Confused about what to document under the MS4 permit? You've come to the right place! The purpose of this page is to provide guidance on how to comply with the documentation requirements outlined in the Minnesota Pollution Control Agency’s (MPCA) (MS4 Permit). The MS4 Permit requires owners and operators of small MS4s to develop, implement, and enforce a stormwater pollution prevention program (SWPPP). The SWPPP has many components that you must document. For all documentation requirements you must retain the records for three years beyond the term of the current permit (Permit Part IV C.). Many of these materials will be requested prior to an MPCA staff auditing your MS program.
Enforcement documentation needed: |
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The name of the party in noncompliance; date, location, and violation description; required corrective actions; date and type of enforcement action; referral to other regulatory organizations; and resolution date. |
Enforcement actions are used to compel compliance with regulatory mechanisms. Each enforcement action you conduct, including verbal warnings, related to illicit discharges, active construction, and post construction must be documented (Permit Part III B.2.).
Public education and outreach documentation needed: |
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High-priority stormwater issues that are the focus of outreach material. |
A Public Education and Outreach Implementation Plan and its modifications. |
Description & dates of outreach activities. |
Quantity & description of distributed material. |
Your public education and outreach program should demonstrate how the public (residents, businesses, institutions, etc.) can reduce their impacts to stormwater. As part of the education and outreach program, you must distribute materials, or conduct equivalent outreach, to the public on how to identify and report illicit discharges (Permit Part III D.1.).
Public education and outreach documentation needed: |
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Written input on your SWPPP and your response. |
Public notices for public events. |
Dates and locations of public event. |
Engaging the public and getting the public to actively contribute to your SWPPP instills the idea that everyone has a role to play in proper stormwater management. You must provide at least one yearly public involvement opportunity that allows the public to provide input on your SWPPP. In addition, you must allow the public access to the SWPPP Document, annual reports, and other information relating to the SWPPP (Permit Part III D.2.).
IDDE documentation needed: |
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Dates and locations of IDDE inspections, including inspections that incorporate IDDE. |
Reports of illicit discharges, including date and follow-up actions. |
Dates, locations, sources, and responses to discovered illicit discharges. |
Illicit discharges, or discharges of non-stormwater to the storm sewer system, negatively impact the quality of stormwater. You are required to develop, implement, and enforce an illicit discharge detection and elimination (IDDE) program to prevent and identify illicit discharges (Permit Part III D.3).
Site inspection documentation needed: |
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Checklist or other written materials used to record site inspections. |
Site inspections play a crucial role in ensuring construction activities are employing best management practices (BMPs) to prevent sediment and other pollutants from leaving construction sites. You must have a document, whether a checklist or other written method, used to determine compliance with your construction site stormwater runoff control regulatory mechanism (Permit Part III D.4.d.).
Site plan review documentation needed: |
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Project information, including name, location, total acreage to be disturbed, owner/operator of the proposed construction activity. |
Comments and supporting documentation used by the permittee to support the project's approval or denial. |
Site plans are required to be submitted to you for construction projects that disturb one acre or more of land. Your SWPPP must include site plan review procedures you use to determine if proposed construction activity and post-construction management practices are in compliance with your regulatory mechanisms (Permit Parts III.D.4.b. & III.D.5.b.). Site plans must include descriptions of site conditions during construction and post-construction management of stormwater volume, total suspended solids (TSS), and total phosphorus (TP) (Permit Parts III. D.4.a. & D.5.a.(2)).
Mitigation documentation needed: |
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Supporting documentation associated with the mitigation project, including party responsible for long-term maintenance. |
Payments received in lieu of mitigation. |
If post-construction requirements for TSS and TP in stormwater discharged from the site can’t be met (i.e. no net increase in TSS and TP for new development and a net reduction from pre-construction conditions for redevelopment), you may approve mitigation projects (Permit Part III.D.5.a.(4)).
Long-term maintenenace documentation needed: |
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Legal agreement between you and the private owner or operator. |
Dates and parties involved. |
If a privately-owned structural stormwater BMP is installed as part of construction activity, you must have a legal agreement with the owner(s). The legal agreement will:
Municipal BMP inspection documentation needed: |
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Dates, findings, and subsequent maintenance. |
Changes to the structural stormwater BMP inspection frequency. |
Pond sediment excavation/removal activities, including the pond unique ID number, volume of sediment removed, sediment test results (if any), and location of sediment disposal. |
Inspecting and maintaining BMPs that are used in municipal operations is important to reducing your impacts to stormwater. Inspections must be:
IDDE inspections must be incorporated into these inspections. See IDDE Section on this document for more information.
Employee documentation needed: |
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Employee training events, including topics covered, names of employees in attendance, and dates of each event. |
As part of the SWPPP, you must train employees who may encounter stormwater related issues, including those who conduct IDDE and construction site inspections, review site plans, respond to illicit discharge complaints, etc. The training program must:
Yes. Although not a focus of this guidance document, you must maintain the below regulatory mechanisms, maps, polices, procedures, and inventories. The MS4 Permit (citation provided in parenthesis) and other guidance documents discuss the below in more detail. Please note that if you have Alum or Ferric Chloride Phosphorus Treatment System you may have additional requirements.