PKalinosky (talk | contribs) m (→Introduction) |
|||
(47 intermediate revisions by 8 users not shown) | |||
Line 1: | Line 1: | ||
==Introduction== | ==Introduction== | ||
+ | [[File:20171026 113812.jpg|500 px|thumb|right|alt=image MPCA and local MS4 staff during an audit|<font size=2>MPCA and local MS4 staff during an MPCA audit</font size>]] | ||
− | The | + | The Minnesota Pollution Control Agency (MPCA) staff conduct audits of Stormwater Pollution Prevention Programs (SWPPPs) to determine compliance with the [https://www.pca.state.mn.us/sites/default/files/wq-strm4-94.pdf MS4 General Permit] and to provide technical assistance to staff in regulated Municipal Separate Storm Sewer Systems (MS4s). The MPCA’s intent is to audit all SWPPPs for MS4s regulated under the MS4 General Permit every seven years. Between MPCA audits, it is recommended to conduct a self-audit to check your progress with meeting permit requirements. |
− | + | Conduct a self-audit using the [[media:Wq-strm4-29b.docx | Phase II MS4 Audit Report Form]]. The Audit Report Form is the same form MPCA staff use to determine the compliance status of each requirement after an audit is conducted. During the self-audit, you should review each permit requirement and note whether or not the activity is complete. | |
− | |||
− | |||
During the self-audit, review your SWPPP document that was submitted to the MPCA upon application for permit coverage. The SWPPP document has, for each MCM, your MS4-specific measureable goals, established best management practices (BMPs), timeframes for new BMP implementation, and the name or position title of staff responsible for BMP implementation. The BMPs, measurable goals, and timeframes indicated in the SWPPP document may be changed if you feel your SWPPP would benefit from being updated after your self-audit or annual program evaluation. | During the self-audit, review your SWPPP document that was submitted to the MPCA upon application for permit coverage. The SWPPP document has, for each MCM, your MS4-specific measureable goals, established best management practices (BMPs), timeframes for new BMP implementation, and the name or position title of staff responsible for BMP implementation. The BMPs, measurable goals, and timeframes indicated in the SWPPP document may be changed if you feel your SWPPP would benefit from being updated after your self-audit or annual program evaluation. | ||
− | Before conducting your self-audit, gather all files, documents, and materials related to your SWPPP, including annual reports, SWPPP document, public notices, maps, written procedures, enforcement action documentation, regulatory mechanism(s), etc. | + | Before conducting your self-audit, gather all files, documents, and materials related to your SWPPP, including annual reports, SWPPP document, public notices, maps, written procedures, enforcement action documentation, regulatory mechanism(s), etc. Documentation of the activity should be easily accessible and available for review. |
− | |||
− | |||
− | |||
− | |||
− | Please note that completing a self-audit, regardless of the results, does not preclude the MPCA from taking enforcement after an MPCA lead audit related to any of the activities required by the MS4 General Permit. If you have any questions relating to your SWPPP, please contact | + | Please note that completing a self-audit, regardless of the results, does not preclude the MPCA from taking enforcement after an MPCA lead audit related to any of the activities required by the MS4 General Permit. If you have any questions relating to your SWPPP, please contact your [https://stormwater.pca.state.mn.us/index.php?title=MS4_staff_contact_information_and_staff_assignments MPCA MS4 staff]. |
− | In addition, please refer to the [https://www.youtube.com/watch?v=4XzbypwEALg&feature=youtu.be Self-audit webinar] for additional information. | + | We have included tips on enhancing your SWPPP for each MCM. These are not direct permit requirements, but methods MPCA staff have observed during audits that make local stormwater programs more effective. We have also included general questions MPCA staff could ask during an audit. These questions are to prompt thought about your SWPPP in areas MPCA staff may focus during the audit. MPCA staff will ask general questions during the audit, but also questions specific to your SWPPP and stormwater activities. The questions noted are not a final and complete list of questions that can or will be asked during an MPCA audit. In addition, please refer to the [https://www.youtube.com/watch?v=4XzbypwEALg&feature=youtu.be Self-audit webinar] for additional information. |
==Overall program management== | ==Overall program management== | ||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
'''Tips for overall program management''' | '''Tips for overall program management''' | ||
Line 81: | Line 29: | ||
