Line 5: | Line 5: | ||
==Understanding Wasteload Allocations== | ==Understanding Wasteload Allocations== | ||
− | Wasteload Allocations are allowable loads from regulated or future regulated sources in TMDLs. They are expressed as a load (i.e. pounds per day, kilograms per year, etc.) in TMDLs. They may also be expressed as a percent reduction in pollutant loading from existing conditions. MPCA’s Stormwater Program believes the percent reduction, when provided in the TMDL report, is a useful expression of the information for implementation and planning because it provides an estimate on the magnitude of pollutant loading reduction needed for regulated entities to meet their assigned WLA(s) from the baseline year. | + | Wasteload Allocations are allowable loads from regulated or future regulated sources in TMDLs. They are expressed as a load (i.e. pounds per day, kilograms per year, etc.) in TMDLs. They may also be expressed as a percent reduction in pollutant loading from existing conditions. The MPCA’s Stormwater Program believes the percent reduction, when provided in the TMDL report, is a useful expression of the information for implementation and planning because it provides an estimate on the magnitude of pollutant loading reduction needed for regulated entities to meet their assigned WLA(s) from the baseline year. |
WLAs for MS4 sources are either individual or categorical. Individual WLAs provide a single load for each Permittee, whereas categorical WLAs group multiple Permittees into one load that collectively must be achieved by all contributing sources. Regardless of the type of WLA, the information required to be submitted at the time of application is the same. | WLAs for MS4 sources are either individual or categorical. Individual WLAs provide a single load for each Permittee, whereas categorical WLAs group multiple Permittees into one load that collectively must be achieved by all contributing sources. Regardless of the type of WLA, the information required to be submitted at the time of application is the same. | ||
Line 17: | Line 17: | ||
*A combination of these. | *A combination of these. | ||
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
− | In | + | The term “applicable WLA” is used in the MS4 General Permit and is considered to be any wasteload allocation assigned to a regulated MS4: |
+ | # In an EPA-approved TMDL; | ||
+ | # Requiring more than a zero percent reduction; | ||
+ | # For a waterbody that is listed as impaired on the Minnesota's 303(d) Impaired Waters List. | ||
+ | The permit conditions apply only to those TMDLs approved prior to the effective date of the General Permit and are the only WLAs that must be addressed in the SWPPP Document. MPCA created the '''[https://www.pca.state.mn.us/sites/default/files/wq-strm4-93b.xlsx 2020 Municipal stormwater permit TMDL WLAs list]''' which is a spreadsheet that contains WLA information for all TMDLs approved prior to the effective date of the General Permit. Each line on the spreadsheet represents a different WLA. This spreadsheet also has a tab which lists the TMDL project webpage for each WLA. The information found on the TMDL project webpages and linked reports can provide helpful information to MS4s. The 2020 Municipal Stormwater TMDL WLA list is located on the [https://www.pca.state.mn.us/water/reissuing-municipal-stormwater-general-permit Reissuing the Municipal Stormwater General Permit website]. | ||
− | + | In addition to the 2020 Municipal stormwater permit TMDL WLAs list, the MPCA created custom TMDL Application forms for each permittee, which need to be completed in order to comply with MS4 general permit. | |
− | |||
− | |||
− | |||
− | |||
− | |||
− | For each applicable WLA where a reduction in pollutant loading is required for bacteria: | + | ==Stormwater Pollution Prevention Program (SWPPP) development== |
− | *the permittee must maintain a written or mapped inventory of potential source areas for bacteria | + | For each applicable WLA where a reduction in pollutant loading is required for bacteria: |
− | *maintain a written plan to prioritize reduction activities that address the inventoried sources and areas | + | *the permittee must maintain a written or mapped inventory of potential source areas for bacteria; |
+ | *maintain a written plan to prioritize reduction activities that address the inventoried sources and areas; and | ||
*identify who is responsible for implementing those items. | *identify who is responsible for implementing those items. | ||
