Potential Stormwater Hotspots (PSHs) are defined as commercial, industrial, institutional, municipal, or transportation-related operations that produce or can produce relatively high levels of stormwater pollutants. PSHs include locations where there is a potential risk for spills, leaks or illicit discharges. It is important to note that designation as a PSH does not imply that a site is a hotspot, but rather that the land use and associated on-site activities have the potential to generate higher pollutant runoff loads compared to other land uses. Designation as a PSH serves as a useful reminder to designers and reviewers that more careful consideration of the site is warranted. Ultimately, a PSH site designation may dictate that certain practices and/or design criteria are promoted or discouraged.
PSHs can be categorized by different land uses. Five land use categories that may be classified as PSHs include commercial, industrial, institutional, municipal, or transportation-related operationser. A description of the major land use category is provided below. Note that some of these land uses fall under the requirements for Phase II NPDES industrial stormwater permits.
Commercial PSHs consist of a small group of businesses associated with a specific activity or operation that generates higher pollutant loads in a subwatershed. Examples include:
Each kind of commercial hotspot generates its own blend of stormwater pollutants, which can include nutrients, hydrocarbons, metals, trash and pesticides. Commercial PSHs typically have a great deal of vehicle traffic, generate waste or wash water, handle fuel or repair vehicles, or store products outside. While commercial PSHs are quite diverse, they are often clustered together. Most commercial PSHs are unregulated, although a few are regulated under the NPDES industrial stormwater permit program by local ordinance or by federal/state law if they handle even small quantities of hazardous material.
Industrial PSHs are a major focus for pollution prevention if they use, generate, handle or store pollutants that can potentially be washed away in stormwater runoff, spilled, or inadvertently discharged to the storm drain system. Examples of industrial land use activities include:
Each type of industrial PSH generates its own blend of stormwater pollutants, but as a group, they generally produce higher levels of metals, hydrocarbons and sediment. Many industrial operations are regulated under the NPDES industrial stormwater permit program, although individual owners or operators may be unaware of their permit status.
Institutional PSHs include larger, privately-owned facilities that have extensive parking, landscaping, or turf cover. In addition, institutions may contain fleet vehicles and large maintenance operations. Examples include:
By and large, institutional PSHs are not regulated. The most common pollutants generated by institutional PSHs are nutrients and pesticides applied to maintain grounds and landscaping. In addition, large parking lots can produce stormwater runoff and associated pollutants, and are natural targets for stormwater retrofitting. Institutional landowners can be important partners in subwatershed restoration, given the importance of their stewardship practices on the open lands they maintain.
Municipal PSHs include many local government operations that handle solid waste, wastewater, road and vehicle maintenance, bulk storage areas for road salt and sand, and yard waste. Examples include: composting facilities
Many of these municipal operations are regulated PSHs in MS4 communities. Municipal PSHs must prepare the same pollution prevention plans and implement source control practices as any other regulated PSHs. Municipal PSHs can generate the full range of stormwater pollutants, including nutrients, hydrocarbons, metals, chloride, pesticides, bacteria, and trash. It is common in Minnesota for each municipality and many commercial centers to store a stockpile of road salt. Although these piles are generally not subject to regulation unless they cause a documented water quality problem, MS4 municipal programs should take responsibility for managing these piles in a pollution free manner.
Examples of transportation-related uses include:
Many, but not all, transportation-related uses are regulated PSHs. They tend to generate higher loads of hydrocarbons, metals, and sediment in stormwater runoff, can be associated with large areas of impervious cover, and have extensive private storm drain systems. Fluid leakage from these sites can be a major source of contamination, as can the addition of sand and salt during the cold weather season. Road surfaces are not automatically considered as PSHs unless they have been shown locally to be such sources.
Polluting activities associated with common PSH operations
Perhaps of more significant consideration is an understanding of the types of pollutant generating activities that commonly occur in association with various PSH operations. Six common operations and a subset of related activities that can contribute to stormwater quality problems at a site are discussed below.
Nearly all PSHs devote some portion of the site to vehicle operations such as maintenance, repair, recycling, fueling, washing or long-term parking. Vehicle operations can be a significant source of trace metals, oil, grease, and hydrocarbons, and are the first operations inspected during a hotspot source investigation. Vehicle maintenance and repair operations often produce waste oil, fluids and other hazardous products, particularly if work areas are connected to the storm drain system. Routing protective rooftop runoff through a fueling area has become a common practice in Minnesota; simple re-routing of runoff away from a potential fuel wash-off location could eliminate this from the hotspot list.