==MCM 1 - Public Education and Outreach== | ==MCM 1 - Public Education and Outreach== | ||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
'''Tips for a successful public education and outreach program''' | '''Tips for a successful public education and outreach program''' | ||
Line 142: | Line 47: | ||
==MCM 2 - Public Involvement== | ==MCM 2 - Public Involvement== | ||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
'''Tips for a successful public involvement program''' | '''Tips for a successful public involvement program''' | ||
Line 188: | Line 63: | ||
==MCM 3 - Illicit Discharge Recognition and Reporting== | ==MCM 3 - Illicit Discharge Recognition and Reporting== | ||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
'''Tips for a successful illicit discharge detection & elimination program''' | '''Tips for a successful illicit discharge detection & elimination program''' | ||
Line 237: | Line 68: | ||
*Maintain a database or spreadsheet to collect all required information for illicit discharge discoveries and complaints. | *Maintain a database or spreadsheet to collect all required information for illicit discharge discoveries and complaints. | ||
*Coordinate with other municipal operations (fire, police, etc.) to create the procedures for investigating, locating, and eliminating the source of illicit discharges and spill responses to ensure the procedure includes all relevant staff and tools that can be used in various situations (e.g. booms, spill response kits). | *Coordinate with other municipal operations (fire, police, etc.) to create the procedures for investigating, locating, and eliminating the source of illicit discharges and spill responses to ensure the procedure includes all relevant staff and tools that can be used in various situations (e.g. booms, spill response kits). | ||
− | *Train all staff on the MS4 General Permit requirements for illicit discharges, including police officers, fire fighters, and building officials. | + | *Train all staff on the [https://www.pca.state.mn.us/sites/default/files/wq-strm4-94.pdf MS4 General Permit] requirements for illicit discharges, including police officers, fire fighters, and building officials. |
'''Questions and concepts to consider''' | '''Questions and concepts to consider''' | ||
Line 249: | Line 80: | ||
==MCM 4 - Construction Stormwater Runoff Control== | ==MCM 4 - Construction Stormwater Runoff Control== | ||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
'''Tips for a successful construction stormwater program''' | '''Tips for a successful construction stormwater program''' | ||
*Fill out a standard checklist during all construction site inspections. | *Fill out a standard checklist during all construction site inspections. | ||
− | *Ensure your regulatory mechanism requires all erosion, sediment, and waste controls as described in the Construction Stormwater General Permit. | + | *Ensure your regulatory mechanism requires all erosion, sediment, and waste controls as described in the [https://stormwater.pca.state.mn.us/index.php/Construction_stormwater_permit Construction Stormwater General Permit]. |
*Fill out a standard checklist during all site plan reviews. | *Fill out a standard checklist during all site plan reviews. | ||
*Document all enforcement actions, including verbal warnings. | *Document all enforcement actions, including verbal warnings. | ||
Line 312: | Line 98: | ||
==MCM 5 - Post-construction Stormwater Management== | ==MCM 5 - Post-construction Stormwater Management== | ||
+ | |||
+ | '''Tips for a successful post-construction stormwater program''' | ||
+ | |||
+ | *Fill out a standard checklist during all site plan reviews to ensure the reviewer is evaluating for appropriate post-construction water quality and design standards. | ||
+ | *Explicitly state the post-construction water quality and volume standards (e.g. retain a one inch of runoff for all new impervious for new development; net reduction for redevelopment). | ||
+ | *Adopt Minimal Impact Design Standards (MIDS) for new and redevelopment post-construction water quality and volume standards. | ||
+ | *Track all privately owned structural stormwater BMPs that have or will need a maintenance agreement. | ||
+ | |||
+ | '''Questions and concepts to consider''' | ||
+ | |||
+ | *Is there an overall comprehensive plan that guides new and re-development standards and other stormwater management strategies? | ||
+ | *What does the site plan reviewer look for when reviewing projects for post-construction stormwater management? | ||
+ | *What is your tool to ensure long-term maintenance of private permanent stormwater BMPs? | ||
+ | *Do you provide technical assistance or guidance on, or require specific, post-constructions structural stormwater BMPs? | ||
