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The screenshot below illustrates how the cumulative reductions worksheet should look for City A in 2014. City A chose to estimate load reductions using the simple estimator. Details for how this tool was used can be found in the [[Guidance and examples for using the MPCA Simple Estimator|guidance and examples for using the MPCA Simple Estimator]]. | The screenshot below illustrates how the cumulative reductions worksheet should look for City A in 2014. City A chose to estimate load reductions using the simple estimator. Details for how this tool was used can be found in the [[Guidance and examples for using the MPCA Simple Estimator|guidance and examples for using the MPCA Simple Estimator]]. | ||
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This page provides step-by-step examples on how to fill out the three required tabs in the Commissioner-approved Total Maximum Daily Load (TMDL) Form. These are the BMP-Activites completed tab, the Cumulative reductions tab, and the Adaptive management strategy tab. (Note: the terms "tab" and "worksheet" are used interchangeably. Tabs are individual Microsoft Excel worksheets and are displayed at the bottom of an Excel spreadsheet.)
Permittees are not required to report on every Best Management Practice (BMP) or activity that has been implemented, but instead just on those BMPs or activities that are being applied to applicable TMDL Wasteload Allocations (WLAs). Each BMP contained in the dropdown box of column E of the BMP-Activities completed tab will be covered in the examples. Please become familiar with the Guidance for completing the TMDL reporting form before continuing on with the examples.
In order to complete the TMDL form, it is important that the permittee have a means to
This information is necessary to determine which BMPs or activities can be applied to specific TMDLs. TMDL reports provide maps and acreages for TMDL study areas. Shapefiles of TMDL study areas can be found at [1]. Permittees are required to develop maps showing locations of structural BMPs, so this information should already exist. By overlaying the TMDL study areas on the map containing structural BMPs, permittees can determine which BMPs can be applied to specific TMDLs. For BMPs and activities that are not mapped, permittees will have to determine if the BMP or activity lies within a particular TMDL study and therefore can be applied to that TMDL.
This type of information is provided in the hypothetical scenarios and figures shown below. The subsequent sections will demonstrate how to take that information and translate it to the TMDL form.
This example set uses Maps 1 and 2, which appear on the left and right hand side of the page. Each map covers the same area and the same TMDLs. Map 1 depicts BMPs that require estimated cumulative reductions (Category 1 BMPs) and Map 2 depicts BMPs that do not (Category 2 BMPs)(see cumulative reductions section for more information). Additional Category 2 BMPs that cannot be mapped as points, such as education and street sweeping, are not shown on the maps but are included in the examples below.
The example covers a theoretical Twin Cities Metro Area TMDL called the Metro Watershed WRAPS, with four MS4 permittees (City A, City B, City C, and MS4 College) and four impaired waters. The following TMDLs have been completed to address the impairments:
This is the portion of the TMDL form where information on all BMPs being applied to TMDL WLAs must be provided.
In this example we included information for a second year of reporting (2015) and information from the compliance schedule submitted by City A at the time of application (Part III.E.3).
City A has been assigned WLAs for three TMDLs included in the Metro Watershed WRAPS project.
As noted in the previous section, the baseline year for each TMDL is 2010. Since the baseline, City A has implemented 14 BMP and activities that can be credited as progress toward achieving one or more applicable WLA. The table to the left illustrates to which TMDL and Category each BMP can be credited. See Map 1 for location of Category 1 BMPs and Map 2 for location of Category 2 BMPs. There are four BMPs (employee education, establish ordinance, public education, and street sweeping) listed under Category 2 that are not located on maps because they cannot be associated with a single point within the watershed (i.e. they are applied over broad areas). One Category 3 BMP, a feasibility study for a rain garden retrofit, is listed in the table but will not be included in the BMP-Activities completed tab. Category 3 BMPs constitute progress, which meets the permit requirement for a given year, but cannot be associated with a reduction in pollutant loading.
The schematic to the right illustrates how data are entered for one BMP, INF1 (see Map 1 for location of INF1). The first entry is the Reporting Year, which is selected from a dropdown list in Column D. For this example, the permittee selects 2014. Cells A through C are autofilled once the reporting year is selected. The permittee then enters data in Columns E through M (Column F is optional). Because INF1 is a structural BMP, the geographic coordinates (x and y location coordinates) must be entered as well as the type of coordinate system used. Columns N and O are optional. Once the information for INF1 is entered, the permittee selects all the TMDLs to which the BMP is applied. This starts in Column Q. Once completed, the permittee moves on to the next row where the next BMP and associated information are entered. City A would continue this process until all 14 BMPs have been translated to the BMP-Activites completed worksheet.
