MS4 = Municipal Separated Storm Sewer System

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Presentation transcript:

MS4 = Municipal Separated Storm Sewer System By James E. Amundsen, P.E.

Why Should You Care? MOA & DOT&PF are joint Permittees, permit: http://www.muni.org/Departments/works/project_management/Documents/NPDESPermit2010.pdf Permit effective 2/1/2010 to 1/31/2015 EPA Consent Decree?? Personal Liability - Subject to criminal penalties of $2,500 to $25,000 per day of violation, Or imprisonment of not more than one year, or both.

What is an MS4? An MS4 is a conveyance or system of conveyances that is: Owned by a state, city, town, village, or other public entity that discharges to waters of the U.S.; Designed or used to collect or convey stormwater (including storm drains, pipes, ditches, etc.); Not a combined sewer; and Not part of a Publicly Owned Treatment Works (sewage treatment plant).

Overview Polluted stormwater runoff is commonly transported through Municipal Separate Storm Sewer Systems (MS4s), from which it is often discharged untreated into local water bodies. To prevent harmful pollutants from being washed or dumped into an MS4, operators must obtain a NPDES permit and develop a stormwater management program. Phase I, issued in 1990, requires medium and large cities or certain counties with populations of 100,000 or more to obtain NPDES permit coverage for their stormwater discharges. There are approximately 750 Phase I MS4s. Phase II, issued in 1999, requires regulated small MS4s in urbanized areas, as well as small MS4s outside the urbanized areas that are designated by the permitting authority, to obtain NPDES permit coverage for their stormwater discharges. There are approximately 6,700 Phase II MS4s. Generally, Phase I MS4s are covered by individual permits and Phase II MS4s are covered by a general permit. Each regulated MS4 is required to develop and implement a stormwater management program (SWMP) to reduce the contamination of stormwater runoff and prohibit illicit discharges.

MS4 Requirements Pursuant to Rule 13, each MS4, is required to develop a Storm Water Quality Management Plan (SWQMP) which is basically an action plan for the MS4 entity to institute six requirements, or minimum control measures (MCM): Public Education and Outreach Public Involvement and Participation Illicit Discharge Detection and Elimination Construction Site Storm Water Runoff Control Post-Construction Storm Water Management in New Development and Redevelopment Pollution Prevention/Good Housekeeping for Municipal Operations Maintenance

Permit Compliance Topics Requirement: Many Requirements very similar to Construct General Permit (Because Construction Site Runoff Control is also part of the overall MS4 permit) Permenant BMP’s that address the ‘post-construction’ storm water management

Permit Compliance Topics Specific Requirements: Applies to all areas of New Development & Redevelopment Runoff generated from first 0.52 inches/24 hr event of rainfall Retention vs detention

Runoff Volume Reduction Canopy interception Soil amendments Evapotranspiration Rainfall harvesting Engineered Infiltration Extended Filtration

Storm Water Design Criteria Manual Update Coming – Compliance Challenges until it is Updated Green Infrastructure/LID Strategies – use them! Document your efforts in your DSR

Plan Review & Approval DOT&PF Reviews DOT&PF Plans MOA reviews MOA & Developer Plans Expect Review comments to cover both temporary (BMP’s in ESCP) and permanent practices your design includes DSR’s should include specific discussion of both construction BMP’s as well as permanent management measures

Helpful Links Here’s a link for on-line MS4 training. https://www.npdes.com/training/workshops EPA Website: http://cfpub.epa.gov/npdes/stormwater/munic.cfm Anchorage website: http://anchoragestormwater.com/ Copy of current Permit – with presentation 2012 Report Joint Report http://anchoragestormwater.com/APDES.html

Questions?