+ | *Does your private structural stormwater BMP long-term maintenance tool require the owner/operator to report to you at an established frequency, such as annually, regarding the condition of the BMP? | ||
==MCM 6 - Pollution Prevention/Good Housekeeping for Municipal Operations== | ==MCM 6 - Pollution Prevention/Good Housekeeping for Municipal Operations== | ||
+ | |||
+ | '''Tips for a successful pollution prevention program''' | ||
+ | |||
+ | *Use a standard checklist to document all outfall, pond, and structural stormwater BMP inspections. | ||
+ | *If using a standard checklist for inspections and include a section dedicated to illicit discharge assessment. | ||
+ | *Include new and seasonal staff training with other required staff training events. | ||
+ | *Develop a stormwater runoff control plan for facilities on the facility inventory and assign a key contact for each facility. | ||
+ | |||
+ | '''Questions and concepts to consider''' | ||
+ | |||
+ | *What BMPs are in place at each facility in the Facility Inventory? | ||
+ | *Do you subcontract any maintenance activities (e.g. lawn mowing, fertilizer application, snow plowing, etc.) and, if so, are the contractors aware and appropriately trained to protect water quality? | ||
+ | *What are your procedures for inspecting ponds, outfalls, and structural stormwater BMPs? | ||
+ | *What are your procedures for street sweeping and deicing application? | ||
+ | |||
+ | [[Category:Level 3 - Regulatory/Municipal (MS4)/Guidance, outreach materials, miscellaneous information]] | ||
+ | [[Category:Level 2 - Regulatory/Municipal (MS4)]] |
The Minnesota Pollution Control Agency (MPCA) staff conduct audits of Stormwater Pollution Prevention Programs (SWPPPs) to determine compliance with the MS4 General Permit and to provide technical assistance to staff in regulated Municipal Separate Storm Sewer Systems (MS4s). The MPCA’s intent is to audit all SWPPPs for MS4s regulated under the MS4 General Permit every seven years. Between MPCA audits, it is recommended to conduct a self-audit to check your progress with meeting permit requirements.
Conduct a self-audit using the Phase II MS4 Audit Report Form. The Audit Report Form is the same form MPCA staff use to determine the compliance status of each requirement after an audit is conducted. During the self-audit, you should review each permit requirement and note whether or not the activity is complete.
During the self-audit, review your SWPPP document that was submitted to the MPCA upon application for permit coverage. The SWPPP document has, for each MCM, your MS4-specific measureable goals, established best management practices (BMPs), timeframes for new BMP implementation, and the name or position title of staff responsible for BMP implementation. The BMPs, measurable goals, and timeframes indicated in the SWPPP document may be changed if you feel your SWPPP would benefit from being updated after your self-audit or annual program evaluation.
Before conducting your self-audit, gather all files, documents, and materials related to your SWPPP, including annual reports, SWPPP document, public notices, maps, written procedures, enforcement action documentation, regulatory mechanism(s), etc. Documentation of the activity should be easily accessible and available for review.
Please note that completing a self-audit, regardless of the results, does not preclude the MPCA from taking enforcement after an MPCA lead audit related to any of the activities required by the MS4 General Permit. If you have any questions relating to your SWPPP, please contact your MPCA MS4 staff.
We have included tips on enhancing your SWPPP for each MCM. These are not direct permit requirements, but methods MPCA staff have observed during audits that make local stormwater programs more effective. We have also included general questions MPCA staff could ask during an audit. These questions are to prompt thought about your SWPPP in areas MPCA staff may focus during the audit. MPCA staff will ask general questions during the audit, but also questions specific to your SWPPP and stormwater activities. The questions noted are not a final and complete list of questions that can or will be asked during an MPCA audit. In addition, please refer to the Self-audit webinar for additional information.
Tips for overall program management
Questions and concepts to consider
Tips for a successful public education and outreach program
Questions and concepts to consider
Tips for a successful public involvement program
Questions and concepts to consider
Tips for a successful illicit discharge detection & elimination program
Questions and concepts to consider
Tips for a successful construction stormwater program
Questions and concepts to consider
Tips for a successful post-construction stormwater program
Questions and concepts to consider
Tips for a successful pollution prevention program
Questions and concepts to consider
This page was last edited on 21 March 2024, at 16:06.