The MPCA and partners have developed a form that can be used to fulfill this requirement. Permittees are not required to use it, but they must have a method to inventory and prioritize reduction activities. | The MPCA and partners have developed a form that can be used to fulfill this requirement. Permittees are not required to use it, but they must have a method to inventory and prioritize reduction activities. | ||
If the permittee has an applicable waste load allocation (WLA) where a reduction in pollutant loading is required for chloride: | If the permittee has an applicable waste load allocation (WLA) where a reduction in pollutant loading is required for chloride: | ||
− | *They must document the amount of deicer applied each winter maintenance season to all permittee owned/operated surfaces | + | *They must document the amount of deicer applied each winter maintenance season to all permittee owned/operated surfaces; and |
− | *Conduct an assessment of the permittee's winter maintenance operations to reduce the amount of deicing salt applied to permittee owned/operated surfaces and determine current and future opportunities to improve BMPs. The permittee may use the Agency's Smart Salting Assessment Tool or other available resources and methods to complete this assessment. The permittee must document the assessment. | + | *Conduct an assessment of the permittee's winter maintenance operations to reduce the amount of deicing salt applied to permittee owned/operated surfaces and determine current and future opportunities to improve BMPs. |
+ | The permittee may use the Agency's [https://smartsaltingtool.com/ Smart Salting Assessment Tool] or other available resources and methods to complete this assessment. The permittee must document the assessment. | ||
If the permittee has an applicable waste load allocation (WLA) where a reduction in pollutant loading is required for temperature: | If the permittee has an applicable waste load allocation (WLA) where a reduction in pollutant loading is required for temperature: | ||
− | *They must maintain a written plan that identifies specific activities that will be implemented to reduce thermal loading during the permit term | + | *They must maintain a written plan that identifies specific activities that will be implemented to reduce thermal loading during the permit term; and |
*Identify who will be responsible for implementing those activities. | *Identify who will be responsible for implementing those activities. | ||
Line 56: | Line 51: | ||
==Compliance schedules== | ==Compliance schedules== | ||
− | For each WLA not | + | For each applicable WLA not met for oxygen demand, nitrate, total suspended solids (TSS), and total phosphorus (TP), at the time of application, a compliance schedule is required. Compliance schedules can be developed to include multiple WLAs and shall include: |
− | + | *proposed BMPs or progress toward implementation of BMPs to be achieved during the permit term; | |
+ | *the year each BMP is expected to be implemented; | ||
+ | *a target year the applicable WLA(s) will be achieved; and | ||
+ | *if the applicant has an applicable WLA for TSS or TP, a cumulative estimate of TSS and TP load reductions (in pounds) to be achieved during the permit term and the Agency-approved method used to determine the estimate. | ||
+ | This requirement is met by completing the TMDL application form. | ||
+ | |||
+ | The compliance schedule must demonstrate that progress toward reducing pollutant loads will be achieved within the permit cycle. Per federal rule, dates and reporting on implementation of the interim milestones must be at least annual. | ||
Reductions in pollutant loading are achieved by implementing Best Management Practices (BMPs). When selecting BMPs to include in a compliance schedule, the applicant should consider the following: | Reductions in pollutant loading are achieved by implementing Best Management Practices (BMPs). When selecting BMPs to include in a compliance schedule, the applicant should consider the following: | ||
Line 64: | Line 65: | ||
*If the WLA is categorical, what portion of the WLA is the Permittee’s responsibility? | *If the WLA is categorical, what portion of the WLA is the Permittee’s responsibility? | ||
*If a categorical WLA is expressed as a percent reduction, the reduction applies equally to all areas and MS4s included in the WLA. | *If a categorical WLA is expressed as a percent reduction, the reduction applies equally to all areas and MS4s included in the WLA. | ||
