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NDEQ Stormwater Contacts:

NDEQ Stormwater Contacts:. Jamie Petersen Administrative Assistant - Stormwater jamie.petersen@ndeq.state.ne.us Front Desk: (402) 471-4220 Michael Crisco Program Specialist – Storm Water michael.crisco@ndeq.state.ne.us Office: (402) 471-2023, Fax; -2909 www.deq.state.ne.us.

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NDEQ Stormwater Contacts:

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  1. NDEQ Stormwater Contacts: Jamie Petersen Administrative Assistant - Stormwater jamie.petersen@ndeq.state.ne.usFront Desk: (402) 471-4220 Michael CriscoProgram Specialist – Storm Watermichael.crisco@ndeq.state.ne.usOffice: (402) 471-2023, Fax; -2909www.deq.state.ne.us

  2. The Who, What, When, Where, How, and Why of Stormwater Permitting for Nebraska’s Airports. • Who is subject to Stormwater permitting? • What do I have to do get “permitted”? • When do I have to have this done? • Where do we get these permits? • How do I maintain compliance? • Why are these permits required?

  3. First, some background regarding NPDES… • Section 402 of the Clean Water Act established the National Pollution Discharge Elimination System (NPDES) to reduce pollution in U.S. waterways through permit regulations. • The U.S. EPA delegates authority to Authorized States like Nebraska to grant NPDES discharge authorization numbers to permit applicants. • Any U.S. facility subject to NPDES regulations that does not have a discharge authorization, may be in violation of Municipal, State and Federal law.

  4. Point / Non-Point Source Discharge Pollution • NDEQ’s authority to administer NPDES discharge authorization numbers extends to both point and non-point sources of pollution. • Point Sources are generally associated with “end of pipe” discharges; • Non-Point Sources often come from more dispersed discharge areas like construction, industrial or municipal Stormwater runoff sites. • Both point and non-point source pollution discharges in Nebraska are very serious and must be prevented to ensure the quality, safety and security of our state’s extraordinary water resources.

  5. Nebraska’s NPDES - Stormwater Program • point source discharge authorizations are usually permitted individually (1- application, 1- permit); while non-point sources like Stormwater are permitted on a general basis (many applications, 1-permit). • NDEQ administers two general Stormwater permits statewide: • Construction Stormwater (CSW) • Industrial Stormwater (ISW). • Applicable Nebraska facilities seeking compliance with state and Federal Clean Water Act compliance under these permits must seek coverage through NDEQ to receive a discharge authorization number. • Only valid discharge authorization numbers from NDEQ will ensure compliance with NPES requirements in Nebraska.

  6. Who is subject to Stormwater Permitting? • All Nebraska landowners planning construction activity that disturbs 1 acre or more must seek coverage under NDEQ’s Construction Stormwater (CSW) general permit. • All Nebraska industrial facilities in applicable categories and/or with specific Standard Industrial Classification (SIC) codes must seek coverage under NDEQ’s Industrial Stormwater (ISW) general permit. • Because Airports have a NAICS code of 48 and/or an SIC code of 45, they are categorically required to submit a complete, correct, verifiable NOI to receive an ISW discharge authorization number.

  7. What do I have to do get “permitted”? • First, you must get an Application Packet from NDEQ. • Second, read the permit. (know what you are signing!) • Third, you must submit a complete, correct and verifiable Notice of Intent (NOI) to request a discharge authorization number from NDEQ. Note: incomplete, incorrect or unverifiable NOI’s cannot be processed and will be returned without a discharge authorization number being assigned to the applicant!

  8. Where do I get permit applications? To obtain copies of NDEQ’s NPDES Construction (CSW) and Industrial Storm Water (ISW) General Permit Packets: Call Jamie Petersen @ 402/471-4220 to have the appropriate packet mailed to you. Or, Download and print the PDF version from our website by following this path: www.deq.state.ne.us, Publications and Forms, NPDES, Applications and Forms, and finally… NPDES Permit for Industrial Storm Water Discharges and/ or NPDES Permit for Storm Water Discharges from Construction Sites.

  9. When do I have to have this done? • Construction Stormwater (CSW) NOI’s must be submitted at least 1week before construction. • However, 7 calendar days after submission of a complete, correct and verifiable CSW-NOI the applicant may begin permitted construction. • For Industrial Stormwater (ISW) discharge authorizations, the Notice of Intent must be submitted 180 days before commencement of operations.

  10. How do I maintain compliance? • Any changes in the information submitted on your NOI must be submitted to NDEQ within 30 days! • If monitoring is required, both the frequency and reporting requirements must be diligently completed. (Note: if your Stormwater discharge affects 303d-listed impaired waters of the state, expect monitoring.) • An adequate Stormwater Pollution Prevention Plan (SWPPP) that specifies how your particular facility will prevent the discharge of non-point source pollutants must be developed and revised.

  11. Components of the SWPPP • Facility Map or Diagram - accurately and clearly showing all drainage areas and outfalls; • Identification of all Potential Pollutants throughout the facility; • Explicit delineation of all Pollution Control Strategies a.k.a. Best Management Practices (BMP’s) that address handling of potential pollutants; • Outline of Spill Prevention & Response Practices (SPCC); • Description of an ongoing Employee Training Program; • Documentation of Annual Facility self-Inspection and SWPPP Revision.

  12. Recommendations regarding SWPPP’s • It might be best to incorporate the 6 components of your SWPPP into an Environmental Management Plan • This Environmental Management Plan could be administered by the airport's Authorized Representative / Designated Environmental Manager • However, the cognizant official who signed the NOI is ultimately responsible for the implementation of the SWPPP as well as the ramifications of its effectiveness.

  13. Why are these permits required? • Eliminate the discharge of stormwater pollution to protect the health, safety and welfare of local, state and countrywide citizens and ecosystems; 2. Local, State and Federal regulations require facilities to be in compliance with the provisions of the Clean Water Act, violating facilities may face suspension of activities; 3. Moreover, non-permitted stormwater dischargers may be subject to severe Municipal, State ($10,000 per day / per violation “pdpv”) and Federal ($27,500 pdpv) penalties.

  14. But, Nebraska doesn’t have stormwater pollution problems…

  15. To clear the skies regarding Stormwater… Contact us. Jamie Petersen Administrative Assistant - Stormwater jamie.petersen@ndeq.state.ne.us(402) 471-4220 Michael CriscoProgram Specialist – Storm Watermichael.crisco@ndeq.state.ne.usOffice: (402) 471-2023, Fax; -2909www.deq.state.ne.us

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