Storm Water Phase II Permits Federal Water Pollution

  • Slides: 32
Download presentation
Storm Water Phase II Permits

Storm Water Phase II Permits

Federal Water Pollution Control Act (Clean Water Act) • 1972 – NPDES permits added

Federal Water Pollution Control Act (Clean Water Act) • 1972 – NPDES permits added to CWA • 1987 – Regulation of Storm Water Added • 1990 – Phase I permits (MS 4 s) • 1999 – Phase II permits (small MS 4 s) • 2004 – NOI & Plan ? ? ?

Phase II Permits CSU’s originally fell into the Phase II group as “Non-Traditional MS

Phase II Permits CSU’s originally fell into the Phase II group as “Non-Traditional MS 4’s”. Based on the 1990 census. Campus population > 10, 000. and/or Area population density > 1000 people per square mile.

Submittals Notice of Intent (NOI) & Campus Plans. Application deadline will be at least

Submittals Notice of Intent (NOI) & Campus Plans. Application deadline will be at least 365 days after the MS 4 General Permit adoption date (scheduled for April 30, 2003 SWRB meeting). Submit NOI, SWMP, and Fee to RWQCB SD Region 9 : (858)467 -2988

Best Management Practices www. cabmphandbooks. com

Best Management Practices www. cabmphandbooks. com

Annual MS 4 Permit Costs State Water Resource Board fee schedule: Based on RWQB

Annual MS 4 Permit Costs State Water Resource Board fee schedule: Based on RWQB designation of CSU’s coverage. Populations (Faculty, Staff, Students & Visitors) Up to 10, 000 = $2000. 00 per year Over 10 K = $3000. 00 per year for the permit application fee

Generic Plan Minimalist Plan - Minimum possible Best Management Practices (BMP’s) Share writing- originated

Generic Plan Minimalist Plan - Minimum possible Best Management Practices (BMP’s) Share writing- originated from CSUF, CSULB, CSUS, UC Presidents Office Cost saving Reduced operational workload Attainable goals over the 5 years Let SWRB or RWRB add BMP’s to plan after submittal. Recommendation-to contact Regional board and get them involved in our plan from the beginning.

BMPs Schedules of activities, prohibitions of practices, maintenance procedures, and other management practices to

BMPs Schedules of activities, prohibitions of practices, maintenance procedures, and other management practices to prevent or reduce the pollution of waters of the United States. BMPs also include treatment requirements, operating procedures, and practices to control site runoff, spillage or leaks, sludge or waste disposal, or drainage from raw material storage.

BMP Resources • EPA’s BMP Toolbox – http: //cfpub. epa. gov/npdes/stormwater/menu fo/bmps/menu. cfm •

BMP Resources • EPA’s BMP Toolbox – http: //cfpub. epa. gov/npdes/stormwater/menu fo/bmps/menu. cfm • CASQA’s BMP Handbooks – www. cabmphandbooks. com/ • ASCE’s BMP Database – http: //www. bmpdatabase. org • Others – www. swrcb. ca. gov/stormwtr/bmp_database. html

Requirements Reduce pollutants in storm water discharges to the Maximum Extent Practicable (MEP) by

Requirements Reduce pollutants in storm water discharges to the Maximum Extent Practicable (MEP) by implementing a Storm Water Management Program (SWMP)

Vision • Your SWMP is your vision for protecting water quality over the next

Vision • Your SWMP is your vision for protecting water quality over the next five years and beyond

Along with BMPs, measurable goals, time schedules, and responsible persons define your program

Along with BMPs, measurable goals, time schedules, and responsible persons define your program

SWMP • 6 Minimum Control Measures as a basis for a SWMP • BMPs

SWMP • 6 Minimum Control Measures as a basis for a SWMP • BMPs to address 6 Minimum Control Measures • Measurable Goals for each BMP • Time Schedules for each Measurable Goal

Public Participation Requirements v Comply with State and local public notice requirements v Allow

Public Participation Requirements v Comply with State and local public notice requirements v Allow the public to review and comment on the permit and SWMP v Involve the public in the implementation of SWMP v Volunteers for stenciling, link on websites (PDC, RM&S and FAC) to the site that will be hosting the info on the implementation of the permit. v RM&S will promote local household hazardous waste events.

