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Controlling sediment and other pollutants from construction sites is crucial to an effective stormwater management program. Minimum Control Measure (MCM) 4 of the [https://stormwater.pca.state.mn.us/index.php?title=MS4_PART_III.STORMWATER_POLLUTION_PREVENTION_PROGRAM_(SWPPP) MS4 General Permit] requires permittees to have and enforce a construction site stormwater runoff control program to reduce the impacts of land disturbing activities to stormwater. The construction site stormwater runoff control program must include: | Controlling sediment and other pollutants from construction sites is crucial to an effective stormwater management program. Minimum Control Measure (MCM) 4 of the [https://stormwater.pca.state.mn.us/index.php?title=MS4_PART_III.STORMWATER_POLLUTION_PREVENTION_PROGRAM_(SWPPP) MS4 General Permit] requires permittees to have and enforce a construction site stormwater runoff control program to reduce the impacts of land disturbing activities to stormwater. The construction site stormwater runoff control program must include: | ||
:*A regulatory mechanism that establishes erosion, sediment, and controls as stringent as the [https://stormwater.pca.state.mn.us/index.php/Construction_stormwater_permit Construction Stormwater permit] requirements for construction sites. | :*A regulatory mechanism that establishes erosion, sediment, and controls as stringent as the [https://stormwater.pca.state.mn.us/index.php/Construction_stormwater_permit Construction Stormwater permit] requirements for construction sites. | ||
− | :*A procedure for conducting site plan reviews to ensure compliance with the regulatory mechanism, as mentioned above. See [https://stormwater.pca.state.mn.us/index.php?title=MS4_Staff_Site_Plan_Review_Guidance here] for items that the site plan review procedure should include. | + | :*A procedure for conducting site plan reviews to ensure compliance with the regulatory mechanism, as mentioned above. See [https://stormwater.pca.state.mn.us/index.php?title=MS4_Staff_Site_Plan_Review_Guidance here] for more information and descriptions of the items that the site plan review procedure should include. |
:*Written procedures for the receipt and consideration of reports of noncomplaince at construction sites received from the public. | :*Written procedures for the receipt and consideration of reports of noncomplaince at construction sites received from the public. | ||
:*Site inspection procedures for inspecting public and private construction sites. The procdures should include: procedures for identifying and prioritizing sites for inspections, the frequency of site inspections, the name or title of the person responsible for inspections, and a checklist or other written means to document site inspections. See [https://stormwater.pca.state.mn.us/index.php?title=MS4_Site_inspection_checklist here] for more information and [[File:SiteInspectionChecklist.xlsx]] for an example checklist. | :*Site inspection procedures for inspecting public and private construction sites. The procdures should include: procedures for identifying and prioritizing sites for inspections, the frequency of site inspections, the name or title of the person responsible for inspections, and a checklist or other written means to document site inspections. See [https://stormwater.pca.state.mn.us/index.php?title=MS4_Site_inspection_checklist here] for more information and [[File:SiteInspectionChecklist.xlsx]] for an example checklist. |
Controlling sediment and other pollutants from construction sites is crucial to an effective stormwater management program. Minimum Control Measure (MCM) 4 of the MS4 General Permit requires permittees to have and enforce a construction site stormwater runoff control program to reduce the impacts of land disturbing activities to stormwater. The construction site stormwater runoff control program must include:
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