direct Testimony of Frank T. DiPalma and C. Larry Dalton (pdf) (325 K)
- Exhibit B - Indianapolis Power & Light Co. NPDES CPCN Petition (pdf) (284 K)
- Exhibit C - Indianapolis Power & Light Co. NPDES CPCN: Angelique Oliger Testimony Without Attachments (pdf) (100 K)
- Exhibit D - Indianapolis Power & Light Co. NPDES CPCN: Dennis H. Fink Testimony and Attachments (pdf) (3 MB)
- Public Service of New Hampshire, October 22, 2014
- Lowell Regional Wastewater Utility, October 20, 2014 (pdf) (1 MB)
2011 Draft Permit
Background: EPA and the New Hampshire Department of Environmental Services (NHDES) have issued a new Draft National Pollutant Discharge Elimination System (NPDES) permit for the Merrimack Station power plant in Bow, New Hampshire. The agencies have designed the permit to meet the requirements of federal and state water pollution control laws. Important permit conditions include those addressing the facility's discharges of waste heat to the Merrimack River, its withdrawals of river water for plant cooling needs, and its discharges to the river of mercury, arsenic, selenium and other pollutants.
Merrimack Station is a 470 megawatt (MW), predominantly coal-fired, electrical generation facility owned and operated by Public Service of New Hampshire (PSNH), a corporate subsidiary of The Northeast Utilities System. The facility takes up to 287 million gallons of water per day (MGD) from the Hooksett Pool section of the Merrimack River to use for cooling in its process for generating electricity. The facility also discharges waste heat and other pollutants to the river. More specifically, Merrimack Station burns coal in its boilers to generate steam to drive its electrical generating turbines. It also takes water from the Merrimack River through two intake structures and uses it to condense the steam back to water (i.e., for cooling) so that more steam and electricity can be generated. In the process of condensing steam, the river water absorbs the facility's steam turbine waste heat. This water, carrying the facility's waste heat, is then discharged back to the Hooksett Pool.
This type of cooling system is referred to as an "open-cycle" (or "once-through") system because the water is used for only one cooling cycle before it is discharged to the river. This type of system tends to maximize both the amount of water that must be taken from a water body for cooling and the amount of waste heat discharged to the receiving water. As an alternative to open-cycle systems, closed-cycle cooling systems include technology to chill heated condenser cooling water so that it can be recycled for additional cooling cycles. As a result, closed-cycle systems tend to minimize water withdrawals for condensing steam and discharges of waste heat.
By raising water temperatures, discharges of heat to a water body (i.e., "thermal discharges") can harm aquatic organisms in many ways. EPA's analysis finds that Merrimack Station's thermal discharges have, indeed, harmed fish in the Hooksett Pool. Data indicates that thermal discharges have contributed to the alteration and depletion of fish populations in the Pool over the last 20 to 30 years. Making matters worse, fish are also killed and injured by the facility's withdrawals of river water for its cooling needs. The water taken from the river contains fish eggs and larvae and these tiny creatures are pulled through the facility's cooling system and killed by exposure to harsh physical impacts, extreme water temperatures and toxic chemicals. This "entrainment" of fish eggs and larvae is a problem from April through August of each year at Merrimack Station because this is the primary period when fish eggs and larvae are found in the Hooksett Pool. In addition, withdrawals of river water create a water velocity at the intake pipes that can trap (or "impinge") juvenile and adult fish against the facility's intake screens. The fish caught on the screens may be killed or injured and "impingement" is a year-round concern at Merrimack Station.
Another important issue addressed by the new draft permit is the wastewater discharge expected from Merrimack Station's recently constructed wet flue gas desulfurization (FGD) scrubber system. The wet FGD scrubber system will reduce the facility's emission of air pollutants, such as mercury and sulfur dioxide, but it will also generate a wastewater containing many of these same pollutants. Thus, the discharge of FGD wastewater must be properly controlled.
EPA and the NHDES last reissued Merrimack Station's NPDES permit (Permit No. NH0001465) on June 25, 1992. Originally scheduled to expire on July 27, 1997, the permit has been administratively continued in effect pending reissuance of a new permit.