Illicit Discharge Detection and Elimination Requirements § Storm sewer system map. RM&S will seek

Illicit Discharge Detection and Elimination Requirements § Storm sewer system map. RM&S will seek assistance from Facility Services for this. § An ordinance prohibiting non-storm water discharges § Plan to detect and address non-storm water § discharges Educate the public on the hazards of illicit discharges

Illicit Discharge Detection and Elimination Requirements § Set up as program to identify pollutants,

Illicit Discharge Detection and Elimination Requirements § Set up as program to identify pollutants, which § § will tell you what BMP’s to put in place. Prioritize these based on the type of community that you have. The EPA site has some good info about land use. Hotline or weblink to inform enforcement party as to illicit discharges. Follow up process on these calls. Touch base with local activities for consistency

Construction Site Control Requirements • An enforce ordinance to require erosion and sediment controls

Construction Site Control Requirements • An enforce ordinance to require erosion and sediment controls at construction sites • MS 4 must require construction site operators to us BMPs • Site plan and BMP review • Public comments/complaints procedures • Site inspections and enforcement procedures

Construction Site Control • Boiler SWPP from CAL TRANS for BMP’s • Incorporate NEPA

Construction Site Control • Boiler SWPP from CAL TRANS for BMP’s • Incorporate NEPA and CEQA stormwater quality • • specifications into our programs. SWPP- should be part of bid package regardless of size of project. During bidding process of more than one acre have a brochure that mentions the state permit requirements Go to EPA site in regards to land use

Many communities are similar, look at what they are doing The permittee may rely

Many communities are similar, look at what they are doing The permittee may rely on a SIE (e. g. Vallecitos Water District) to satisfy one or more of the permit obligations if the separate entity can appropriately and adequately address the storm water issues of the permittee.

Look at what you are already doing o Restaurant inspections o Household hazardous waste

Look at what you are already doing o Restaurant inspections o Household hazardous waste day o Handling complaints o Pollution Prevention Fair-outreach , distribute logo products not stuff that becomes trash.

Annual Reports due in 2004 q Have you done what you said you would

Annual Reports due in 2004 q Have you done what you said you would do? q In light of water quality, have you seen noticeable changes? q Are the BMPs you chose effective? q Are they implemented well? q Improvements? q Reporting form

Is what you are doing working? • Evaluation/Assessment Parameters • Use the information that

Is what you are doing working? • Evaluation/Assessment Parameters • Use the information that you are gathering to help tailor your program – Ex: If you continually have to clean out a particular storm drains because of sediment, you should focus on construction activity in that drainage area

Develop Implement Assess Iterative approach: Is what you are doing working?

Develop Implement Assess Iterative approach: Is what you are doing working?

Activity Examples ØBy the end of year one, we will cleanout 50% of the

Activity Examples ØBy the end of year one, we will cleanout 50% of the drop inlets. By the end of year two we will cleanout another 50%. ØBy the end of year one, we will adopt an enforceable ordinance prohibiting nonstorm water discharges

Output Examples • By the end of year one we will produce two different

Output Examples • By the end of year one we will produce two different brochures – one general and one targeting lawn and garden care • By the end of year two, we will have collected 5 tons of sediment/wk through street sweeping

Outcome Examples • There will be a 50% increase in the people surveyed who

Outcome Examples • There will be a 50% increase in the people surveyed who know the basics about MS 4 s between year one and year three • There will be a 25% decrease in the number of reported localized flooding incidents between years two and three (with some evaluation of rain data)

Impact Examples Ø 25% reduction in trash collected at creek cleanup between years 1

Impact Examples Ø 25% reduction in trash collected at creek cleanup between years 1 and 2 and between years 2 and 3 Ø 2 degree decrease in water temperature between years 1 and 5 due to revegetation of riparian corridor

Measurable Goals v Reasonable - did you reach your goal Yes/No? . Do you

Measurable Goals v Reasonable - did you reach your goal Yes/No? . Do you have direct control over it? After implementation are they still reasonable? v Relevant – Are they related to water quality? Are they producing a behavior change? v Reaching- Do they meet the MEP?

Responsibilities at CSUSM • RM&S – • • plan submittal, public education and outreach

Responsibilities at CSUSM • RM&S – • • plan submittal, public education and outreach component of permit & training coordination. PD&C – construction project oversight & compliance (pre thru post construction). Facilities – annual review, reporting, hardscape & softscape maintenance Building Marshall (Recommendation)- compliance oversight & enforcement Funding – 1 st year: VP FAS, 2 nd yr Facilities or VPFAS Other sources that can be used: Utility budget, Parking, Projects.

Emergency Response § Prevent any materials other than rainwater from § § entering the

Emergency Response § Prevent any materials other than rainwater from § § entering the storm drain system. Fire Departments enjoy exemptions to this rule. Facilities and RM&S responsible § New supplies have been purchased by RM&S for this purpose. Covers and dikes for storm drains

The Ultimate Goal Protect the Ocean

The Ultimate Goal Protect the Ocean

Board Contacts • Jarma Bennett – 916)341 -5532 – bennj@dwq. swrcb. ca. gov •

Board Contacts • Jarma Bennett – 916)341 -5532 – bennj@dwq. swrcb. ca. gov • Pamela Barksdale – (916) 341 -5280 – pbarksdale@swrcb. ca. gov Risk Management and Safety