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Storm Water

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Title: Storm Water


1
Storm Water
  • Lisa Botnen and Dan Stepan
  • North Dakota Water and Pollution Control
    Conference
  • October 21, 2004

2
Storm Water Presentation Overview
  • Water quality impacts
  • Regulatory background
  • Minimum control measures
  • Storm water runoff control measures
  • Municipal operations and employee training
  • Regional storm water coordination program

3
Water Quality Impacts
4
What Is Storm Water?
  • Runoff from natural precipitation, such as rain
    events and snowmelt, or any other surface
    discharge and drainage.

5
Common Pollutants
  • Sediment
  • Construction waste
  • Animal waste
  • Bacteria
  • Pesticides
  • Fertilizers
  • Solvents
  • Oils
  • Salts
  • Metals

6
Storm Water Impacts
  • The storm water pollution problem results in
  • Fish kills.
  • Destruction of wildlife habitat.
  • Increased flooding.
  • Increased erosion and sedimentation.
  • Contamination of waterways.
  • Loss of drinking water storage capacity.

7
Storm Water Impacts
  • U.S. EPA has determined that
  • Storm water runoff from urban areas is the number
    one cause of environmental degradation of the
    nations rivers and streams.
  • Sediment runoff rates from construction sites are
    typically 1000 to 2000 times greater than from
    prairie lands.

8
Regulatory BackgroundNational Pollutant
Discharge Elimination System
9
How Is Storm Water Regulated?
  • A 1987 amendment to the Federal Clean Water Act
    (CWA) required implementation of a two-phase
    comprehensive national program to address storm
    water runoff.
  • Since March 10, 2003, operators of small
    municipal separate storm sewer systems (MS4)s in
    urbanized areas (UAs) applied for NPDES Phase II
    storm water discharge permits and began programs
    and practices to control polluted storm water
    runoff.

10
Small MS4General Permit Requirements
  • The MS4 SWPPP must include
  • Six minimum control measures
  • Best management practices
  • Measurable goals
  • Partnerships
  • Implementation schedule
  • Evaluation/assessment efforts, reporting, and
    recordkeeping.

11
Minimum Control Measures
12
Minimum Control Measures
  • 1 Public Education and Outreach
  • 2 Public Involvement and Participation
  • 3 Illicit Discharge Detection and Elimination
  • 4 Construction Site Storm Water Runoff Control
  • 5 Postconstruction Storm Water Management in
    New Development and Redevelopment
  • 6 Pollution Prevention/Good Housekeeping for
    Municipal Operations

13
Storm Water Runoff Control Measures
14
The Cause of the Sediment Runoff
  • Exposed soil areas
  • Where vegetation is removed
  • When topsoil is removed
  • Increased runoff with impervious surfaces

15
Erosion and Sediment Control
  • Basic goal of storm water runoff control
  • Prevent erosion during construction activities
  • Two types of practices can be followed
  • Erosion control
  • Prevents soils from being dislodged
  • Sediment control
  • Captures soil after it is dislodged, before it
    leaves the site

16
Why Is Erosion and Sedimentationa Problem?
  • Sediment is one of the leading water resource
    pollutants nationwide.
  • Construction site sediment is 1020 times more
    polluting than farm land.
  • Other construction site wastes (including cement,
    paint, fuels, and oils) are also problems

17
Construction Site Storm Water Requirements
  • Two programs address construction site runoff
  • Statewide General Construction Permit
  • Disturb at least 1 acre
  • Activity outside UA
  • State issues and regulates
  • Phase II MS4 Construction Site Permit
  • Disturb at least 1 acre
  • Activity within UA
  • MS4 issues and regulates

18
Who is Responsible?
  • The construction operator must comply with the
    permit.
  • The operator
  • Controls site plans or specifications.
  • Has operational site control.
  • Can be the developer, general contractor, or
    builder.
  • Is not usually the subcontractor.

19
How to Obtain CoverageUnder the Permit
  • Step 1 Read the construction permit and fact
    sheet.
  • Copies are available from the NDDH or MPCA.
  • Responsible for what is required in the permit
    before submitting the notice of intent (NOI).
  • A copy of the permit stays with the construction
    paperwork.

20
How to Obtain CoverageUnder the Permit
  • Step 2 Are you eligible to apply for the permit?
  • Disturb at least 1 acre?
  • Within the UA?
  • If less than 1 acre, is the project part of a
    larger common plan that disturbs at least 1 acre?
  • Impact to endangered species (state permits
    outside the UA).

21
How to Obtain CoverageUnder the Permit
  • Step 3 Develop the construction site storm water
    management plan.
  • This is more than just an erosion plan
  • Good housekeeping practices
  • Maintenance considerations
  • Inspection frequencies/procedures
  • Signature/certification
  • Plan availability

22
How to Obtain CoverageUnder the Permit
  • Step 4 Implement the construction site storm
    water management plan.
  • Implement
  • The controls
  • Inspection and maintenance
  • Any updates and changes
  • Posting of signs or notices
  • Maintaining the management plan on-site

23
Complete and Submit aNotice of Intent (NOI)
  • This NOI is not an application for coverage
    under the storm water discharge permit.
  • No permit will be received from the state or your
    local MS4.
  • By signing and submitting the NOI, you are
    agreeing to comply with all requirements in the
    construction permit.

