Title: MS4 Audits and Inspections
1MS4 Audits and Inspections
- John Kosco, PE, CPESC
- Tetra Tech, Inc.
- John.Kosco_at_tetratech.com
2009 Inspector Workshop Dallas, TX
2Agenda
- Why audit an MS4?
- EPAs MS4 Program Evaluation Guide
- Summary
- Worksheets
- Conducting the MS4 audit
- MS4 Audits lessons from past audits
3Why audit an MS4?
- Assess compliance
- Other reasons may include
- Increase awareness of MS4s need to implement
program requirements - Assess MS4 program effectiveness
- Prepare for MS4 permit reissuance
- Technical assistance
4EPA 2007 Compliance Monitoring Strategy
- Phase I MS4s Audits conducted of all Phase I
MS4s once every 5 years - Phase II MS4s Audits conducted as necessary to
determine compliance with strategy by 2014
5Audit/evaluation/inspection
- Terminology can vary, but all terms generally
refer to the same type of activity - MS4 audits/MS4 evaluations generally refer to an
audit/evaluation of your entire MS4 program - MS4 inspections are generally targeted to a
single MS4 program component
6EPAs MS4 Program Evaluation Guidance
- Published in January 2007
- Based largely on Tetra Tech audits performed
- In California - -gt 37 audits (124 programs)
- Also in AZ, NV, Hawaii - 7 audits (20 programs)
- Primary audience
- Regulators conducting a program evaluation
- Comments to Jenny Molloy molloy.jennifer_at_epa.gov
- www.epa.gov/npdes/stormwater
7Using the MS4 Evaluation Guide
- Many MS4 permit requirements are subjective
and/or non-specific - Inspectors often have to use BPJ in order to
determine if the programs and BMPs implemented
are reducing pollutants to the MEP - MS4 Guide should be used as a reference in order
to improve BPJ of the inspector
8Guidance Manual Includes
- Examples of
- what to look for
- Documentation
- Observations
- Checklists
- Use Chapter 4 to determine what should be in a
SWMP
9Guidance Manual Includes
- Lists of common deficiencies
- Sample questions for auditors
- Evaluation tips on how to prepare, conduct, and
document an audit
10EPAs MS4 Evaluation Guide Program Eval.
Worksheets (App. B)
- Use the worksheets to identify
- The major topics your self-audit should address
- The questions an EPA auditor may ask
- The types of documents you should have for your
MS4 program - Use the worksheets it identify areas that need to
be beefed up
11Example Construction
- Major topics in an MS4s construction program
include - Ordinance/Legal Authority
- Construction Project Inventory
- Construction Requirements and BMPs
- Plan Review Procedures
- Construction Project Inspections
- Enforcement/Referrals
- Outreach and Education
- MS4-owned Construction Projects
- These are also addressed in section 4.4 of the
Guide
12Example Construction
- For the ordinance/legal authority topic, the
worksheet asks - Name/code section of ordinance
- Threshold for coverage
- Exclusions from coverage
- Whether other pollutants are regulated
- Permitting mechanism used to require BMPs
- Whether a plan is required
- Types of enforcement mechanisms available
- Whether an enforcement escalation plan is in place
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14Field Inspection Worksheets
- Developed for
- MS4 Maintenance Facility
- Construction Inspections
- Industrial/Commercial Inspections
- Outfall Visual Inspections
- Worksheets give tips to EPA auditors on what to
look for in the field - Use these tips to train staff and address
problems at maintenance facilities
15MS4 Maintenance Facility Worksheet
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17Construction Inspection Worksheet
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19Industrial / Commercial Inspection Worksheet
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21Outfall Visual Inspection Worksheet
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23Conducting an MS4 auditPre-audit preparation
- What are your audit goals?
- Assess compliance status, provide assistance,
etc. - Decide who/what to audit
- Which MS4s?
- How comprehensive of an audit?
- Which program areas will you audit?
