September-October 1999

Meeting the TMDL

A veritable alphabet soup of water-quality regulations is making erosion control a priority for preventing water pollution. States' new water-quality targets offer unique opportunities to apply the principles of erosion control to emerging land and resource management fields in order to contain nonpoint runoff and its pollutants.

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By Martha S. Mitchell

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In the simplest terms, these controls are about limiting runoff quantity, controlling the substances stormwater touches, and providing some kind of treatment of stormwater before it seeps into the ground or discharges into streams. In the most complex terms, controls are about the standards we apply to development and natural resource use and the mechanisms we use to fund, enforce, and monitor the effectiveness of such measures.

Runoff and Erosion Play Subtle Roles

Let's take, for example, a watershed in which there is forestry in the headwater zone, agriculture in the midslopes and major floodplains, and urban uses elsewhere. Even if sediments are not a factor in a TMDL for the stream, erosion of disturbed soils can play an essential role in other parameters of the TMDL.

In the timber-production zone, higher-than-background sediment production can be generated in several ways. Drainage of nonsurfaced roads may be one; logging disturbances in the riparian zone may be another. In some cases, clear-cutting and/or broadcast burning may be responsible for delivering sediments to streams. If streams in the timber-production zone are getting a big slug of sediments, these sediments may be transported downstream long distances until gradients become low enough that the sediments will settle out. In stream zones where accelerated aggradation is taking place, the channel may become wider and shallower. As this occurs, stream temperatures might rise, exceeding federal or state criteria. Although loss of stream shading or a disturbance in flow regime may contribute to a temperature problem, erosion control may be an important factor as well.

The same thing holds true for agriculture. If aggradation from eroding farm fields is affecting channel morphology and instream habitat for endangered aquatic species, the land uses generating the sediments might need to be scrutinized and tweaked.

Similarly, erosion may be identified as contributing to a turbidity problem even if suspended sediments are not a factor. Water-quality monitoring may identify an abundance of phosphorus, a nutrient naturally occurring in local soils. Erosion of these soils may be increasing phosphorus levels in area streams, which support short-lived blooms of algae. As the algae increase, their nighttime respiration can deplete dissolved oxygen in the stream. Low dissolved oxygen and a high variation in pH caused by these blooms can have direct and indirect effects on stream life. Again, project- and landscape-level erosion control may have positive impacts on turbidity levels, even if sediments are not a factor in the TMDL.

In the urbanized area of the watershed, nonpoint erosion may provide the vehicle by which diverse and dispersed pollutants enter stormwater systems and, hence, streams. One example is runoff and erosion of landscaped areas, where insecticides may be applied as preventatives, fertilizers applied for aesthetics and to help primary vegetation compete successfully with weeds, and herbicides applied to keep the ground free of vegetation for safety, sight distance, or other purposes. The effects on water-quality of nonpoint erosion from these and other urban land uses can be extremely complex. While some of the potential impacts of such erosion from industrial and commercial land uses are regulated by the NPDES stormwater permits, nonpoint pollution stemming from unregulated land uses might slip through the net but could be an important factor in local water-quality impairment.

BMPs Are the Basic Tools

Land-use control, as we often hear at the local level, is not the business of state or federal government. But local sentiments about property rights may result in municipal government not being able to effectively restrict polluting land uses. Or local government might not have the fiscal resources or political support to apply restrictive zoning or development standards that can protect local water resources. In an interesting way, private enterprise has stepped in to close the gap with the help of EPA and an armload of handbooks on BMPs for nonpoint-source pollution control. The agency has developed a slew of BMPs for protecting water quality from the impacts of a range of activities and land uses. These give locals a menu of choices and some flexibility in meeting state and federal water-quality targets.

Companies that have been paying attention have snatched up these handbooks as they roll off EPA's presses and parlayed them into big business for hungry government clients who are striving to meet TMDLs. They have inserted best management practices (BMPs) into designs for transportation and utility projects, wetlands protection and mitigation, urban redevelopment, construction in environmentally sensitive areas, and a host of demonstration water-quality projects in the watersheds of 303(d) streams.

Meanwhile, local governments with sufficient political cachet have modeled elaborate stormwater codes and rules on the findings of EPA's and others' water-quality research and, in doing so, have created booming local "response" industries in environmental engineering. The prevalence of 303(d) streams, TMDLs, NPDES stormwater permits, Section 404 (wetlands) projects, watershed management, and endangered species listings has boosted the field of erosion control into this growing industry of water-quality protection. Erosion considerations now have a seat at the table in watershed-scale natural resource management and have become important in the design, construction, operation, and maintenance of a raft of increasingly complex projects. 

Tools Get More Complex

And the tools of the trade are becoming more complex. Positions for urban water-quality specialists and TMDL managers are beginning to appear in municipal government and agencies. The people coming into these positions are trained in soils and erosion, chemistry, industry, and stormwater, and they have the ability to crank and tweak complex equations with sensitive factors. Increasingly, these specialists are being asked to assess the efficacy of specific BMPs for specific land uses of specific areal extent on specific soils and slopes in specific climatic zones on specific drainage routes to receiving waters with specific pollutant loads. They use references such as EPA's draft tutorial for water-quality specialists, which is peppered with matrices of factors to plug into equations for calculating pollutant loads, concentrations, and receiving water impacts. They refer to tables that list the most frequently detected priority pollutants, their most common sources by land use, and the most efficient removal mechanisms for each pollutant type.

Of course, it all comes down to site design and programming, management of stormwater and stream corridors, and good old BMPs. EPA classes BMPs in four broad categories: storage, infiltration, filtration, and vegetative practices.

Natural landscaping, a growing family of vegetative BMPs, is getting a lot of attention because of its potential to meet multiple objectives in water-quality improvement. Hot off the press is EPA's new Source Book on Natural Landscaping for Public Officials (http://www.epa.gov/glnpo/greenacres/toolkit). The publication of this manual speaks volumes about the shift in focus that local governments increasingly will be making in response to state-prescribed TMDLs on local water bodies. In this case, the shift may be in design standards for landscaping in the watersheds of certain TMDL streams.

Design Shifts Will Result

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Big business is lining up to meet these changing objectives with teams of biologists, landscape architects, botanists, engineers, and water-quality specialists. Tomorrow's industrial site or office campus may be a TMDL landscape, well conceived and executed to provide infiltration opportunities that minimize runoff and its deleterious impact on urban hydrology. Such landscapes will also filter sediments and provide vegetative uptake of stormwater pollutants. Their shade will protect runoff and streams against thermal pollution. Native plants in these landscapes will cut down on the need for fertilizers, pesticides, herbicides, and maintenance and will provide habitat for wildlife. These multifunctional landscapes will provide connectivity with linear greenspaces that protect floodplains and riparian corridors while supplying areas for utilities, passive recreation, and wildlife movements.

Paradigm shifts such as these for landscape design increasingly will come about in order to meet TMDL requirements. These requirements are throwing enormous challenges to natural resource managers, municipal governments, and the design professions. One of the largest challenges will be figuring out how to spread the burden of pollution control to nonpoint-source producers. The control of nonpoint erosion in agriculture, timber production, public greenspaces, and urban settings will play an important role in meeting TMDL goals. This challenge will create equally enormous opportunities for erosion professionals to contribute fresh solutions to land use and stormwater management.


Author's Bio: Martha S. Mitchell, CPESC, is principal of ClearWater West Inc. (www.clearwaterwest.com), consultants in erosion and natural resource planning in Portland, OR.

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