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This document provides guidance on how to comply with the site plan review process in the Minnesota Pollution Control Agency’s (MPCA) Authorization to Discharge Stormwater Associated with Small Municipal Separate Storm Sewer Systems (MS4) under the National Pollutant Discharge Elimination System/State Disposal System (NPDES/SDS) Permit Program ([https://stormwater.pca.state.mn.us/index.php?title=MS4_General_Permit| MS4 Permit]). The MS4 Permit requires you, the permittee, to perform and document site plan reviews for construction projects that disturb one acre or more of land to ensure active and post-construction requirements of your regulatory mechanism (e.g. code, ordinance, law) are met. The MS4 Permit requires your regulatory mechanism to be as stringent as the Authorization to Discharge Stormwater Associated with Construction Activity under the NPDES/SDS Program general permit ([https://stormwater.pca.state.mn.us/index.php/Construction_stormwater_permit| MNR100001/Construction Stormwater Permit]). | This document provides guidance on how to comply with the site plan review process in the Minnesota Pollution Control Agency’s (MPCA) Authorization to Discharge Stormwater Associated with Small Municipal Separate Storm Sewer Systems (MS4) under the National Pollutant Discharge Elimination System/State Disposal System (NPDES/SDS) Permit Program ([https://stormwater.pca.state.mn.us/index.php?title=MS4_General_Permit| MS4 Permit]). The MS4 Permit requires you, the permittee, to perform and document site plan reviews for construction projects that disturb one acre or more of land to ensure active and post-construction requirements of your regulatory mechanism (e.g. code, ordinance, law) are met. The MS4 Permit requires your regulatory mechanism to be as stringent as the Authorization to Discharge Stormwater Associated with Construction Activity under the NPDES/SDS Program general permit ([https://stormwater.pca.state.mn.us/index.php/Construction_stormwater_permit| MNR100001/Construction Stormwater Permit]). | ||
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The items identified below are the minimum that must be evaluated during your stormwater site plan review under the MS4 and Construction Stormwater Permits. For each site plan review performed, you must document the project name, location, total acreage to be disturbed, owner and operator of the proposed construction activity, and any stormwater related comments used to approve or deny the project. If you’d like to conduct a more comprehensive review, please see the MPCA’s SWPPP Checklist. During the site plan review, you must verify that site plans include (an) acceptable: | The items identified below are the minimum that must be evaluated during your stormwater site plan review under the MS4 and Construction Stormwater Permits. For each site plan review performed, you must document the project name, location, total acreage to be disturbed, owner and operator of the proposed construction activity, and any stormwater related comments used to approve or deny the project. If you’d like to conduct a more comprehensive review, please see the MPCA’s SWPPP Checklist. During the site plan review, you must verify that site plans include (an) acceptable: | ||
− | + | ==Best Management Practices (BMPs) to minimize erosion== | |
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*Plan to discharge water from BMPs to vegetated areas<br> | *Plan to discharge water from BMPs to vegetated areas<br> | ||
− | + | ==BMPs to minimize the discharge of sediment and other pollutants== | |
* [https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Perimeter_controls_for_disturbed_areas| Downgradient perimeter control]<br> | * [https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Perimeter_controls_for_disturbed_areas| Downgradient perimeter control]<br> | ||
* [https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Storm_drain_inlet_protection| Storm drain inlet protection]<br> | * [https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Storm_drain_inlet_protection| Storm drain inlet protection]<br> | ||
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** Chemicals must be used and dosed correctly<br> | ** Chemicals must be used and dosed correctly<br> | ||
− | + | ==Site inspections and rainfall records== | |
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** proposed amendments to the site plan<br> | ** proposed amendments to the site plan<br> | ||
− | + | ==BMPs for dewatering activities== | |
* Plan to discharge sediment-laden water to a sedimentation basin<br> | * Plan to discharge sediment-laden water to a sedimentation basin<br> | ||
* Plan for dewatering to prevent:<br> | * Plan for dewatering to prevent:<br> | ||
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** erosion and downstream impacts<br> | ** erosion and downstream impacts<br> | ||
− | + | ==BMP maintenance== | |
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* Schedule to inspect infiltration areas <br> | * Schedule to inspect infiltration areas <br> | ||
− | + | ==Management of solid and hazardous waste== | |
*Cover on building products, pesticides, herbicides, insecticides, fertilizers, chemicals, and landscape materials<br> | *Cover on building products, pesticides, herbicides, insecticides, fertilizers, chemicals, and landscape materials<br> | ||