Most PSH sites handle some kind of material that can create stormwater problems if not properly handled or stored. The first step is to inventory the type and hazard level of materials at the site. Next, it is important to examine loading and unloading areas to see if materials are exposed to rainfall and/or are connected to the storm drain system. Third, any materials stored outdoors that could potentially be exposed to rainfall or runoff should be investigated. Public and private road salt and sand storage areas are of particular concern for this category.
Every business generates waste as part of its daily operations, most of which is temporarily stored at the site pending disposal. The third common hotspot operation involves the way waste products are stored and disposed of at the site in relation to the storm drain system. In some sites, simple practices such as dumpster management can reduce pollutants, whereas other sites may require more sophisticated spill prevention and response plans.
The fourth hotspot operation relates to practices used to clean, maintain or repair the physical plant, which includes the building, outdoor work areas and parking lots. Routine cleaning and maintenance practices can cause runoff of sediment, nutrients, paints, and solvents from the site. Sanding, painting, power-washing, resealing or resurfacing roofs or parking lots always deserves particular scrutiny, especially when performed near storm drains.
The fifth common hotspot operation involves practices used to maintain turf or landscaping at the site. Many commercial, institutional and municipal sites hire contractors to maintain turf and landscaping, apply fertilizers or pesticides, and provide irrigation. Current landscaping practices should be thoroughly evaluated at each site to determine whether they are generating runoff of nutrients, pesticides, organic carbon, or are producing non-target irrigation flows.
Some operations simply resist neat classification, and this last category includes unique sites known to generate specific pollutants. Examples include swimming pools, construction operations, golf courses, fairgrounds/racetracks, marinas, hobby farms, and restaurants.
A particular PSH of concern is associated with salt storage and the environmental threats that result from our need as a state for safe winter roads. Water quality problems from very soluble Na, Cl and cyanide have been documented as resulting from stored salt piles. MPCA does not regulate the storage of salt unless the storage becomes a documented contamination problem. Instead, the state encourages all public and private entities storing salt to follow the Salt institute's recommended BMPs, which include such things as covering, impervious pads and drainage routing. MS4 communities are asked by MPCA to include a salt management component in their municipal pollution prevention programs.
Understanding the types of future operations expected to occur on a site helps designers develop a more thoughtful stormwater management and pollution prevention plan for a given site. This approach provides more flexibility in terms of what stormwater treatment approaches are appropriate for different portions of a site. Runoff management at PSHs should also be linked to the pollutant(s) of greatest concern in the subwatershed. Similarly, understanding the pollutants potentially generated by a site operation provides designers with important information on proper selection, siting, design, and maintenance of the nonstructural (e.g., source control or pollution prevention) and structural practices that will be most effective at the PSH site.
The most cost effective approach to managing stormwater at potential hotspot sites is to employ a variety of non-structural pollution prevention, and source control measures. To do this effectively, it is necessary to have a thorough understanding of a site and the respective areas of the site where specific operations will occur. Hogland, et al. (2003) suggest most of the following principles for design:
Meeting the design intent of the non-structural practices above typically involves simple and low-cost measures to address routine operations at a site. For example, the non-structural design components for a vehicle maintenance operation might involve the use of drip pans under vehicles, tarps covering disabled vehicles, dry cleanup methods for spills, proper disposal of used fluids, and covering and secondary containment for any outdoor storage areas.
Each of these practices also requires employee training and strong management commitment. In most cases, these practices save time and money, reduce liability and do not greatly interfere with normal operations. A more complete summary of 15 basic pollution prevention practices applied at PSH operations is provided in Table 1 (Schueler et al., 2004).
Summary of common pollution prevention practices for PSH operations (Source: Scheuler et al., 2004).
