Title: Urban Stormwater Management in the United States
1Urban Stormwater Management in the United States
- National Research Council Report
- The National Academies Press
- October 2008
- NAFSMA Conference Call
- November 12, 2008
2Outline
- Study Objectives
- Brief Summary of Major Findings
- Brief Summary of Major Recommendations
- Possible Implications for Key Areas
- Office of Waters Action Plan
3Study Objectives
- (1) Clarify the mechanisms by which pollutants
in stormwater discharges affect ambient water
quality criteria and define the elements of a
protocol to link pollutants in stormwater
discharges to ambient water quality criteria. - (2) Consider how useful monitoring is for both
determining the potential of a discharge to
contribute to a water quality standards violation
and for determining the adequacy of stormwater
pollution prevention plans. What specific
parameters should be monitored and when and
where? What effluent limits and benchmarks are
needed to ensure that the discharge does not
cause or contribute to a water quality standards
violation?
4Study Objectives
- (3) Assess and evaluate the relationship between
different levels of stormwater pollution
prevention plan implementation and in-stream
water quality, considering a broad suite of best
management practices (BMPs). - (4) Make recommendations for how to best
stipulate provisions in stormwater permits to
ensure that discharges will not cause or
contribute to exceedances of water quality
standards. This should be done in the context of
general permits. As a part of this task, the
committee will consider currently available
information on permit and program compliance. - (5) Assess the design of the stormwater
permitting program under the CWA.
5Summary of Major Findings
- Perhaps most problematic is that the
requirements governing stormwater dischargers
leave a great deal of discretion to the
dischargers themselves in developing stormwater
pollution prevention plans and self-monitoring to
ensure compliance.
6Summary of Major Findings
- Presently the regulation of stormwater is
hampered by a statute that focus primarily on
specific pollutants and ignores the volume of
discharges.
7Summary of Major Findings
- Most stormwater discharges are regulated on an
individual basis without accounting for the
cumulative contributions from multiple sources in
the same watershed.
8Summary of Major Findings
- Implementation of the federal program has also
been incomplete. Current statistics on the
states implementation of the stormwater program,
discharger compliance with stormwater
requirements, and the ability of states and EPA
to incorporate stormwater permits with Total
Maximum Daily Loads are uniformly discouraging.
9Summary of Major Findings
- Characterization data are relatively sparse for
individual industrial operations, which makes
these sources less amenable to generalized
approaches based on reliable assumptions of
pollutant types and loads. - Many of the benchmark monitoring requirements and
effluent guidelines for certain industrial
subsectors are based on inaccurate and old
information.
10Summary of Major Recommendations
- Flow and related parameters like impervious
cover should be considered for use as proxies for
stormwater pollutant loading. These analogs . .
. have great potential . . . because they provide
specific measurable targets, . . . and focus on
water degradation resulting from increased volume
as well as increased pollutant loadings in
stormwater runoff.
11Summary of Major Recommendations
- Convert the current piecemeal system into a
watershed-based permitting system. - All entities in the watershed are designated for
regulation - Much greater responsibility falls on
municipalities to coordinate and regulate
industry and construction - Compliance based on achieving watershed-specific
objectives related to attainment of beneficial
uses
12Summary of Major Recommendations
- EPA should develop numerical expressions to
represent the MS4 standard of Maximum Extent
Practicable. This could involve establishing
municipal action levels, developing site-based
runoff and pollutant load limits, and setting
turbidity limits for construction sites.
13Summary of Major Recommendations
- EPA should engage in much more vigilant
regulatory oversight in the national licensing of
products that contribute significantly to
stormwater pollution. Currently, EPA does not
apparently utilize its existing licensing
authority to regulate these products in a way
that minimizes their contribution to stormwater
contamination.
14Summary of Major Recommendations
- Future land development and its potential
increases must be considered and addressed in a
stormwater regulatory program.
15Summary of Major Recommendations
- The federal government should provide more
financial support to state and local efforts to
regulate stormwater. - EPA should reassess its allocation of funds
within the NPDES program . . . to advance the
NPDES stormwater program.
16Summary of Major Recommendations
- More comprehensive biological monitoring of
waterbodies to reflect cumulative urban impacts. - Better monitoring of MS4s to determine outcomes.
- Industry should monitor the quality of stormwater
discharges from certain critical industrial
sectors in a more sophisticated manner. - Continuous, flow-weighted sampling methods should
replace grab sampling. - Risk-based monitoring framework.
17Summary of Major Recommendations
- EPA should be a leader in SCM research, both
directly by improving its internal modeling
efforts and by funding state efforts to monitor
and report back on the success of SCMs in the
field. - EPA needs to extend, develop and support
stormwater modeling capabilities to better
understand and eliminate stormwater discharges
18Industrial Stormwater
19Municipal Stormwater
- Report supports flow-oriented approaches in MS4
permits (e.g., Ventura County, West Virginia)
20Green Infrastructure
- SCMs that harvest, infiltrate and
evapotranspirate stormwater are critical to
reducing the volume and pollutant loadings of
small storms - Aquatic Resources Conservation Design (new term
substitutes for LID) - Product Substitution,
- Watershed and Land-Use Planning,
- Conservation of Natural Areas,
- Impervious Cover Minimization,
- Earthwork Minimization,
- Reforestation and Soil Conservation,
- Runoff Volume ReductionRainwater Harvesting,
Vegetated, and Subsurface, - Aquatic Buffers and Managed Floodplains, and
- Illicit Discharge Detection and Elimination.
- Flow Controls
- In general the report advocates the use of
approaches and practices that are central to
green infrastructure principles emphasizes role
of MS4s
21Construction Stormwater
- Supports the use of numeric limits or benchmarks
for construction sites - Compliance with and enforcement of a Plan based
on the implementation of BMPs is an ineffective
method for controlling stormwater discharges - Cites several pollutants including toxic
pollutants associated with construction
discharges
22Total Maximum Daily Loads
- Biological monitoring is critical to
understanding the cumulative impacts of
urbanization - Flow and related parameters like impervious cover
should be used as proxies for stormwater
pollutant loading - Need to improve models predicting links between
stormwater discharges and downstream impacts - Expand use of watershed-based TMDLs with
adaptive implementation and include future
growth allocations - Expand use of TMDLs in threatened and
non-impaired waters - EPA and states need to provide more specific
guidance for MS4s to comply with TMDL in their
permit applications and annual reports
23Developing an OW Action Plan
- Form cross-office (OWM, OST, OWOW, OGC, ORD,
OECA, OPPTS . . . ) team for initial synthesis - Compilation of report findings/conclusions
- Identify
- Where regulatory statutory changes would be
necessary - Feasibility of change
- Involve stakeholder groups
- One-on-one meetings
- Public listening sessions
- Request for comments in Fed. Reg.
- Develop proposed Action Plan with time frames
(short-, medium- and long-term)
24Discussion
- General impressions of the report?
- Suggestions on Action Plan process?
- How would NAFSMA like to be involved?
- Point of contact?
- Additional meetings?
- Other questions/discussion?