WYOMING WATER & ENERGY LAW NPDES Permitting Issues Kara Brighton Hageman & Brighton, P.C. Cheyenne, WY
Today’s Presentation Introduction Large Construction General Permit (LCGP) Storm Water Pollution Prevention Plan (SWPPP) Notable Changes to the LCGP CWA Permits for Pesticide Application Background Permitting Information Conclusion
Introduction Clean Water Act Discharge of any pollutant from a point source into surface water of the United States WYPDES Program Wyoming Pollutant Discharge Elimination System Storm Water Discharges - Construction Non-Storm Water Discharges - Pesticides
Introduction “General Permit” A Single Permit Issued to Cover a Large Number of Similar Discharges within an Area WDEQ Reviews WYPDES Permit Applications Determines if an individual permit is required
Large Construction General Permit Wyoming Water Quality Rules & Regulations Chapter 2 Minimization or Elimination in Storm Water Runoff Including Sediment Land Disturbance of Five or More Acres Does Not Have to be Contiguous Smaller Construction part of Larger Development LCGP Continues Until Site is “Finally Stabilized” Re-vegetated to 70% of Natural Cover
Storm Water Pollution Prevention Plan LCGP Requires a SWPPP Must be submitted with Notice of Intent (NOI) to WDEQ 30 Days Before Construction Begins NOI - Describes the construction project SWPPP Describes Potential Pollution Sources Best Management Practices (BMPs)
Notable Changes to LCGP LCGP was renewed March 15, 2011 5 Year Permit - Expires March 15, 2016 Revised Definitions “Finally Stabilized” - Vegetation Must be Adaptable “Operator” - Expanded Entities that have the ability to modify project plans “Reportable Quantity” - Reporting of Spills to WDEQ
Notable Changes to LCGP SWPPP must be Consistent with TMDL Total Maximum Daily Load Sediment, Suspended Solids, or Turbidity NOI Requirements Expanded “Common Plans of Development or Sale” Must Identify Potential Storm Water Discharges to Waters with an Approved TMDL or on 303(d) List Potential Discharges to Class 1 Waters
Notable Changes to LCGP Effluent Limitations - New Federal Regulations Erosion & Sediment Control Minimum Standards Removal of Sediment Transported Offsite Protection of Storm Drain Inlets Offsite Tracking of Sediment to Paved Areas Stabilization of Disturbed Areas for Stalled Activity
Notable Changes to LCGP SWPPP Requirements Expanded Joint SWPPPs Minimum Standards Changes Made within 30 Days of Inspection Uniform Format - SWPPP Template Site Map Requirements BMP Minimum Standards Maintenance of Inspection Records
CWA Permits for Pesticide Application FIFRA / CWA Federal Insecticide, Fungicide & Rodenticide Act Litigation National Cotton Council v. EPA - Sixth Circuit Chemical Pesticides Regulated Under NPDES Program January, 2009: Vacated EPA Rule February, 2010: U.S. Supreme Court Denied Cert EPA Requested Two Year Delay
CWA Permits for Pesticide Application Effective Date: April 9, 2011 Extension: October 30, 2011 Wyoming Issued: March 14, 2012 Expire December 31, 2015 Regulatory Burden Affects 5.6 Million Applications Annually 365,000 Applicators
Major Pesticide Discharge General Permit General Permit Authorizes Discharges of Pesticides TO, OVER, IN Water of surface waters of state associated with: Mosquitoes and Other Flying Pests Aquatic Weed and Algae Control Aquatic Nuisance Animal Control Forest Canopy Pest Control Discharges to Class 1 Waters
Treatment Thresholds Mosquitos and Other Flying Insect Pests 640 Acres of Treatment Area Weeds and Algae 80 Acres of Treatment Area 20 Linear Miles at Water’s Edge Forest Canopy 6400 Acres of Forest Canopy Opt-In
Permit Categories None Minor Pesticide Applications that do NOT Exceed Thresholds OR Major Pesticide Applications that DO Exceed Thresholds Any Pesticide Application near Class 1 Streams of State
Minor Permit No Fees No Notice of Intent No Annual Reporting Requirements “Honor System” Permit Only Need to Show if Complaint Filed and DEQ Investigates
Minor Permits Permit Conditions Narrative rather than Numeric Based on Best Management Practices Reference FIFRA Label Instructions Equipment: Maintenance, Calibration and Cleaning Required Monitoring Record Keeping Adverse Incident Documentation & Reporting
Major Permit Filing Fee = $100 per year Notice of Intent Authorization Annual Report due February 28 th Covers Previous Calendar Year Pesticide Pollution Prevention Plan
Notice of Intent When to File Contact Information Location of Records Treatment Area Locations Type of Pesticide Use Pattern Map Other Information Certification
Annual report Form Available from DEQ later this Year Application Information Weather Conditions Calibration/Repair Documentation Adverse Incidents
Pesticide Pollution Prevention Plan Deadlines Know or Should Know: Prior to First Discharge Did not Know or Should Not have Known: Prior to Exceeding Threshold Emergency: No Later than 90 Days 2012: By December 31, 2012 Signature Must Identify Responsible Individual Must be Updated Once per Year
P4 Requirements Protocols Spill and Adverse Incident Response Procedures Application Equipment Lowest Effective Amount of Pesticide Treatment Areas Use Patters and Application Dates Names of Product and Amount Used Environmental Conditions
P4 Requirements (cont) Document Unusual Effects to Non-Targets Document Equipment Calibration, Cleaning and Repairs Prior to First Application Identify Target Species Identify Factors Contributing to the Problem Establish Densities of Target
P4 Requirements (cont) Implement Efficient Means to Minimize Discharges from Pesticides No Action Prevention Mechanical or Physical Methods Biological Control Agent Used Pesticide Use
P4 Requirements (cont) If Pesticide Selected: Conduct Surveillance Assess Environmental Conditions Evaluate using Pesticides against the Most Susceptible Development Stage of Target Pest
Questions Kara Brighton Hageman & Brighton, P.C. 222 E. 21 st Street Cheyenne, WY