When completed, City A's BMP-Activites completed worksheet may look similar to the following screenshot for 2014.
For purposes of this example, assume the screenshot below is the compliance schedule submitted by City A at the time of application. Two of the three BMPs with a 2014 implementation date appear in the BMP-Activities completed worksheet above for the first reporting year. The third BMP, the raingarden retrofit assessment, will remain in Category 3 of the cumulative reductions worksheet. This record will not be moved for the duration of the permit term.
For this example, assume the screenshot below illustrates what City A's BMP-Activities completed worksheet looks like in 2015. The highlighted record is the only BMP added to the worksheet. This BMP was included as an interim milestone on the permittee's compliance schedule submitted at the time of application and was called Implement raingarden retrofit. Looking at the compliance schedule in the screen shot above, note this BMP was scheduled for implementation in 2015 and is a retrofit of an existing BMP - INF1. The BMP was reported as a Category 3 BMP on the Cumulative reductions tab for the 2014 Annual Report but was completed in 2015.
No record should be altered from a previous reporting year. Thus, the entry for INF4 will not be modified. The "BMP_improvement_enhancement_retrofitting" category from the dropdown list in Column E, accompanied by an explanation in Column O, should be sufficient since this is not a new BMP but instead an enhancement of an existing BMP. If a unique situation presents itself, contact MPCA Stormwater staff for further guidance.
City B has been assigned WLAs for two TMDLs in the Metro Watershed WRAPS project:
Since the 2010 baseline for the TMDLs, City B has implemented four BMP/Activities that can be credited as progress toward achieving an applicable WLA. As depicted on Map 1, no structural BMPs are constructed within City B's jurisdiction. However, City B has collaborated with other MS4 permittees on the following projects:
City B may also record their supplemental street sweeping program because they do sweeping within the Lake 1 and Lake 2 watersheds. They may also take credit for eliminating an illicit discharge. Note that all these BMPs/activities must have been implemented since 2010, the baseline year. For example, street sweeping may have been implemented prior to 2010, but enhancements to the existing street sweeping program would qualify as a Category 2 BMP.
All BMPs implemented by City B are recorded as a Category 2 reduction unless the permittee can reasonably demonstrate an appropriate method for quantifying it in Category 1.
The permittee enters information for each of the four BMPs/activities as described above for City A. The screenshot below is an example of how the BMP-Activities completed worksheet may look when complete.
City C has been assigned WLAs for all five TMDLs included in the Metro Watershed WRAPS project:
Since the 2010 baseline of the TMDLs, City C has implemented eleven BMPs that can be credited as progress toward achieving an applicable WLA. these are summarized in the table to the right. Note that several BMPs are applied to more than one TMDL (e.g. the swale, S2, is applied to the Lake 3 TMDL and the two stream impairments). As with City A and City B, City C implements BMPs that cover their entire jurisdictional area (e.g. employee education) and these BMPs can be applied to all five impairments.
in this example, Maps 1 and 2 do not show the watershed boundaries for the impaired stream. The City will have to determine those boundaries prior to determining if BMPs can be applied to the stream impairments. The City must also determine if a particular BMP will actually reduce pollutant loads. For example, swales typically are ineffective at removing bacteria. the swale included in the worksheet may have been designed such that bacteria will be removed. However, if that is not the case, the BMP should not be applied to the bacteria TMDL.
The screenshot below is an example of how the BMP-Activities completed worksheet may look when complete.
MS4 College has been assigned a WLA for one TMDL included in the Metro Watershed WRAPS project:
Since the 2010 baseline of the TMDL, MS4 College has implemented five BMPs that can be credited as progress toward achieving an applicable WLA. The table to the right illustrates the category applicable for each BMP and activity. Note that MS4 College is located entirely within the jurisdiction of City A. This provides a unique partnership opportunity for the two MS4 permittees. As a result, the two have an agreement in place for City A to perform street sweeping on campus. Each permittee can therefore claim a Category 2 credit. MS4 College, however, indicates on its form that City A is the owner/operator of this BMP.
BMP FIL1 is owned and operated by MS4 College. City B claimed a category 2 credit for this BMP because it contributed funding for the BMP, but only MS4 College can claim this as a Category 1 BMP because it occurs within their jurisdiction.