- Schedule the audit
- Review materials before audit
- Permit, Annual Report, SWMP
- Other documentation
24Conducting an MS4 auditKick-off Meeting
- Introduces participants and establishes roles and
responsibilities - Communicates the regulatory authority, purpose
and focus of the audit/inspection - Provides an opportunity for higher-level managers
and officials to participate and understand the
process and expectations - Can establish (or refine) the schedule and
required logistics (e.g., locations, personnel,
transportation) - Provides an opportunity to discuss and clarify
permit conditions and set expectations - Set Yourself Up for Success
- Plan for and rehearse your opening remarks
- Identify and personally meet the individuals you
will be interviewing - Collect business cards and/or telephone numbers
of key individuals
25Conducting an MS4 auditInterviewing MS4 staff
- Clearly identify the roles and responsibilities
of the individual and tailor questions
accordingly - When possible, have line staff answer the
questions - Keep an inventory of questions that need to be
directed to another individual - Start with broad questions and refine based on
the provided response - Take time to clarify your understanding
- You are saying that is the responsibility of
Public Works, not engineering. Correct? - When possible, ask the same question to several
individuals
26Conducting an MS4 auditConducting In-Field
Activities
- Streamline in-field observations and interviews
- Work in teams and divide and conquer
- Evaluate the MS4, not the facility
- Seek out known problem sites/activities
- Chronic violators (construction, commercial)
- Ask, show me how this problem was rectified.
- Make the most out of travel time
- Be flexible
- Always Obtain Enforcement Quality Data
- Adhere to sound data collection practices
- Keep detailed notes, observations and an
inventory of locations visited - Photographs of all potential violations
- Supporting documentation and records
- Witness statements
- Drawings and maps
27Conducting an MS4 auditMunicipal Operations
Example
- Common Program Components of Municipal Operations
- MS4 Operation and Maintenance
- Public Facilities
- Roadways
- Standards and Training
- Pesticides, Herbicides, and Fertilizer
Application - Field Activities
- Common Requirements
- Develop an OM Program
- Employee training program
28Auditing an MS4 Maintenance Program
- Focus on four main areas
- Operation and maintenance activities and
recordkeeping - Storm drain system and structural controls
- Public facilities
- Streets
- Standard operating procedures
- Routine maintenance
- Spill prevention and response
- Pesticide, herbicide, and fertilizer application
- Staff training
- Facility inspections
29Infrastructure mapping
- Do maps show all inlets, outfalls, storm drain
conduits, stormwater management facilities
receiving water bodies, catch basins, and
structural stormwater controls? - This map should be readily available and the
maintenance field staff should be referencing it
to perform maintenance activities. - Are infrastructure assets or components named
and/or numbered to allow tracking of maintenance
and repairs?
30Catch basin cleaning
- Does the MS4 regularly clean catch basins?
- Is the cleaning schedule frequent enough to
minimize pollution? - Are cleanings documented and evaluated to ensure
that the schedule is targeting problem areas? - Are pollutants removed from the catch basins
should be disposed of in an environmentally
friendly manner? - Are storm drain pipes routinely inspected and
maintained to remove pollutants and debris and
ensure proper drainage?
31Maintenance Yard Management
- Does the municipalitys public works yard have a
SWPPP or equivalent plan? - Is there an individual or department responsible
for implementing and maintaining the SWPPP? - Does the responsible party periodically inspect
the yard for stormwater compliance?
32Maintenance Yard Inspections
- Inspection criteria
- Are chemicals, bulk materials, or other potential
pollutants covered and stored properly? - Are wash racks and dewatering areas plumbed to
sanitary sewers (if allowed)? If not allowed, is
wastewater prevented from entering the MS4? - Is there outside maintenance and/or storage?
- Do vehicle maintenance areas have BMPs to protect
the MS4 from polluted runoff? - Does the facility have structural BMPs (e.g.,
stormwater detention ponds, stormwater filter
devices)? How well are they maintained? - Are inoperable vehicles stored to prevent
polluted runoff and leaching of contaminants to
groundwater? - Are storm drain inlets free of debris?
