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Construction Site Stormwater Runoff Review. Texas Pollutant Discharge Elimination System (TPDES) General Permit TXR150000 This presentation is intended to aid in achieving compliance and should not be interpreted as a comprehensive compliance source. What are we trying to prevent.
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Construction Site Stormwater Runoff Review Texas Pollutant Discharge Elimination System (TPDES) General Permit TXR150000 This presentation is intended to aid in achieving compliance and should not be interpreted as a comprehensive compliance source.
Stormwater History – Abilene • September 11, 1998 – EPA issues first MS4 permit to the City of Abilene. • August 23, 2003 - Stormwater Utility Division created following the July 2002 flood and EPA/TCEQ requirements. • April 17, 2006 – TCEQ issues permit to the City of Abilene. EPA permit no longer active.
What are the City’s requirements under the MS4 permit? • Monitor the use and maintenance of appropriate structural and non-structural control measures. • Inspect Construction sites and conduct enforcement of control measures. • Provide appropriate education and training. • Notify building permit applicants of their potential responsibilities under the TPDES permit.
Who is responsible for permit compliance? • Anyone with day-to-day operational control of activities at a construction site. • The person or persons that have operational control over construction plans and specifications. • Developers • Builders • Designers • Contractors • Sub-contractors
When is a construction site permit required? • Large Construction Activity (Submit NOI) • Land disturbance of greater than 5 acres; or less than 5 acres but part of a larger plan of development. • Sub-divisions • Strip malls • Small Construction Activity (Submit CSN) • Land disturbance of greater than 1 acre and less than 5 acres; or less than 1 acre but part of a larger plan of development.
What are my requirements if I am subject to the stormwater permit? • Develop a Stormwater Pollution Prevention Plan (SWP3) according to the provisions of the General Permit (TXR150000). • Submit a Notice of Intent (NOI) to the City and TCEQ or Small Construction Site Notice (CSN) to the City. • Post copy of NOI and Large CSN or Small CSN at site visible to the public. • Implement SWP3 prior to beginning of construction activities. • Notice of Change (NOC) • Notice of Termination (NOT) – Site stabilization (70%)
Stormwater Pollution Prevention Plan (SWP3) • Completed prior to obtaining NOI/CSN. • Implemented prior to construction activities. • Updated/maintained as necessary (living document). • Must provide compliance with terms and conditions of the general permit. • Must be made available to inspectors.
SWP3 (cont’d) • SWP3 must contain at a minimum: • Nature of construction activity and potential pollutant sources. • Intended schedule of major activities of soil disturbance. • Total number of acres of the entire property and disturbed area. • Name of receiving water bodies that will receive discharges. • Copy of the TPDES general permit TXR150000.
SWP3 Site Map • Site map should illustrate the erosion/sediment controls; • A map showing general location of site (city or county map); • Drainage patterns and approximate slopes after major grading; • Areas where soil disturbance will occur; • Location of all major structural controls; • Locations of off-site materials, waste, equipment storage areas; • Surface waters, adjacent or in close proximity; and • Locations where stormwater will discharge from the site to a surface water body.
Notice of Intent (NOI) or Construction Site Notice (CSN) • The NOI is to be submitted to the MS4 operator and TCEQ after development of the SWP3. • The NOI has a $225 electronic/ $325 standard mail fee to the TCEQ while the CSN is no charge. • The CSN is to be submitted to the City of Abilene Stormwater Utility Division only. • Both are to be posted on-site.
Implementation of SWP3 • The SWP3 should be implemented prior to any land disturbance. • Erosion and Sediment controls in place. • Changes can and should be made to the SWP3 at this time if implementation is modified from original plans. • Sediment Controls vs. Erosion Controls.
Silt Fence • Silt fence is a good option for sediment control but offers no stabilization for erosion control. • Must be installed correctly and maintained!
Mulch Socks • Mulch sock is a good option for sediment control but offers no stabilization for erosion control. • Also, must be installed correctly and maintained!
Rip Rap Entrance • Rip Rap or other entrance control measures are required to keep dirt and other construction debris from entering the road, MS4, and waters of the U.S. • Should be marked on the Site Map and maintained.
Concrete/Paint Washout Pit • If disposal of concrete residual is to be discarded on-site, a concrete washout area should be designated and maintained. • Should be marked on the Site Map in the SWP3.
Erosion Control Mats • Erosion control mats are an efficient erosion control and stabilization measure. • Must be maintained!
Storm Drain Inlet Protection • Protection of a storm drain inlet is imperative since these lead straight to creeks. • Many different methods for protection of storm drains.
Sediment and Erosion Control Best Management Practices • Be Innovative • If it doesn’t work, fix it. • Use common sense for each site. • Keep dirt and construction debris out of the street, water conveyances, and waters of the U.S.
Site Stabilization • Part of Post-Construction permit requirements • 70% stabilization • Must inform new responsible party of stabilization requirements. • Aesthetics!
Inspections • Site is open to inspections from the City, TCEQ, and/or the EPA. • City Ordinance will be used by inspectors for enforcement purposes.
Inspections by the City • Inspections will be conducted by: • NOI/CSN submittal • Drive by visual recognition • Complaints • After significant rain events. • Inspections will be conducted under the TCEQ General Permit regulations.
Inspections by the City • Inspectors will be looking for: • NOI/CSN posting • Site conditions as established by the SWP3. • SWP3 • Erosion and Sediment control implementation and maintenance and whether they are effective. • City will have the authority to request modifications or changes in BMP’s if not effective.
Inspection Enforcement • The City will use the following schedule while conducting inspections: • Voluntary compliance • Stop Work orders • Monetary fines
5 Deadly Sins from the EPA • Dirt in the street • Blowing trash • Concrete/paint washout • Leaks & Spills • Poorly maintained BMP’s