24
Municipal Operations and Employee Training
25
Municipal Maintenance Activities
  • Maintenance activities routinely performed by
    city staff
  • Storm conveyance system maintenance
  • Road, curb, gutter, pothole repairs
  • Striping, painting, marking application or
    removal
  • Ditch digging, mowing, pesticide/herbicide or
    fertilizer applications
  • Wet utility repairs
  • Refuse, litter, and roadside waste collection

26
Common Requirements
  • Storm conveyance system inspection, cleaning, and
    general maintenance
  • Municipal yard storm water runoff management
  • Landscape/pesticide programs
  • Flood control/detention basin programs

27
Storm Water Conveyance System Cleaning and
Repair
  • Identify the location of catch basins
  • Describe the frequency of catch basin/inlet
    inspection and cleaning
  • Percent of catch basins/inlets inspected annually
    (20 minimum)
  • Provide inspection schedule and reports

28
Common Requirements
  • Operation and maintenance programs for
  • Vehicles
  • Snow disposal
  • Roads
  • Municipal parks and open space
  • Public buildings
  • Fresh water and wastewater
  • Training and education for municipal employees

29
Storm Water Conveyance System Cleaning and
Repair
  • Describe operations and maintenance best
    management practices (BMPs) to be implemented.
  • Develop a mechanism to track cleanings and the
    debris removed.
  • Evaluate operation and maintenance of pump
    stations, drainage structures, and structural
    BMPs.

30
Develop Practical BMPs
  • The BMPs should
  • Evaluate and document current work practices.
  • Identify individual pollutants of concern.
  • Identify opportunities for storm water
    contamination and possible remedies.

31
Develop Practical BMPs
  • Developing the BMPs should
  • Involve the municipal staff.
  • Include grouping by task categories or by
    department.
  • List responsible departments and individuals.
  • Provide opportunities for frequent modification
    and updates.

32
The Good
  • Operations and maintenance plans that
  • Involve all responsible departments and
    individuals.
  • Focus on specific activities and include
    achievable goals.
  • Focus on maintenance of controls.
  • Address pollutants of concern.
  • Consider seasonal variations.
  • Reflect employee comments and concerns.

33
The Bad
  • Operations and maintenance programs that
  • Do not address operation activities.
  • Are expected to be implemented by untrained
    staff.
  • Are directed by a single department.
  • Are not reviewed, revised, and maintained.
  • Claim to address and remove every type of
    pollutant.

34
Training for Municipal Employees
  • Provide general and activity-specific training
  • Provide general awareness training for all city
    employees
  • Provide regular and targeted training for
    employees based on activities they perform
  • Provide materials for easy and frequent
    refreshers
  • Teach employees their actions have an impact on
    water quality they are the community examples!

35
Training for Municipal Employees
  • Create recognizable links between pollutants and
    the environment.
  • Provide employee training in the form of
  • New employee orientation
  • Distributed materials
  • Workplace posters and fact sheets
  • Frequent tailgate sessions

36
Regional Storm Water Coordination(RSWC)
37
What Is the RSWC Program?
  • A national storm water coordination model program
    that promotes the goals of individual storm water
    management plans and coordinates the
    responsibilities of community municipal separate
    storm sewer systems at a regional level.

38
Advisors
  • Federal Sponsor
  • U.S. Environmental Protection Agency, Region 8
  • Jennifer Harris Project Officer
  • Greg Davis Project Technical Coordinator
  • Permitting Authorities
  • Minnesota Pollution Control Agency (MPCA)
  • Joyce Cieluch
  • North Dakota Department of Health (NDDH)
  • Randy Kowalski
  • Dallas Grossman

39
Members
  • Cass County
  • City of East Grand Forks
  • City of Fargo
  • City of Grand Forks
  • City of Moorhead
  • City of West Fargo
  • Grand Forks County
  • North Dakota State University
  • University of North Dakota
  • North Dakota Department of Transportation
  • Minnesota Department of Transportation

40
Overview
  • The Regional Storm Water Coordination Program
    began in October 2003 as a 2-year model project
    and is designed to
  • Build on the established partnerships between the
    RSWC Program participants affected by the NPDES
    rules.
  • Investigate BMPs and strategies that would be
    effective in addressing the new regulations.
  • Follow the progress of any new permit
    developments and issues among the participants.

41
Goals
  • The RSWC Program goals
  • Develop a program that will efficiently
    coordinate the Phase II SWPPP components among
    the participating MS4s and the permitting
    authorities.
  • Provide a regional sharing of responsibilities
    and resources between the participants.
  • Promote equity in management and engineering
    practices without compromising overall water
    quality.

42
Objectives
  • Specific coordination objectives include
  • Collection and sharing of general storm
    water-related information.
  • Maintenance of a centralized resource library of
    storm water educational material.
  • Provide technical assistance in the selection and
    development of new BMPs and strategies.
  • Provide the appropriate guidance to prepare and
    present the annual reports.

43
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45
Contact Information
  • For more information about local storm water
    issues, contact
  • Dan Stepan, EERC (701) 777-5247 or
    dstepan_at_undeerc.org
  • Lisa Botnen, EERC (701) 777-5144 or
    lbotnen_at_undeerc.org
  • Kirk Williams, EERC (701) 777-5238 or
    kwilliams_at_undeerc.org
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