*Plan for properly storing and disposing of waste<br> | *Plan for properly storing and disposing of waste<br> | ||
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*Prohibition of engine degreasing onsite<br> | *Prohibition of engine degreasing onsite<br> | ||
− | + | ==Final stabilization when construction is complete== | |
* Process for stabilizing soils with 70% perennial cover and ditches with permanent cover<br> | * Process for stabilizing soils with 70% perennial cover and ditches with permanent cover<br> | ||
* Process for cleaning sediment basins and conveyance systems of accumulated sediment<br> | * Process for cleaning sediment basins and conveyance systems of accumulated sediment<br> | ||
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* [https://www.pca.state.mn.us/water/crop-production-npdessds-permitted-sites| For construction on agricultural land: the land must be returned to its preconstruction use]<br> | * [https://www.pca.state.mn.us/water/crop-production-npdessds-permitted-sites| For construction on agricultural land: the land must be returned to its preconstruction use]<br> | ||
− | + | ==Use of temporary sediment basins, if applicable== | |
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**is operational before construction starts<br> | **is operational before construction starts<br> | ||
− | + | ==Post-construction stormwater management== | |
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This document provides guidance on how to comply with the site plan review process in the Minnesota Pollution Control Agency’s (MPCA) Authorization to Discharge Stormwater Associated with Small Municipal Separate Storm Sewer Systems (MS4) under the National Pollutant Discharge Elimination System/State Disposal System (NPDES/SDS) Permit Program (MS4 Permit). The MS4 Permit requires you, the permittee, to perform and document site plan reviews for construction projects that disturb one acre or more of land to ensure active and post-construction requirements of your regulatory mechanism (e.g. code, ordinance, law) are met. The MS4 Permit requires your regulatory mechanism to be as stringent as the Authorization to Discharge Stormwater Associated with Construction Activity under the NPDES/SDS Program general permit (MNR100001/Construction Stormwater Permit).
The items identified below are the minimum that must be evaluated during your stormwater site plan review under the MS4 and Construction Stormwater Permits. For each site plan review performed, you must document the project name, location, total acreage to be disturbed, owner and operator of the proposed construction activity, and any stormwater related comments used to approve or deny the project. If you’d like to conduct a more comprehensive review, please see the MPCA’s SWPPP Checklist. During the site plan review, you must verify that site plans include (an) acceptable:
Stabilization schedule must be no less than: |
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14 days for all exposed soils |
7 days if a discharge point is within one mile of a special or impaired water |
24 hours for areas within 200 ft of a public water during fish spawning times |
24 hours for areas of ditches and swales within 200 ft of the property edge or surface water discharge point and 14 days for remainder |
Insepction schedule must be no less than: |
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Every 7 days during active construction |
Within 24 hours after a 0.5 inch rain event |
If work is suspended due to frozen ground, inspections must begin within 24 hours after runoff occurs or construction starts |
For parts of the site with permanent cover but work is ongoing elsewhere, inspections can be once per month |
If the entire site has permanaent cover and there is no active construction, inspections can be once per month for twelve months |
BMP maintenance schedule must be no less than: |
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End of next business day for nonfunctioning BMPs |
End of next business day or as soon as conditions allow for nonfunctioning perimeter control |
72 hours or as soon as conditions allow for draining sedimentation basins |
24 hours for tracked sediment |
7 days for removing deltas and sediment from surface water and restabiliztion |
Washout operations specifications: |
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Washout wastes must not contact the ground |
Washout operations must not result in runoff |
Temporary sediment basin live storage: |
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If the live storage volume is calculated, it must accommodate a 2-year, 24 hour flood event, but cannot be less than 1,800 cubic ft |
If live storage is not calculated, then the basin must accommodate 3,600 cubic ft of live storage |
Infiltration prohibitions and limitations: |
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Infiltration is prohibited where: industrial facilities cannot under an NPDES Industrial Stormwater permit, vehicle fueling/maintenance occurs, there is less than 3 ft between the infiltration device and bedrock/seasonably saturated soils, and high levels of contaminants will be mobilized |
Infiltration is limited within: clay soils, 1,000 ft upgradient or 100 ft downgradient of active karsts, a Drinking Water Supply Management Area, or areas with infiltration rates of >8.3 inches/hour |