Link to this table
PSH operation | Profile sheeta | Pollution prevention practices |
---|---|---|
Vehicle maintenance and repair | H-1 | Drip pans, tarps, dry clean-up methods for spills, cover outdoor storage areas, secondary containment, discharge washwater to sanitary system,proper disposal of used fluids, disconnect storm drains, automatic shutoff nozzles, signs, employee training, spill response plans |
Vehicle fueling | H-2 | |
Vehicle washing | H-3 | |
Vehicle storage | H-4 | |
Loading and unloading | H-5 | Cover loading areas, secondary containment, storm drain disconnection or treatment, inventory control, dry cleaning methods, employee training |
Outdoor storage | H-6 | |
Spill prevention and response | H-7 | Inventory materials, employee training, spill planning, spill clean up materials, dumpster management, disconnect from storm drain or treat. Liquid separation/containment |
Dumpster management | H-8 | |
Building repair and remodeling | H-9 | Temporary covers/tarps, contractor training, proper cleanup and disposal procedures, keep wash and rinse-water from storm drain, dry cleaning methods |
Building maintenance | H-10 | |
parking lot maintenance | H-11 | |
Turf management | H-12 | Integrated pest management, reduce non-target irrigation, careful applications, proper disposal of landscaping waste, avoid leaf blowing and hosing to storm drain |
Landscaping/grounds care | H-13 | |
Swimming pool discharges | H-14 | Varies, depending on the unique hotspot operation |
Other unique hotspots | H-15 |
aDue to the volume of material, the reader is referred to Scheuler et al. (2004) to see the profile sheets. Each profile sheet explains how the practice influences water quality and lists the type of PSH operation where it is normally applied. The sheets also identify the primary people at the hotspot operation that need to be trained in pollution prevention. Next, each sheet reviews important feasibility and implementation considerations and summarizes available cost data. Each profile sheet concludes with a directory of the best available internet resources and training materials for the pollution prevention practice. To access this information go to Urban Subwatershed Restoration Manual Series Manual 8: Pollution Source Control Practices. Hotspot prevention profile sheets are found on pages 109-158. A discussion of stormwater hotspots is found on pages 13-24.
It should be noted that the profile sheets developed by Scheuler et al. (2004) are written primarily from the perspective that the site(s) in question is an existing site and pollution prevention measures are recommended as a retrofit approach. Designers of new sites, however, can still use the guidance effectively.
Wright et al. (2004) provide a detailed description of the rapid field assessment protocol for identifying PSHs and the appropriate pollution prevention practices for the activities causing pollution. The protocol is known as the Unified Subwatershed and Site reconnaissance (USSR) and the PSH assessment is called a Hotspot Site Investigation. These methods are not directly applicable to greenfield development or redevelopment situations; however, they have significant application for NPDES Phase II communities that are working towards compliance with Minimum Control Measures 1, 2, 3, and 6 (public education and outreach, public participation/involvement, illicit discharge detection and elimination, and pollution prevention/good housekeeping, respectively).
After considering the non-structural elements to incorporate into a site based on its layout and proposed operations, designers need to assess what structural practices will be most appropriate given site constraints while providing the greatest pollutant loading reductions for targeted pollutants. Details on BMP design and performance can be found within web pages for individual BMPs.
It is often receiving water designation or watershed classification that will drive the criteria and associated practices that are acceptable for use. However, by virtue of being a PSH there are a set of general guidelines to always consider when designing structural stormwater management systems. The following should be carefully considered by designers when specifying and siting practices at PSHs.
Infiltration practices are the practice group that requires the most scrutiny prior to implementation at a PSH. A conservative approach would avoid the use of infiltration practices at a PSH; however, with appropriate site and conveyance design it is possible for the designer to incorporate infiltration into many sites to treat areas sufficiently separated from pollutant generating activities. Most other practice groups should be acceptable for use in treating PSH runoff, so long as appropriate design modifications are incorporated. Most design modifications are simple and in the form of enhanced pre-treatment, over-design, or design redundancies. Others are added features that limit the likelihood of ground water recharge. For example, practice groups such as bioretention, ponds and wetlands that receive runoff from pollutant generating activities should be designed with the necessary features to minimize the chance of ground water contamination. This includes using impermeable liners. The use of ponds and wetlands without liners should also be avoided where water tables are shallow and the practice would likely intercept the water table.
Ultimately, the level of safeguards that are in place when providing stormwater management at PSHs should be related to the expected review process. Communities that can allocate adequate and qualified staff to effectively review all stormwater management plans for proposed PSHs can arguably provide designers with great flexibility as to how to meet the management criteria required at a site. In these cases, designers should have most of the accepted stormwater treatment practices at their disposal for implementation. However, for communities that don’t have the resources to provide the necessary level of site and stormwater management plan review, a more conservative approach to allowable treatment practices should be taken.
