Royal Gorge Sewage or "Squaring the Circle"
by Bernard Pech
Last November, Royal Gorge LLC (RG) released to Placer County their "Wastewater Treatment and Disposal Alternatives Study". A copy is now available on the SaveSereneLakes site (www.saveserenelakes.org on the "documents" page). Carollo Engineers, who prepared the report for RG, made a well-attended (about 25 members of the public) presentation to the Board of the Donner Summit Public Utilities District (DSPUD- the utility that processes our sewage) at their January meeting. The DSPUD consultant was also present.
First, sewage 101: Getting rid of wastewater (or influent) involves collection, treatment, and disposal. Collection is through pipes and pumps to deliver the wastewater to a treatment plant. The treatment plant uses various filtering, biological, and other high-tech processes to yield "high quality" effluent (the liquid part) and solids. Both products must then be disposed of, a non-trivial task on its own, as the effluent cannot be refined to 100% pure water, and the solids include nasty stuff. The wastewater is characterized by two measures, which dictate the overall sizing of an end-to-end system: its flow (the amount in gallons per day) and its load (the concentration of chemical and solid). Load elements are: total suspended solids (TSS), the biochemical oxygen demand (BOD), ammonia, total nitrogen (TKN), and total phosphorous. Load is also used to rate the effluent quality. There are numerous and ever more stringent federal, state, and local regulations that constrain design and operations.
Our Serene Lakes subdivision gets its water from the Sierra Lakes County Water District (SLCWD). SLCWD has a contract with DSPUD for the processing and disposal of our wastewater, but owns and maintains our collection system. To ensure service to already entitled customers (in Soda Springs, Sugar Bowl as well as the 250 vacant lots at Serene Lakes), and to meet expected occupancy increases over time as well as new, more stringent regulations (California and National Toxic Rule - CTR/NTR - required by 2010), DSPUD has embarked on an expansion of its capacity and an upgrade of its treatment processes. A filing requesting a permit for a 58% increase in maximum daily flow is well under way and proceeding independently from any RG demand. The Board has made it clear that it will not modify its expansion plan in any way until RG gets entitlement, as doing otherwise would only create delays and extra expenses and would be a violation of its fiduciary duties.
Today DSPUD discharges its effluent by spraying on a field adjacent and west of the Soda Springs ski lift as a first option, weather permitting (Summer and early Fall), and by dilution into the Yuba River otherwise (Winter). The solids are trucked to Nevada for burial.
The Carollo Engineers Study report, very accessible to a layperson, makes for good reading. We can only encourage SLPOA members to read it. At least it would encourage us to watch what we pour into our sinks. Regardless of treatment, it all ends up in our environment. Carelessness can only lead to bills even higher than they are now.
The report first characterizes flow and load for the RG project. The flow depends on the number of equivalent dwelling units (EDUs), water conservation measures (such as toilet technology), and EDU occupancy rates. Peak flow and its duration are important design parameters to balance temporary storage capacity and maximum plant processing capability.
The RG EDUs are estimated at 1,004, as compared to 1,400 currently served by DSPUD. Each RG EDU is projected to be occupied by 4.88 persons with an average discharge of 70 gallons per person. The occupancy rate is assumed to be 75%. The RG flow calculates to an annual average of 0.260 million gallons per day (called the AA flow). 100% occupancy and industry-standard factors of 1.8 and 3.6 are used to calculate max daily flow and max hourly flow. The report then compares these estimates to existing DSPUD measured historical data. The RG AA estimate would more than double 05/06 measured flows. Taking into account occupancy rates and EDUs, the two AA flows are consistent, but two discrepancies are pointed out:
The RG influent load is derived by diluting in the flow volume the "pound per day per person" industry standards for predominantly residential areas of each of the regulated load components. The report finds the calculated concentrations are on the high end of the published data from municipalities, but claims that they are typical for new municipalities which have implemented water conservation. On the other hand, compared to DSPUD historical data, they are lower and this is attributed to higher DSPUD wet weather infiltration and inflow due to old collection pipes.
Having established input parameters, the report develops and analyzes approaches for RG wastewater treatment and effluent disposal. No stone is left unturned. Eight combinations of two treatment alternatives with four effluent disposal strategies are pared down, using mostly common sense, to four potential schemes (as an example, making "green" snow with effluent is set aside - too green for RG?):
Subsurface irrigation is similar to a leach field design: the effluent percolates through moderately and highly permeable soils, which continue to remove constituent by filtering and straining action. Primary advantages over spray irrigation are that application can be at a higher rate, resulting in a smaller footprint for the disposal site, and operation can be year around provided that the irrigation pipes are located below the frost layer. The regional regulating agency for surface water discharges (known as CVRWQCB!) has indicated to the engineers that they favor implementing subsurface irrigation as much as possible and that it may be very difficult to permit new water discharges to the South Yuba River.
The spray fields (1A and 2C) or the subsurface irrigation fields (1D and 2D) would be located in two areas: area-1 and area-2. Area-1 (1 x 1/4 mile) is east of and adjacent to Kilborn Lake in the Nevada County section of RG property, a plateau dominating and abutting I-80 by 400 feet. Area-2 (1/2 x 1/4 mile) is a steep slope sandwiched between Crow’s Nest and the Van Norden Meadow at about 7,000 feet, and draining into the meadow. Both areas would have to be deforested, and possibly fenced against public access. The engineers state that the irrigation pipes would have to be set in trenches four feet deep with gravel bedding.
The 2C storage ponds would be located in area-1 and designed to hold 57 million gallons. Based on the stated footprint of 20 acres, it appears that it would have a depth of about 10 feet. The engineers point out that the storage ponds would fall under the jurisdiction of the Division of Safety of Dams due to their large size, but claim that it may not have to follow dam safety standards, as there are exceptions in the regulations for effluent storage ponds.
The major challenge in expanding the existing treatment plant capacity (1A and 1D) is lack of physical space to fit all the needed equipment and building, and the very rugged nature of the terrain. Furthermore a “force main” pipe would have to be tunneled under highway 80 to bring in influent, and a second one would be needed to bring effluent back to spraying or subsurface irrigation fields. The new RG plant (2C and 2D) would be located in area-1.
Overall, this Carrollo Engineers Waste Water investigation appears to this layperson to be of a much higher quality than the CDM Water Alternatives Study. One appreciates that it does not hide the many great challenges facing RG, in particular:
To this writer, the report proves that the Summit environment does not support a way to handle more than double the existing 05-06 DSPUD flow. But RG clearly wants a solution, however unfeasible, and the report attempts to show light at the end of the tunnel. It attempts to downplay some factors as well as trying to provide support for potential RG marketing ploys. Fair enough, after all, RG is paying the consultant’s bill! But is it reasonable? Here are questions to be answered:
The more egregious claims are that DSPUD and the community at large would derive benefits from the plant expansion alternative. They claim:
As a community, we need to encourage the DSPUD Board to continue on the track it is on:
With regard to waste water, RG is proceeding in the same aggressive way that it has used in all areas: rather than asking DSPUD for the number of EDUs that could be reasonably accommodated by a plant expansion and to constrain their development based on that input, RG is driven by its ill-conceived commitments to investors and seeks the squaring of the circle to meet a demand which is totally unsuited to the Summit environment. As our SLPOA president has asked, when will RG approach the community to design a project that we can all support? One last request to RG: please bring the water study to the same level of professionalism as the Carollo Engineers report.