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:*Detecting and tracking the source of illicit discharges using visual inspections. | :*Detecting and tracking the source of illicit discharges using visual inspections. | ||
:*[[Employee training|Training]] of all field staff on illicit discharge recognition. Field staff includes, but is not limited to, police, fire department, public works, and parks staff. | :*[[Employee training|Training]] of all field staff on illicit discharge recognition. Field staff includes, but is not limited to, police, fire department, public works, and parks staff. | ||
− | :*Identifying priority areas likely to have illicit discharges by evaluating land uses associated with business and industrial activities, areas where illicit discharges have been observed in the past, areas with storage of large quantities of materials that could result in an illicit discharge. These locations should have additional illicit discharge inspections | + | :*Identifying priority areas likely to have illicit discharges by evaluating land uses associated with business and industrial activities, areas where illicit discharges have been observed in the past, areas with storage of large quantities of materials that could result in an illicit discharge. These locations should have additional illicit discharge inspections. In addition, these areas need to be kept in a written or mapped inventory. |
:*[[#Example procedures|Procedures]] for investigating, locating, and eliminating the source of illicit discharges. | :*[[#Example procedures|Procedures]] for investigating, locating, and eliminating the source of illicit discharges. | ||
:*[[#Example procedures|Spill response procedures]]. These procedures must include the requirement to notify the Minnesota Duty Officer. | :*[[#Example procedures|Spill response procedures]]. These procedures must include the requirement to notify the Minnesota Duty Officer. |
In Minnesota, our storm sewer systems carry water directly to our lakes, rivers, and wetlands. This water does not go to a treatment plant before entering our surface water. To maintain fishable, swimmable, and drinkable water and prevent pollution from entering our waterbodies, only stormwater should enter a storm sewer system. If anything else, such as oil, chemicals, or sediment, enters the system it is usually an illicit discharge. Minimum Control Measure (MCM) 3 of the MS4 General Permit requires permittees to develop and implement a program to detect and eliminate illicit discharges within their storm sewer system.
The illicit discharge detection and elimination (IDDE) program must include:
Click on the blue links above in the "MS4 General Permit requirements" section to get more information and resources specific to those permit requirements. In addition, all resources related to MCM 3 are below.
Fact sheets and guidance documents should provide background information and tips to inform your approach to implementing MCM 3 - Illicit Discharge Detection and Elimination.
Fill in the blanks and adopt ordinance language that meets the regulatory mechanism requirements for MCM 3 - Illicit Discharge Detection and Elimination.
Documentation and tracking templates are examples that local stormwater staff are currently using to meet the MS4 General Permit requirements for MCM 3 - Illicit Discharge Detection and Elimination.
Example procedures are those that local stormwater staff are currently using to meet the MS4 General Permit requirements for MCM 3 - Illicit Discharge Detection and Elimination.
Below are examples, tools, or other resources to jump-start your illicit discharge detection and elimination training program.
These checklists can be used to meet the MS4 General Permit requirement for incorporating illicit discharge inspections into municipal inspections.