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{{alert|This is your message|alert-under-review}} | {{alert|This is your message|alert-under-review}} | ||
− | This document provides guidance on how to comply with the site plan review process in the ([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 ([https://stormwater.pca.state.mn.us/index.php/Construction_stormwater_permit | + | This document provides guidance on how to comply with the site plan review process in the ([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 ([https://stormwater.pca.state.mn.us/index.php/Construction_stormwater_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 [https://www.pca.state.mn.us/sites/default/files/wq-strm2-47.pdf | + | 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 [https://www.pca.state.mn.us/sites/default/files/wq-strm2-47.pdf SWPPP Checklist]. During the site plan review, you must verify that site plans include (an) acceptable: |
==Best Management Practices (BMPs) to minimize erosion== | ==Best Management Practices (BMPs) to minimize erosion== | ||
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BMPs to minimize erosion are the first line of defense for protecting stormwater from sediment running off your site. Soil without proper erosion control, such as blanket, mulch, or vegetation is prone to erosion. When reviewing site plans, ensure effective erosion control methods are described and located in the appropriate areas. | BMPs to minimize erosion are the first line of defense for protecting stormwater from sediment running off your site. Soil without proper erosion control, such as blanket, mulch, or vegetation is prone to erosion. When reviewing site plans, ensure effective erosion control methods are described and located in the appropriate areas. | ||
− | *[https://stormwater.pca.state.mn.us/index.php?title=Erosion_prevention_practices | + | *[https://stormwater.pca.state.mn.us/index.php?title=Erosion_prevention_practices Erosion control BMPs] |
− | *[https://stormwater.pca.state.mn.us/index.php?title=Construction_stormwater_best_management_practice_%E2%80%93_Site_stabilization | + | *[https://stormwater.pca.state.mn.us/index.php?title=Construction_stormwater_best_management_practice_%E2%80%93_Site_stabilization Schedule & effective methods to immediately stabilize soil] |
− | *[https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Outlet_energy_dissipation | + | *[https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Outlet_energy_dissipation Energy dissipation at pipe outlets]<br> |
− | *100 foot or more buffer from a [https://stormwater.pca.state.mn.us/index.php?title=Special_Waters_and_Impaired_Waters | + | *100 foot or more buffer from a [https://stormwater.pca.state.mn.us/index.php?title=Special_Waters_and_Impaired_Waters special or impaired water] <br> |
*Schedule to stabilize drainage ditches or swales<br> | *Schedule to stabilize drainage ditches or swales<br> | ||
*Plan to route water around unstabilized areas<br> | *Plan to route water around unstabilized areas<br> | ||
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==BMPs to minimize the discharge of sediment and other pollutants== | ==BMPs to minimize the discharge of sediment and other pollutants== | ||
Properly installed and maintained sediment control BMPs, such as silt fence or bioroll, prevent sediment from discharging from your site. They allow stormwater to pass through, but filter out sediment. When reviewing site plans, ensure that sediment controls to be used will be effective for the scale of the site. | Properly installed and maintained sediment control BMPs, such as silt fence or bioroll, prevent sediment from discharging from your site. They allow stormwater to pass through, but filter out sediment. When reviewing site plans, ensure that sediment controls to be used will be effective for the scale of the site. | ||
− | * [https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Perimeter_controls_for_disturbed_areas | + | * [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 | + | * [https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Storm_drain_inlet_protection Storm drain inlet protection]<br> |
* Sediment control for temporary soil stockpiles<br> | * Sediment control for temporary soil stockpiles<br> | ||
− | * [https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Vehicle_tracking_BMPs | + | * [https://stormwater.pca.state.mn.us/index.php?title=Sediment_control_practices_-_Vehicle_tracking_BMPs Vehicle tracking BMPs]<br> |
* Temporary sedimentation basins, if applicable<br> | * Temporary sedimentation basins, if applicable<br> | ||
* 50 foot buffer maintained adjacent to surface waters or redundant sediment controls otherwise<br> | * 50 foot buffer maintained adjacent to surface waters or redundant sediment controls otherwise<br> | ||
− | * [https://stormwater.pca.state.mn.us/index.php?title=Chemical_treatment | + | * [https://stormwater.pca.state.mn.us/index.php?title=Chemical_treatment Plan for using polymers or flocculants] if conventional erosion and sediment controls cannot be used:<br> |