The screenshot below is an example of how the BMP-Activities completed worksheet may look when complete.
This is the portion of the TMDL report form that the permittee will report the cumulative reduction achieved for each TMDL WLA. See the cumulative reductions section of the guidance for information on each of the reporting categories.
The screenshot below illustrates how the cumulative reductions worksheet should look for City A in 2014. City A chose to estimate load reductions using the simple estimator. Details for how this tool was used can be found in the guidance and examples for using the MPCA Simple Estimator.
The following screenshot is an example of City A's 2015 cumulative reductions submission. It is very similar to what was submitted in 2014 because only one BMP was implemented, that being the retrofit of INF1. This record was labeled as "Implement raingarden retrofit" in the 2014 cumulative reductions worksheet (row 23) and has therefore been translated to the BMP-Activities completed worksheet to show that the project has been fully implemented. This update is also reflected in Category 3 (cell E17 shows five planned but non-implemented activities for 2014 so F17 for 2015 shows four planned but non-implemented activities).
Because the implemented BMP improved the pollutant reduction capability of an existing structural BMP, INF1, it can be quantified in Category 1. Prior to the retrofit, INF1 treated 2 acres of Residential-medium density. Assuming the retrofit doubled the area treated by INF1 for the same land use, the cumulative reduction reported in 2015 for the Lake 2: Phosphorus TMDL would increase from 2.004 pounds to 4.008 pounds.
City B had implemented no structural BMPs within its' jurisdiction from the baseline to the first year of reporting. All reductions are therefore reported as Category 2 and would appear as follows in the screenshot below.
City C had implemented a variety of BMPs from the baseline of the TMDL to the first year of reporting. Similar to City A, reductions have been reported in both Category 1 and 2. Category 1 reductions were calculated using the simple estimator and examples of its use can be found in the guidance and examples for using the MPCA Simple Estimator.
MS4 College had implemented a variety of BMPs from the baseline of the TMDL to the first year of reporting. Reductions have therefore been reported in both Category 1 and 2. Category 1 reductions were calculated using the simple estimator and examples of its use can be found in the guidance and examples for using the MPCA Simple Estimator.
Refer to the Adaptive Management Strategy section of the guidance for an example on how to fill out this portion of TMDL form.
This example covers an outstate area TMDL, the Big River TMDL, with one MS4 Permittee (City D). Maps 3 and 4, which appear on the left and right hand side of the page, will be used to aid the discussion. Each map covers the same area but Map 3 depicts structural BMPs and Map 4 depicts the six AUIDs (Assessment Unit ID, or different stream reaches) included as a part of the example.
For ease of reporting, the Permittee is allowed to report on groupings of WLAs within the same report. Stream TMDLs will therefore be labeled by TMDL Project Name + Pollutant. In this example, the Permittee has been assigned TSS and E. coli WLAs on each of the six stream reaches in the Big River TMDL project (6 TSS TMDLs and 6 E.coli TMDLs). These will be grouped into two TMDLs to report on:
This is the portion of the TMDL report form that the permittee will provide information on all BMPs being applied to a TMDL WLA/s.
City D has been assigned WLA for both TSS and E. coli for all six of the impaired stream reaches included in the Big River TMDL. Therefore, the reporting requirement is as follows:
Since the baseline of the TMDL, City D has implemented eleven BMPs that can be credited as progress toward achieving an applicable WLA. The table below illustrates which TMDL each BMP can be credited to and in what category.
The screenshot below is an example of how the BMP-Activities completed worksheet may look when complete.
This is the portion of the TMDL report form that the permittee will report the cumulative reduction achieved for each TMDL WLA. See the cumulative reductions section of the guidance for information on each of the reporting categories.
City D used the MIDS calculator to estimate TSS pollutant reductions associated with implemented BMPs. The following model inputs and assumptions were used in the MIDS calculator.
Total TSS reduction by the BMPs was 28331 pounds or 7% of the total load.
The MIDS calculator does not address E. coli. The following assumptions were made for bacteria removal by BMPs.
To estimate bacteria removal, the following steps were followed.
The annual reduction in bacteria loading associated with these BMPs is 5.47 percent.
The following tables summarize the calculations for each BMP, all BMPs combined, and resulting annual reduction expressed as a percent.
Refer to the Adaptive Management Strategy section of the guidance for an example on how to fill out this portion of TMDL form.