- Has the yard been swept? Are there oil stains or
other evidence of spills? - Document findings with photos and as much detail
as possible
33Municipal Operations Common Compliance Problems
- Maintenance yards lack adequate controls
- Lack of SWPPP or equivalent plan
- Municipal staff lack adequate stormwater guidance
- Stormwater BMPs not used for routine maintenance
activities - Lack of training/awareness of stormwater BMPs
34Conducting an MS4 auditClosing Conference
- Discussion of preliminary findings
- Answer final questions
- Clarify remaining issues
- Provide information about the NPDES program
- Request a compilation of data that was not
available during the inspection - Plan for success
- Take adequate time to compile your preliminary
observations - Identify deficiencies and areas of concern,
corresponding permit citation(s), and all
supporting evidence - Consider sorting and presenting preliminary
observations and then deficiencies - Identify and be prepared to communicate both the
strengths and weaknesses of the program - Mentally practice the delivery of preliminary
observations/deficiencies - Know and communicate the anticipated next steps
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35Writing MS4 Audit Reports
- More than one way to document your findings in an
MS4 Audit Report - Audit report should clearly document findings
- In all cases, each potential violation should be
made obvious to the reader - State the requirement (statute, permit,
regulation SWMP) - Describe and present how the MS4 failed to meet
the requirement - Present and describe all photographs, documents,
statements, and other evidence - Plan For Success
- Prepare the report as soon as possible following
the activity - Group findings by program area
- Write the report in the first person and
reflective of a point in time - Use simple, direct language, and short sentences
- Include only known facts and cite source
- The facility representative stated the MS4 has
80 outfalls.
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36Hawaii Dept of TransportationConsent Decree,
October 2005
- HDOT failed to develop, submit and implement the
stormwater program, including BMPs and for
discharging without a valid permit. - Two MS4 audits conducted past consent decree(s)
were ignored - HDOT must pay 1 million penalty.
- HDOT must spend an estimated 50 million to
address Clean Water Act storm water violations at
highways and airports in Hawaii.
37Other MS4 enforcement actions
- Many are based on an MS4s failure to implement a
program component - Other examples
- Dallas, TX - 3.5 M
- Richland County, SC - 1 M
- Santa Ana Region, CA 13 MS4 penalties ranging
from 10K to 167K - New Jersey Almost 100 MS4 penalties, averaging
about 10k each over past 3 years
38Lessons Learned from Past Audits
- Past MS4 audit reports from EPA Region 9 are
online at - www.epa.gov/region09/
- water/npdes/ms4audits.html
39Lessons Learned from the auditor
- Prepare and be familiar with the MS4
- You get better information from a
conversational-style interview rather than a
strict QA format - Try not to take an adversarial tone (unless
necessary) - Dont be afraid to make the MS4 wait (while you
make notes, review your questions, etc.) - Use the audit as an opportunity to learn (and get
the MS4 talking)
40Lessons Learned
- MS4 Permit Language Greatly Affects SWMP
Development and Compliance - More specific permit language often resulted in
more specific SWMPs - Specific permit language also reduced uncertainty
about expectations - Need for Clear Guidance and Direction from State
regulatory staff - Even detailed permits need additional guidance
- Audits provide an opportunity for State
regulatory staff to clarify requirements and
answer questions
41Lessons Learned
- Communication Provides Many Benefits
- Builds stronger relationship between MS4 and
State staff - Direct and immediate feedback
- Program priorities
- Program challenges
42Lessons Learned
- A Well-Written SWMP Plan is Critical for
Compliance - Some permits did not specifically require a SWMP,
or a single generic SWMP was developed for all
co-permittees - An MS4-specific plan is needed to describe
implementation procedures, BMPs, schedules,
responsibilities, and goals
43Lessons Learned
- Measurable Goals Should Be Outcome-Based
- Goals should be based on the desired outcomes of
the stormwater program - Goals should be developed on the basis of the
pollutant of concern, sources of the pollutant,
behaviors associated with the sources, and the
indicator most appropriate to demonstrate a
change in those behaviors
44Lessons Learned
- Annual Reports are not Always Effective
Indicators of Program Compliance - Especially where MS4 permits lack specificity in
annual reporting requirements - MS4 reluctant to voluntarily report non-compliance
45Emerging Issues for MS4 Auditors
- Green technology controls
- www.epa.gov/greentechnology
- Section 438 of EISA
- Sets post-construction standards for new federal
construction projects - Post-construction design standards
- Evaluating the effectiveness of MS4s
- Wasteload Allocations (WLAs) applied to MS4s
- TMDLs to Stormwater Permits Draft Handbook
46Conclusions
- MS4 Audit process is a learning experience
- Great way to increase program visibility
- Can result in voluntary improvements
- Can improve MS4 Permit, SWMP, and
- reporting requirements
- Can ultimately result in enforcement
47Questions? John.Kosco_at_tetratech.com