** Chemicals must be appropriate for the soil type<br> | ** Chemicals must be appropriate for the soil type<br> | ||
** Chemicals must be used and dosed correctly<br> | ** Chemicals must be used and dosed correctly<br> | ||
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*Securing portable toilets | *Securing portable toilets | ||
*Process for containing washout wastes | *Process for containing washout wastes | ||
− | *Defined limited area for [https://stormwater.pca.state.mn.us/index.php?title=MS4_fact_sheet_-_Vehicle_Washing | + | *Defined limited area for [https://stormwater.pca.state.mn.us/index.php?title=MS4_fact_sheet_-_Vehicle_Washing vehicle washing], fueling, and maintenance and a plan to contain washing runoff |
*Prohibition of engine degreasing onsite | *Prohibition of engine degreasing onsite | ||
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* Process for cleaning sediment basins and conveyance systems of accumulated sediment<br> | * Process for cleaning sediment basins and conveyance systems of accumulated sediment<br> | ||
* Removal of temporary erosion & sediment control BMPs <br> | * Removal of temporary erosion & sediment control BMPs <br> | ||
− | * [https://www.pca.state.mn.us/sites/default/files/wq-strm2-07.pdf | + | * [https://www.pca.state.mn.us/sites/default/files/wq-strm2-07.pdf For residential construction]: plan to complete temporary erosion protection and downgradient perimeter control before the property is sold<br> |
− | * [https://www.pca.state.mn.us/water/crop-production-npdessds-permitted-sites | + | * [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== | ==Use of temporary sediment basins, if applicable== | ||
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*No net increase (new development) or net decrease (redevelopment) in: | *No net increase (new development) or net decrease (redevelopment) in: | ||
**stormwater discharge volume, | **stormwater discharge volume, | ||
− | **[https://stormwater.pca.state.mn.us/index.php?title=Total_Suspended_Solids_(TSS)_in_stormwater | + | **[https://stormwater.pca.state.mn.us/index.php?title=Total_Suspended_Solids_(TSS)_in_stormwater total suspended solids], and |
− | **[https://stormwater.pca.state.mn.us/index.php?title=Phosphorus_in_stormwater | + | **[https://stormwater.pca.state.mn.us/index.php?title=Phosphorus_in_stormwater total phosphorus] |
*Reason infiltration is not allowed, if applicable, and alternative treatment system | *Reason infiltration is not allowed, if applicable, and alternative treatment system |
This document provides guidance on how to comply with the site plan review process in the (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 (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 |
BMPs to minimize erosion are the first line of defense for protecting stormwater from sediment running off your site. Soil without proper erosion control, such as blanket, mulch, or vegetation is prone to erosion. When reviewing site plans, ensure effective erosion control methods are described and located in the appropriate areas.
Properly installed and maintained sediment control BMPs, such as silt fence or bioroll, prevent sediment from discharging from your site. They allow stormwater to pass through, but filter out sediment. When reviewing site plans, ensure that sediment controls to be used will be effective for the scale of the site.
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 |
Site inspections must be conducted by a trained person every seven days and 24 hours after a half inch rainfall event. The stormwater pollution prevention plan (SWPPP) should document the responsible person for site inspections and any modified inspection frequency.
When done correctly, dewatering activities will only discharge clear water. Therefore, SWPPPs should detail the following:
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 |
Sediment control devices are only effective if properly maintained. Ensure SWPPPs note the following schedules and procedures.
Properly storing, handling, and disposing of chemicals and building materials protects stormwater. SWPPPs must include methods to prevent chemicals from coming in contact with stormwater.
Washout operations specifications: |
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Washout wastes must not contact the ground |
Washout operations must not result in runoff |
Final stabilization will provide long-term protection from sediment loss. SWPPPs must provide a final stabilzation plan.
Sediment basins are used for to capture stormwater runoff from the site and allow sediment to settle prior to discharge. If the site is using a temporary sediment basin, the SWPPP must describe the following.
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 |
Permanent stormwater management systems, like infiltration basins, vegetated filter strips, stormwater ponds, etc., must be designed, constructed, and maintained correctly in order to function properly. SWPPPs must describe these systems and design them to meet the following permit requirements.
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 |