− | *If a categorical WLA is not expressed in terms of a percent reduction, the Permittee may determine their portion of the load based on their MS4’s land area in the TMDL study area. For example, if an MS4 constitutes 25 percent of the land area in a TMDL study area, the Permittee may be responsible for 25 percent of the categorical | + | *If a categorical WLA is not expressed in terms of a percent reduction, the Permittee may determine their portion of the load based on their MS4’s land area in the TMDL study area. For example, if an MS4 constitutes 25 percent of the land area in a TMDL study area, the Permittee may be responsible for 25 percent of the categorical WLA. NOTE: Although it is not necessary for the applicant to identify an individual numeric load from a categorical WLA, it may be useful to consider during implementation planning and BMP selection. |
*Are there opportunities to incorporate pollution prevention practices? | *Are there opportunities to incorporate pollution prevention practices? | ||
*Are there upcoming projects planned and what pollutant reduction will these projects achieve? | *Are there upcoming projects planned and what pollutant reduction will these projects achieve? | ||
Line 70: | Line 71: | ||
*Are there policy or ordinance updates that may provide a mechanism for the Permittee to require pollutant reductions from others (e. g. volume control ordinance)? | *Are there policy or ordinance updates that may provide a mechanism for the Permittee to require pollutant reductions from others (e. g. volume control ordinance)? | ||
*Are there opportunities to partner with other entities to achieve pollutant reductions to address WLAs? | *Are there opportunities to partner with other entities to achieve pollutant reductions to address WLAs? | ||
− | The applicant will include BMPs they plan to implement over the five-year permit term in the Compliance Schedule section of the TMDL Application form associated with the SWPPP Document. BMPs are often applicable to multiple WLAs and can reduce the contribution of multiple pollutants. For example, volume control practices are likely applicable to both nutrient and | + | The applicant will include BMPs they plan to implement over the five-year permit term in the Compliance Schedule section of the TMDL Application form associated with the SWPPP Document. BMPs are often applicable to multiple WLAs and can reduce the contribution of multiple pollutants. For example, volume control practices are likely applicable to both nutrient and sediment WLAs. MPCA recommends selecting BMPs that address multiple WLAs when possible. |
+ | |||
+ | It should be noted target dates that extend beyond the five-year permit term are expected for WLAs requiring a significant reduction in pollutant loading from an MS4. | ||
+ | |||
+ | ==Meeting Wasteload Allocations== | ||
+ | For permittees with best management practices in place, they may be meeting their applicable WLAs. This can be demonstrated through modeling exercises. Refer to [https://stormwater.pca.state.mn.us/index.php?title=Overview_of_models_used_to_meet_MS4_TMDL_permit_requirements Overview of models used to meet MS4 TMDL permit requirements] for more information. | ||
− | |||
− | |||
==TMDL Annual Reporting Requirements== | ==TMDL Annual Reporting Requirements== | ||
Please see [[Guidance for completing the TMDL reporting form]]. | Please see [[Guidance for completing the TMDL reporting form]]. |
Total Maximum Daily Load (TMDL) Wasteload Allocations (WLAs) approved by the U.S. Environmental Protection Agency (EPA) prior to the effective date of the MS4 General Permit (permit) must be addressed by Permittees in their Stormwater Pollution Prevention Program (SWPPP) Document, which includes the TMDL Application Form. The Clean Water Act requires the Minnesota Pollution Control Agency (MPCA) to include, in all National Pollutant Discharge Elimination System (NPDES) permits, discharge requirements that are consistent with requirements established in TMDLs. The permit requires applicants to submit information, at the time of application, on applicable WLAs and indicate how they will either make progress toward achieving those WLAs over the current five-year permit term, or demonstrate that they are currently meeting their applicable WLAs. Applicants must include long term strategies for meeting WLAs that will not be fully achieved in the current permit term and target dates for fully achieving all WLAs.
Wasteload Allocations are allowable loads from regulated or future regulated sources in TMDLs. They are expressed as a load (i.e. pounds per day, kilograms per year, etc.) in TMDLs. They may also be expressed as a percent reduction in pollutant loading from existing conditions. The MPCA’s Stormwater Program believes the percent reduction, when provided in the TMDL report, is a useful expression of the information for implementation and planning because it provides an estimate on the magnitude of pollutant loading reduction needed for regulated entities to meet their assigned WLA(s) from the baseline year.
