July-August 2007

Stormwater Management

Compliance since NPDES Phase II

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By Carol Brzozowski

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“If they are not able to get the 80% removal rate, the developer is simply not going to change it,” Briglio says. “Not only do you have an ineffective parcel in terms of economics, but it’s still going to be contributing the same additional and likely polluted runoff it had before with no improvement. It takes a lot of interested parties to come together to figure out what is the best thing.”

One approach that’s gaining favor in Georgia is LID, because “more thought on the front end requires less cost in construction maintenance on the back end,” Briglio says. “That’s ideally what we want to do, but the reality sometimes comes into play that you’re just not able to do that.”

One of the discussions surrounding that issue centers on BMP effectiveness, Briglio says. One of the challenges in the metropolitan Atlanta area is trying to determine BMP requirements and to what extent they live up to vendor claims, he adds.

“We know they do their research and work at validating and backing up the performance they claim for their products,” Briglio says. “That’s a big issue as well, because as you get toward redevelopment, you are getting away from the types of BMPs we have the best research on, which would be more natural features, whether they be vegetated swales, filter strips, detention ponds, or others.”

Another issue is that proprietary BMPs such as an inlet device or vortex separator are being examined for space-limited sites, “which can be not too expensive for the installation but could be for the upkeep, and whose responsibility is that?” Briglio points out. “Yet that may be the only option based on space limitations.”

Another consideration in Atlanta-area development is taking into consideration the Endangered Species Act, thus involving more strict regulations in areas where habitat can be protected or restored.

The Etowah River Habitat Conservation Plan covers northwest Georgia’s Etowah River watershed. Two dozen groups and government entities are working together to develop a plan protecting Etowah’s water quality and conserve aquatic species. The amber darter and Etowah darter—both native aquatic species—are listed as endangered. The Cherokee darter is listed as a threatened species.

The goal of the plan is to ensure the least possible impact of development on water quality and aquatic habitat. Thus, the stormwater concerns not only involve runoff rate but runoff volume as well.

“It’s is more difficult than following the Georgia Stormwater Management Manual—holding that one-year event for longer periods of time and still allowing more volume runoff, maintaining or decreasing the peak,” Briglio says.

The conservation plan indicates there cannot be an increase in runoff volume, “which means that water has got to get into the ground, and in Georgia’s soils that’s a big challenge,” he says. “It is not going to be as easy as it may be in some lower parts of the state or in Florida, where you have infiltration as a much more viable countermeasure.”

Northern Georgia’s proximity to mountains means a variable topography, which is not conducive to water infiltrating the ground but rather running downhill and into the streams, Briglio points out.

In an effort to ease the process and avoid individual permitting for the Endangered Species Act, some communities have banded together to adopt their own development regulation that follows the best-known established guidelines.

In stormwater management, one must put into perspective the type of storms anticipated, Briglio says. “It’s one thing to keep the peak the same for the large and less frequent events, but know there is more runoff volume,” he says. “When you get to the smaller ones, you have to look at how you release the rates for the one- and two-year storm events over 24 hours and sometimes longer.

“The post-development peak can be lower than the predevelopment, but because of all that extra volume, we’re trying to avoid having it run at its previous peak so much longer and tearing up the banks.”

As MACTEC’s clients work to address the six minimum control measures of Phase II, not only are they considering funding and staffing in the implementation, but also their priorities shift, Briglio points out.

Case in point: Just as municipalities were digging in to their Phase II programs, the impact of a round of hurricanes pushed water quantity to the top of the priority list.

“We’ve got several communities where nonpoint-source pollution is important, but it had to take a backseat to culverts being washed out and the need for better floodplain mapping in the area,” he says. “In the metropolitan Atlanta area, there’s a requirement to do more extensive floodplain mapping for future conditions, which is another drain on resources. We have the issue of quantity versus quality, and in many cases quantity is more visible, more immediate and obvious in its impact to homeowners.”

Construction Requirements in Washington
The State of Washington has taken a unique approach to stormwater management through its Certified Erosion and Sediment Control Lead requirement, says Nathan Hardebeck with Clear Water Compliance Services in Auburn, WA. “A lot of NPDES construction permit holders now have to come up with a person on sites 1 acre or larger or hire a third party to do the construction’s inspection service on their behalf,” he says. That person is required to make sure the site stays under compliance and on some of the larger sites needs to take water-quality samples at discharge locations.

Another issue of concern to Clear Water Compliance Services’ clients is BMP use. The company does a lot of work on large-scale projects where there are high volumes of water having to move at significant flow rates off the system.

“When the conventional BMPs such as silt fence and straw wattles cannot meet water-quality standards because the receiving water has a certain TMDL [total maximum daily load], or just based on not being able to get turbidities down, we offer them construction-site water treatment, mostly using chitosan-enhanced sand filtration,” Hardebeck says.

Phase II regulations have increased stormwater awareness in Washington, and while the state’s Department of Ecology sent out letters to municipalities in an effort to get everyone on board, a lack of funding stymied the follow-through process, Hardebeck notes.

“The Department of Ecology did get some funding and is starting to build an inspection and enforcement team,” he says. “Phase II municipalities are also creating stormwater divisions that are inspecting and monitoring construction and industrial sites, shutting down projects not in compliance.”

There also are more third-party lawsuits brought against developers and industry not in compliance with their permits by people “who are starting to run out of what they consider their patience level in terms of enforcement, so they are taking matters into their own hands and suing based on the Clean Water Act,” says Hardebeck.

He sees a push for LID “as well as other more efficient, more environmental ways of rebuilding” in redevelopment projects, but he doesn’t see redevelopment projects get as scrutinized for NPDES requirements as new construction.

Like many municipalities, the clients of Clear Water Compliance Services do not necessarily have the staff or funding to implement all of the six minimum control measures in-house, so with measures such as public education, they are outsourcing the work.

New Strategies in Florida and Texas
Meanwhile, in Florida, consulting firms also are noting increased compliance enforcement.

“Contractors are catching up on that,” says Mike Howe, a senior ecologist for Boyle Engineering’s Orlando, FL, location. “There’s a lot of training for erosion and sediment control being done around the state by the state agencies, so the contractors are being educated more to that process.”

With municipalities jointly initiating programs in NPDES Phase II and TMDLs, “a lot of our clients are either starting to plan their stormwater activities better through a master plan or are looking at outdated or older master plans and wanting to update them,” says Sue Woodbery, senior engineer for Boyle. “Not only is the component looking at flooding, but it’s also looking at water quality. A lot of our BMP activities are driven by water-quality issues today.”

Howe says “clients tend to want design engineers to prepare the stormwater pollution prevention plan these days, so more of that is incorporated into the design, especially in regards to post-construction—it’s usually a lot more in the design phase than contractors coming on board and signing on to a stormwater pollution prevention plan that is already in place. Designs may be modified. That’s been the biggest shift.”

Woodbery says through a Basin Management Action Plan that is TMDL-driven, her company notes a large push from the state’s water management districts to go to LID.

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“The developers are getting on board with individual ponds at homes or going back to the large swales,” she says. “There’s a big push for parking lots with impervious pavement. A lot of new vendors are showing us their products, and we’re starting to consider using them for a reduction of stormwater runoff for after development. It doesn’t necessarily have to do with anything during the construction side, like NPDES requires with the SWPPP.”

As more university research is done on existing and emerging BMPs, “you are getting regulatory agencies to buy into the fact that the impervious pavement will reduce stormwater runoff,” says Woodbery. “Before, we weren’t getting credit for it and it was a more expensive technology, so why would your municipality use it if it requires more maintenance and you don’t get credit for it? Next Page >

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