DNREC v. DSWA

CourtSuperior Court of Delaware
DecidedJanuary 29, 2020
DocketK19A-05-002 NEP
StatusPublished

This text of DNREC v. DSWA (DNREC v. DSWA) is published on Counsel Stack Legal Research, covering Superior Court of Delaware primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
DNREC v. DSWA, (Del. Ct. App. 2020).

Opinion

IN THE SUPERIOR COURT OF THE STATE OF DELAWARE

DELAWARE DEPARTMENT OF NATURAL RESOURCES AND ENVIRONMENTAL CONTROL, C.A. No. K19A-05-002 NEP In and for Kent County Appellant

(Appellee below), Vv.

DELAWARE SOLID WASTE AUTHORITY; GREGGO & FERRARA, INC.; CONTRACTORS HAULING, LLC,

Appellees

) ) ) ) ) ) ) ) ) ) ) ) ) ) ) (Appellants below). )

MEMORANDUM OPINION AND ORDER

Submitted: October 1, 2019 Decided: January 29, 2020

Upon Appeal from the Environmental Appeals Board AFFIRMED in part, REVERSED in part, and REMANDED

William J. Kassab, Esquire, Deputy Attorney General, Department of Justice, Attorney for Appellant.

Michael W. Teichman, Esquire, Elio Battista, Jr., Esquire, and Kyle F. Dunkle, Esquire, Parkowski Guerke & Swayze, P.A., Attorneys for Appellee Delaware Solid Waste Authority.

Jeffrey M. Weiner, Esquire, Law Offices of Jeffrey M. Weiner PA, Attorney for Appellees Greggo & Ferrara, Inc., and Contractors Hauling, LLC.

Primos, J. DNREC v. Delaware Solid Waste Authority, et al K19A-05-002 NEP January 29, 2020

Before the Court is the appeal of the Department of Natural Resources and Environmental Control (hereinafter “DNREC”) from the decision of the Environmental Appeals Board (hereinafter the “Board”) reversing the Penalty Order of the Secretary of DNREC (hereinafter the “Secretary”) entered against Delaware Solid Waste Authority (hereinafter “DS WA”), and affirming in part and remanding the Penalty Order of the Secretary entered against Greggo & Ferrara, Inc. (hereinafter “G&F’’), and Contractors Hauling, LLC (hereinafter “CH”). For the reasons explained herein, the decision of the Board is AFFIRMED in part, REVERSED in part, and REMANDED.

I. FACTS

DSWA operates three waste transfer stations in Delaware. These stations receive municipal solid waste from public and private sources, providing a local destination where one may take waste, rather than traveling to a landfill site that is often farther away than a transfer station. Waste received at a transfer station is collected and subsequently transported to a landfill.

The waste transfer station of interest in the present case is DS WA’s Pine Tree Corners Transfer Station (hereinafter “PTCTS”), located near Townsend, Delaware. Waste from PTCTS is taken to DSWA’s Central Solid Waste Management Center (hereinafter “CSWMC”) landfill near Sandtown, Delaware. PTCTS is subject to DNREC permits, one of them being permit SW-06/04. Under PTCTS Permit SW- 06/04 Condition III.B.2 (hereinafter “Condition II.B.2”), DSWA must submit an annual report by March 1 listing the transporters that hauled waste to or from PTCTS the previous reporting year.! A second permitting requirement, PTCTS Permit SW- 06/04 Condition II.I.2 (hereinafter “Condition II.I.2”), provides as follows:

' Condition III.B.2 provides, in relevant part, as follows: “No later than March 1st each year, the DSWA shall submit an annual report to the DNREC. This annual report shall summarize Transfer

2 DNREC v. Delaware Solid Waste Authority, et al K19A-05-002 NEP January 29, 2020

All vehicles transporting waste from the Transfer Station shall have a valid solid waste transporters permit issued by the DNREC. In their contracts with transporters hauling waste from the Transfer Station, the DSWA shall stipulate that the contractor maintain a valid solid waste transporter permit issued by the DNREC. DSWA shall investigate and determine the current validity of the permit if it has reason to suspect the permit is not valid. All vehicles transporting waste collected by the HHW collection program from the Transfer Station shall have a valid hazardous waste transporters permit issued by the DNREC.