Major Permit Conditions: Consistent with the requirements of the Clean Water Act, EPA and NHDES have designed the following key permit conditions:
Reduced Thermal Discharges: EPA has found that Merrimack Station's thermal discharges have contributed to the deterioration of fish populations in the Hooksett Pool. In addition, EPA has determined that upgrading Merrimack Station's decades-old open-cycle cooling system to a closed-cycle system is the best available technology for reducing the facility's discharges of waste heat. Therefore, the Draft Permit includes monthly and yearly limits on the amount of heat that Merrimack Station can discharge to the Hooksett Pool based on the levels achievable by a closed-cycle cooling system. These limits apply year-round and would reduce the facility's thermal discharges by 99.6%.
Reduced withdrawals of river water: EPA has determined that converting Merrimack Station's cooling system from an open-cycle system to a closed-cycle system is also the best technology available for minimizing mortality to fish eggs and larvae from entrainment by Merrimack Station's cooling system. Due to seasonal spawning patterns, however, eggs and larvae are present in the Hooksett Pool only from April to August. Therefore, EPA is proposing limits on the facility's water withdrawals based on the use of closed-cycle cooling, but these limits only apply only during the April to August period. The intake flow limits for the rest of the year would allow water withdrawals compatible with open-cycle cooling. (By contrast, the Draft Permit's thermal discharge limits are based on the year-round use of closed-cycle cooling.)
Improved Fish Return System: To reduce fish mortality from impingement, the Draft Permit specifies that Merrimack Station's cooling water intake structures must be modified to include low pressure spray washes for gently removing impinged fish from the intake screens, a new "fish return system" to safely return impinged fish to the river, and operational controls to reduce exposure of impinged fish to chlorine.
Controls on Other Internal Wastewater Streams: The new Draft Permit also includes limits to control the discharge of pollutants in wastewater from the wet FGD scrubber system and various other sources at the facility, such as from metal cleaning operations.
Public Comment: EPA has placed Merrimack Station's Draft Permit on Public Notice from September 30 to November 30, 2011. During the Public Notice period any individual, agency, organization, etc., can submit written comments on the Draft Permit to EPA Region 1. EPA will consider and respond in writing to all timely, significant comments. Summaries of all comments received and EPA's responses to them will be posted at www.epa.gov/npdes-permits/merrimack-station-draft-npdes-permit. EPA will also host a Public Hearing scheduled for November 3, 2011, at NH Dept. of Environmental Services headquarters auditorium starting at 6:30 p.m.
- 2011 Draft Permit (pdf) (328 K) (Note: Corrections on pages 6-7)
- 2011 Fact Sheet (pdf) (385 K) (Note: Corrections on pages 12, 33, and 34)
- Attachment A: Map Location of Merrimack Station (pdf) (351 K)
- Attachment B: Map Location of Outfalls (pdf) (436 K)
- Attachment C: Merrimack Station Schematic of Water Flow (pdf) (813 K)
- Attachment D: Clean Water Act NPDES Permitting Determinations for the Thermal Discharge and Cooling Water Intake Structures at Merrimack Station in Bow, New Hampshire (pdf) (2 MB)
- Attachment E: Determination of Technology-Based Effluent Limits for the Flue Gas Desulfurization Wastewater at Merrimack Station in Bow, New Hampshire (pdf) (555 K)
- Attachment F: Discharge Monitoring Report Summary January 2005 - December 2010 (pdf) (242 K)
- Administrative Record
- Comments Received During the Public Notice Period for the 2011 Draft Permit
- Public Hearing
- Information Brief (pdf) (574 K)
- Transcript (pdf) (143 K)
- News Release: Updated Clean Water Discharge Permit for Merrimack Station in Bow, N.H. Issued for Review
Sharon DeMeo (firstname.lastname@example.org)
U.S. Environmental Protection Agency
5 Post Office Square, Suite 100 (WIP06-4)
Boston, MA 02109-3912
Phone: (617) 918-1995
Fax: (617) 918-0295