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Contra Costa Approach (I): Initial Implementation of LID . Tom Dalziel, Assistant Program Manager Contra Costa Clean Water Program Dan Cloak, P.E., Principal Dan Cloak Environmental Consulting. Contra Costa Approach: Afternoon Presentations.
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Contra Costa Approach (I):Initial Implementation of LID Tom Dalziel, Assistant Program Manager Contra Costa Clean Water Program Dan Cloak, P.E., Principal Dan Cloak Environmental Consulting
Contra Costa Approach: Afternoon Presentations • Experience So Far with LID(Tom Dalziel and Dan Cloak) • Sizing IMPs to manage hydrograph modification (Tony Dubin, Brown & Caldwell) • Stream Classification Methodology (Andy Collison, Philip Williams & Associates) • Next Steps in Implementation(Dan Cloak)
NPDES Permit New Development requirements • Treat runoff before discharge from site. • Match runoff peak flows and durations to pre-project conditions. • Cover or control sources of stormwater pollutants. • Maintain treatment facilities in perpetuity.
Cities, Towns, and County must • Incorporate requirements into their policies and processes for development review • Verify that on-site treatment devices are maintained • Prepare a Hydrograph Modification Management Plan to control future increases in runoff peaks and durations
Program Objectives • Comply with NPDES permit requirements. • Achieve reasonable protection of beneficial uses. • Minimize staff time required for additional project review. • Minimize costs to applicants. • Encourage “smart growth” and maintain economic competitiveness. • Adopt a flexible approach. • Encourage participation and consensus among interested parties.
Key Implementation Steps • Update to Model Stormwater Ordinance • Requires Stormwater Control Plan with Planning and Zoning Application • Adopted by each municipality countywide • Stormwater C.3 Guidebook • Workshops for municipal staff and land development professionals • Assistance with initial projects and preparation of examples
Stormwater C.3 Guidebook • Step-by-Step Approach to Compliance • How to Prepare a Stormwater Control Plan • Guidance for Selecting Treatment Facilities • Design Checklists and Standard Details for LID IMPs • Spreadsheet for Sizing BMPs and presenting calculations • Sample Outline and Examples • How to prepare an Operation and Maintenance Plan for treatment facilities • References and Hyperlinks to Design Resources
Stormwater Control Plan Contents • Project Setting • Measures to Limit Imperviousness • Selection & Design of Treatment BMPs • Source Control Measures • Permitting and Code Compliance Conflicts • BMP Maintenance • Construction Plan C.3 Checklist • Certification
Development Review Pre-Application Meeting Completed Application “Deemed Complete” Section Review Planning Commission Conditions of Approval CEQA Review Detailed Design Plan Check Permits to Build
Stormwater C.3 Compliance Section staff may review planning & zoning docs forC.3 Pre-Application Meeting Completed Application “Deemed Complete” Planning staff may determine if C.3 req’ts are addressed Staff identifies general C.3 requirements Section Review Planning Commission Conditions of Approval CEQA Review C.3 requirements attached to COAs Detailed Design Plan Check Permits to Build Staff reviews C.3 implementation in drawings & specs
Operation & Maintenance General descriptionof O&M requirements Detailed description and maintenance plan for each facility Certification of inspection &continued operation Stormwater Control Plan Stormwater Facilities Operation & Maintenance Plan Stormwater Facilities Compliance Certificate Submitted with Planning & Zoning Application Draft submitted with construction documents Renewedeachyear
Results so far • Development community has responded positively to: • Consistent ordinances countywide • Usability of Stormwater C.3 Guidebook • Workshops • Biggest Challenges: • LID requires a different approach to drainage design • Resolving conflicts with public works standards • IMP ownership and maintenance responsibility
Low Impact Development in Contra Costa County:Problems and Solutions Dan Cloak, P.E. Dan Cloak Environmental Consulting
Implementing LID • Showing compliance with NPDES permit criteria for treatment • Designing effective IMPs • Residential Subdivisions: • Street and drainage design • IMP operation and maintenance • Integrating with the HMP
Showing Compliance • NPDES Permit sizing criteria for treatment control: • “collect and convey” drainage design • conventional, “end of pipe” treatment • use of runoff factors to determine design inflow or volume
Accounting for Pervious Areas • Self-treating areas • “Zero discharge” or “self-retaining” areas • Reduced runoff areas LID Conventional
Zero discharge areas Conventional grading Zero-discharge area
Example LID Site Design • Make landscaped areas “self-retaining”
Example LID Site Design • Delineate areas that drain to each IMP • Decide where roofs will drain • Divide paved areas along grade breaks
Example LID Site Design • Fit IMPs into landscaping at low points of each drainage area
Example LID Site Design • Show each IMP is sized to treat runoff from its tributary area
IMP Design Gallery } • Flow-through Planter • In-ground Planter • Bioretention Area • Vegetated or Grassy Swale • Infiltration Basin • Dry Well • Infiltration Trench “Indirect Infiltration” } “Direct Infiltration”
Indirect Infiltration Turf or planting Planting medium Gravel or drain rock Perforated pipe
Sizing Criterion 0.2 inches/hour BMP Area/Impervious Area = 0.2/5 = 0.04 Planting medium i = 5 inches/hour
Design Checklists • Vegetated Swale • Setbacks from structures • Sizing criteria • Minimum depth • Side slopes • Specification for imported soil • Specification for underdrain • Irrigation
Direct Infiltration Dry Well
Residential Subdivision • Suitably sized infiltration basin would require 3 of 80± lots • Roofs, driveways, and landscaped areas drain to front yard swales • Streets drain to same swales
Swales in Front Yards • Some jurisdictions prefer monolithic curb & gutter • Access to parked vehicles • Avoid trip hazards • Standard location for public utilities • Still developing “standard” designs and maintenance responsibility
HMP Requirements • NPDES permittees must propose a plan • Manage increases in flow and volume where increases could: • Increase erosion • Generate silt pollution • Impact beneficial uses • Post-project runoff may not exceed pre-project rates and durations • Option: “Equivalent Limitation” • Account for expected stream change • Maintain or improve beneficial uses
Contra Costa HMP • Succinct standard, with four compliance options • Encourage Low Impact Development Integrated Management Practices (LID IMPs) • Allow proposals for stream restoration in lieu of flow control where benefits clearly outweigh potential impacts • No exemptions for: • Project size (>1 acre impervious area must comply) • Infill projects in highly developed watersheds • Project cost
Four Compliance Options • Demonstrate project will not increase impervious area • Implement pre-designed hydrograph modification IMPs • Use a continuous simulation model to compare post- to pre-project flows • Demonstrate increased flows will not accelerate stream erosion