WLAs for MS4 sources are either individual or categorical. Individual WLAs provide a single load for each Permittee, whereas categorical WLAs group multiple Permittees into one load that collectively must be achieved by all contributing sources. Regardless of the type of WLA, the information required to be submitted at the time of application is the same.
It is important to note watershed boundaries define TMDL study areas, while MS4 permits apply to a political boundary or jurisdiction. Further, WLAs apply only to the area that drains to the receiving water defined in the TMDL report. Therefore, it is possible that only a portion of a regulated entity’s area will be within the TMDL study area. Credit for pollutant removal from BMPs can only be applied to the treatment applied to stormwater runoff generated within the TMDL study area for a particular WLA; however, BMPs often treat water generated both inside and outside the study area.
A single TMDL project may contain multiple Wasteload Allocations for a single MS4. This can occur in the following situations:
The term “applicable WLA” is used in the MS4 General Permit and is considered to be any wasteload allocation assigned to a regulated MS4:
The permit conditions apply only to those TMDLs approved prior to the effective date of the General Permit and are the only WLAs that must be addressed in the SWPPP Document. MPCA created the 2020 Municipal stormwater permit TMDL WLAs list which is a spreadsheet that contains WLA information for all TMDLs approved prior to the effective date of the General Permit. Each line on the spreadsheet represents a different WLA. This spreadsheet also has a tab which lists the TMDL project webpage for each WLA. The information found on the TMDL project webpages and linked reports can provide helpful information to MS4s. The 2020 Municipal Stormwater TMDL WLA list is located on the Reissuing the Municipal Stormwater General Permit website.
In addition to the 2020 Municipal stormwater permit TMDL WLAs list, the MPCA created custom TMDL Application forms for each permittee, which need to be completed in order to comply with MS4 general permit.
For each applicable WLA where a reduction in pollutant loading is required for bacteria:
The MPCA and partners have developed a form that can be used to fulfill this requirement. Permittees are not required to use it, but they must have a method to inventory and prioritize reduction activities.
If the permittee has an applicable waste load allocation (WLA) where a reduction in pollutant loading is required for chloride:
The permittee may use the Agency's Smart Salting Assessment Tool or other available resources and methods to complete this assessment. The permittee must document the assessment.
If the permittee has an applicable waste load allocation (WLA) where a reduction in pollutant loading is required for temperature:
If the applicant is claiming to meet an applicable WLA where a reduction in pollutant loading is required for oxygen demand, nitrate, TSS, or TP, the applicant must provide documentation to demonstrate the applicable WLA is being met. At a minimum, the applicant must provide the following information:
This requirement is met by completing the TMDL application form.
For each applicable WLA not met for oxygen demand, nitrate, total suspended solids (TSS), and total phosphorus (TP), at the time of application, a compliance schedule is required. Compliance schedules can be developed to include multiple WLAs and shall include:
This requirement is met by completing the TMDL application form.
The compliance schedule must demonstrate that progress toward reducing pollutant loads will be achieved within the permit cycle. Per federal rule, dates and reporting on implementation of the interim milestones must be at least annual.
Reductions in pollutant loading are achieved by implementing Best Management Practices (BMPs). When selecting BMPs to include in a compliance schedule, the applicant should consider the following:
The applicant will include BMPs they plan to implement over the five-year permit term in the Compliance Schedule section of the TMDL Application form associated with the SWPPP Document. BMPs are often applicable to multiple WLAs and can reduce the contribution of multiple pollutants. For example, volume control practices are likely applicable to both nutrient and sediment WLAs. MPCA recommends selecting BMPs that address multiple WLAs when possible.
It should be noted target dates that extend beyond the five-year permit term are expected for WLAs requiring a significant reduction in pollutant loading from an MS4.
For permittees with best management practices in place, they may be meeting their applicable WLAs. This can be demonstrated through modeling exercises. Refer to Overview of models used to meet MS4 TMDL permit requirements for more information.
Please see Guidance for completing the TMDL reporting form.