In many cases, industrial PSHs will be covered by the NPDES industrial stormwater permit or by some other federal/state permitting program related to the materials they store or handle on site. Communities are encouraged to focus their attention on the unregulated PSH sites.
Industrial PSHs that are regulated under NPDES stormwater permits must prepare stormwater pollution prevention plans or SWPPPs, and implement source control practices at the facility. These plans must include spill response and prevention, employee training, and implementation of pollution prevention practices to reduce exposure of products to rainfall or runoff. In some cases, stormwater treatment practices may need to be installed at the site to remove pollutants from runoff. Permitted industrial PSHs should be regularly inspected to determine if they are complying with the SWPPP, or even possess a permit. However, the MPCA does not inspect any facilities because of the staffing cut-backs it has experienced. In lieu of this, communities could conduct their own site visits as part of its local stormwater program. The storm drain system should also be investigated to determine if an industrial PSH is generating illicit discharges of sewage or other pollutants. Methods to detect and correct illicit discharges are described in Brown et al. (2004).
Industrial NPDES stormwater permits are an important regulatory tool at many PSH operations. Significant penalties can be imposed for non-compliance. State and federal regulators are still grappling with the administration of industrial stormwater permits, and they remain an imperfect tool for several reasons. First, the permit system allows potential hotspot operators to prepare and implement their own pollution prevention plans and to keep them on site rather than sending them to MPCA. If a particular plan is weak or is only a paper exercise, the Agency might never know until it is too late. Second, very few trained state or federal-level inspectors are available to inspect and enforce the thousands of industrial sites covered by the permit program. Third, although communities usually have the best understanding of how the local stormwater network works, they lack direct authority to inspect or enforce regulated PSHs, although they can refer them to state agencies for enforcement. Communities can also address these sites through other programs, such as zoning, stormwater utility or conditional use permits, and can address potential problems whenever new construction at the facility occurs. All three problems can be overcome if the locality works with industry and state regulatory agencies to share hotspot inspection and enforcement responsibilities as part of industrial permitting or MS4 programs. Portland (OR) recently negotiated such an agreement to expand the reach of its hotspot inspection program (Pronold, 2000).
From the regulated community standpoint, the lack of a viable, well funded state industrial stormwater permit program has resulted in uncertainty over regulatory status and frustration over paying an annual fee with no return. An industrial stormwater permit holder could conceivably have several different programs that address stormwater management, including local MS4 authority with its set of stormwater controls. Also, most industry handling polluting materials likely comes under the authority of related regulations, such as hazardous waste spill prevention or chemical storage laws, each of which could have a stormwater component.
Most industrial stormwater permit issues will not be solved until a viable state and federal regulatory program exists. Until this happens, communities and industrial permit holders are urged to work together to define problems and solutions within the SWPPP framework.
Preventing or minimizing the likelihood of contaminated runoff from leaving a PSH site is the core objective of stormwater management at these sites. Introduction of contaminated runoff to the ground water is probably the greatest concern in developing effective stormwater management plans at PSHs. This is for three primary reasons:
This section focuses on these issues and presents a potential approach for establishing design guidelines for infiltration based on the six common operational areas presented in Table 13.6 plus a seventh area that addresses major transportation routes (e.g., highways). Figure 13.12 serves as a frame of reference for revisiting these areas.
Caution should be exercised when dealing with the introduction of stormwater runoff into the ground via infiltration systems or even low impact development-type techniques that encourage infiltration naturally. This issue gets particularly important when the infiltration occurs within a defined drinking water source area[1]. It is important to note that the map illustrating Source Water Protection areas shows only the public systems covered under the Minnesota Department of Health program. There are thousands of additional private and domestic wells that could be impacted by PSHs and not subject to any special protections against stormwater runoff.
Table 13.10 provides potential infiltration guidelines associated with each of the seven operational areas. Infiltration at PSHs relies on overall site design and facility operations management. Good design and committed, well-trained facility staff should make infiltration possible for certain areas of the site. Where uncertainty is present, designers should avoid infiltration practices. The Minnesota Department of Health recommends that infiltration should not be used within the one-year wellhead protection area and limited in vulnerable wells for the 10-year wellhead protection area.