In July 2017, DSWA contracted with a private entity, G&F, whereby G&F was to operate PTCTS.’ In order to enter this contract, G&F had to provide DSWA with a copy of G&F’s relevant DNREC-issued permits. G&F commenced operating PTCTS on or about September 1, 2017, and at some point in September 2017, G&F enlisted its affiliate, CH, as a subcontractor to haul waste out of PTCTS.

On or about June 14, 2018, Mr. Michael D. Parkowski, a senior-level employee of DSWA, received information indicating that a vehicle leaving PTCTS did not appear to have a valid DNREC-issued solid waste transporters permit. On or about the same day, Mr. Justin Wagner, a facility manager at PTCTS, received information that G&F may have been using vehicles belonging to CH to transport solid waste out of PTCTS. Upon further investigation, DSWA confirmed that G&F had been using CH vehicles to transport waste out of PTCTS.

Station operations for the previous year and include . . . [a] list of transporters that hauled waste to and from the facility during the year covered by the report.”

* DSWA’s remaining duty, as owner of PTCTS, was to operate the scale house in which trash is weighed before entering or leaving PTCTS.

3 DSWA claims that, prior to this point, it was unaware that G&F had enlisted CH as a subcontractor to haul solid waste out of PTCTS. Whether this was the first time that DSWA learned of this fact is irrelevant to the Court’s decision.

3 DNREC v. Delaware Solid Waste Authority, et al K19A-05-002 NEP January 29, 2020

On July 25, 2018, Officer Austin Tyler, a DNREC enforcement official, stopped a vehicle owned by CH that was carrying solid waste from PTCTS. The vehicle did not possess a proper DNREC-issued solid waste transporters permit, in violation of 7 Del. C. § 6003.4 After this incident, G&F engaged a third party to carry waste from PTCTS until CH received a valid DNREC-issued solid waste transporters permit.

Il. PROCECURAL POSTURE

On September 21, 2018, DNREC’s Solid and Hazardous Waste Management Section sent a Notice of Violation to DSWA citing a violation of Condition II.I.2 for allowing vehicles to carry solid waste out of PTCTS without a valid permit. DSWA also received a notice of violation of Condition III.B.2 and CSWMC Permit Condition V.B.3 (hereinafter “Condition V.B.3”)° for failing to include CH in its annual reports.

On November 28, 2018, DNREC issued three Secretary’s Orders finding violations pursuant to 7 Del. C. Chapter 60° and 7 Del. Admin. C. § 1301. In Order No. 2018-WH-0066, the Secretary found that DSWA had violated Condition II.I.2 because it had failed to ensure that all vehicles transferring solid waste from PTCTS possessed valid solid waste transporter permits. Further, the Secretary found that

DSWA had violated Conditions III.B.2 and V.B.3 for omitting CH from its annual

*7 Del. C. § 6003(a)(4) provides, in relevant part, as follows: “No person shall, without first having obtained a permit from the Secretary, undertake any activity . . . [iJn a way which may cause or contribute to the . . . transportation . . . of solid wastes, regardless of the geographic origin or source of such solid wastes... .”

° Condition V.B.3 provides, in relevant part, as follows: “No later than April 30th of each year, the DSWA shall submit an annual report and include the following information[:] . . . [a] list of transporters that hauled waste to or from the facility.”

° 7 Del. C. § 6005(b) prescribes penalties for violations not only of applicable statutory and regulatory provisions, but of permit conditions issued in accordance with those regulations. See 7 Del. C. §§ 6003(c), 6005(b). DNREC v. Delaware Solid Waste Authority, et al K19A-05-002 NEP January 29, 2020

reports. The Secretary assessed an administrative penalty of $18,174.80 pursuant to 7 Del. C. § 6005(b)(3)’ and costs of $1,198.80 pursuant to 7 Del. C. § 6005(c) against DSWA.?

In Order No. 2018-WH-0067, the Secretary found that G&F had violated 7 Del. Admin. C.

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Bluebook (online)
DNREC v. DSWA, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dnrec-v-dswa-delsuperct-2020.