July-August 2007

Stormwater Management

Compliance since NPDES Phase II

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By Carol Brzozowski

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“They want credit for it so they can reduce the size of land they have to have for a stormwater pond, for the additional control that the impervious pavement may or may not handle for you.”

Michael Bloom agrees with those from other consulting firms that there’s been an increased emphasis on water quality as NPDES Phase II progresses. He also points out that Phase II has brought a new group of municipal and transportation department entities to the table that had not previously been regulated, so it’s becoming a learning process for them. Bloom is a senior engineer and a stormwater expert for the Houston, TX, office of PBS&J.

As communities go through cycles of dealing with flooding issues, municipal officials and residents are becoming more aware of water quality and quantity, he points out. “But there are some folks who think of Phase II regulations as being just a federal mandate they have to do and don’t really see it as an opportunity to do more with quality of life or recreational facilities,” he adds.

Individual property rights are highly valued in some parts of Texas as in other parts of the country, “so some communities—not all by any means—are more reluctant to regulate land development,” Bloom says. “But there are other communities like Portland that have been very assertive in regulating land development. It depends on the politics of the location.”

Most of PBS&J’s Texas clients are municipalities that regulate development, and while there is a lot of interest in LID—for example, in the Houston metropolitan area—“there is a lot of concern about whether it would work in our location because we are very flat and have clay soil, low permeable soils, and a lot of rain.”

There is a typical list of BMPs being selected for development, he adds. “Generally speaking, for post-construction, municipalities will have an action item in their five-year plan to develop some sort of ordinance that would require either structural or non-structural controls.

“There are a lot of Texas locations that are not necessarily going to commit themselves to structural controls,” he adds. “For illicit discharge, there’s generally an ordinance to prohibit those discharges and plan to use visual and odor observations to identify those illicit discharges. Generally, Phase II cities are not going to commit to a rigorous amount of field sampling where they get water chemistry results. They might rely on water chemistry results for any kind of enforcement proceeding, but just to identify any particular concerns, they’ll just use their eyes and their nose.”

In guiding its clients to effective non-proprietary BMPs, PBS&J leads them to sources such as the International Stormwater Best Management Practices database (www.bmpdatabase.org). For proprietary BMP information, PBS&J relies on the USEPA’s Environmental Technology Verification program (www.epa.gov/etv/).

From Planning to Implementation
Mark McCabe, the Cleveland, OH–based stormwater program manager for URS in San Francisco, CA, says his company’s clients are requesting assistance in moving from the planning to the implementation part of NPDES Phase II.

“Their knowledge tends to be somewhat limited,” he says. “They’ve got a general knowledge of the hydraulics dealing with stormwater conveyance system designs, but the overall management tends to be limited since this is new to a lot of folks.”

How to align municipal separate storm sewer system permits with construction permits is another issue with which URS clients wrestle, McCabe says. “In certain states, the requirements tend to be different. They tend to collide from time to time in terms of what their outputs are and what they are allowed to do under certain permits and conditions.”

As for the six minimum control measures, most municipalities tend to have a handle on public education outreach, construction-site runoff in terms of sediment and erosion control, and pollution prevention in documenting procedures, McCabe says.

“The inventory component of the illicit discharge is fairly straightforward and tends to be driven by a budget issue,” he says. “Moving from the actual inventory to developing an illicit discharge program tends to give them a little bit of a concern, because that could entail a large effort to identify, trace, and remove illicits as well as understanding how that program ties into the TMDL requirement.”

Clients are also struggling with the post-construction measure in terms of site criteria, where to place a BMP, and who’s responsible for maintaining it, McCabe says.

LID tends to be a coastal issue that midwestern states are just beginning to consider, he believes. “Like anything new, it’s going to take awhile before it actually takes hold and becomes institutionalized. I think the green initiatives and green infrastructure programs some of the cities have in place probably will expedite LID, but I think it’s a fear of the unknown—they just don’t know what’s all involved and what it means.”

Looking ahead as NPDES Phase II unfolds, the United States is now at the point where Phase II is on the books, but every so often, a weather event or other factors serve as a reminder that there are other issues that demand attention as well, Briglio points out.

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“There’s the struggle where the rain cycle reminds us every so many years that it’s not just water quality,” he says. “Sometimes the dollars do have to go to replacing undersized pipes.

“That’s the real struggle because regulators don’t come down on the local entities to see how they are doing in replacing pipes. They come down to see how they are doing as far as the six control measures.”

Author's Bio: Carol Brzozowski is a journalist living in Coral Springs, FL.

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