October 2009

Industrial Stormwater Permitting

The new stormwater multi-sector general permit, and programs that are working well

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By Carol Brzozowski

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But politics can play a role in advocating for strong programs across the board. Such is the case in California, where Kosco’s company has done a lot of audit and inspection work.

“A lot of cities there have a good industrial program, mainly because the state has pushed them to do that,” he points out.

He agrees that regulatory challenges can be daunting. There are some areas of the country, however, where the inspection process has more teeth.

“Washington State has ticketing authority for its inspectors,” he says. “Usually you have to go through a Notice of Violation in a more formal process, but now they’re allowed to issue $500 to $3,000 tickets when they find a violation at a site. It’s pretty new. It will be interesting to see how that turns out.”

Inspections and enforcement will play a key role going forward, Kosco says.

“A field presence is needed out there,” he says. “We’ve done over 2,000 industrial inspections for California. We did a pilot project of 100 inspections in the Los Angeles area and did re-inspections six months to a year later. We found that the compliance rate on those facilities shot through the roof just because they were inspected and they were reminded of their permit requirements. If there is no field presence, a lot of these guys don’t pay any attention to the requirements. Definitely having a strong presence in the field is necessary.”

Some of the common violations Kosco’s company finds involve failure to update or implement all aspects of a SWPPP.

“They have a plan with all of these BMPs, but they never implement or follow them,” he says. “They may have paid a consultant to develop their SWPPP, and they just put it on a shelf and waited for someone to come tell them what to do. If they’re going to pay someone to put together this plan, they need to implement their plan.”

Poor housekeeping is another common violation.

“If they have good housekeeping practices—even if they’re not fully implementing their SWPPP—they’re usually 99% in compliance,” he notes. “If it’s a messy site, they’re more likely to have all kinds of other problems there, too.”   

What will industrial stormwater programs look like going forward?

The NRC says that reversing the degradation of freshwater resources and ensuring progress toward the Clean Water Act’s goal of “fishable and swimmable waters” can take place only through radical changes in the EPA’s stormwater program. In addition to its recommendations of basing stormwater and wastewater discharge permits on watershed boundaries, the NRC calls for an integrated stormwater and land management approach that focuses more on increased water flow and less on chemical pollutants.

The NRC report points out that heavy snow or rain events in urban areas create concentrated bursts of high water discharges that flow over impervious surfaces and pick up pollutants such as garbage and chemicals, which are ultimately conveyed to nearby water bodies. Additionally, the high water volume—generally not regulated by the EPA—acts to increase streambank erosion and pollute surface water with sediment, the report contends.

The NRC charges that there has been little accountability with regard to stormwater regulations and questionable impact on water quality. A watershed-based permitting system encompassing all stormwater and wastewater discharges could impact waterways in a particular drainage basin,

according to the NRC.

The NRC also suggests that construction and industrial sites be integrated under the jurisdiction of associated municipalities in the absence of adopting watershed-based permitting.  

The NRC report concedes that the regulatory challenges are daunting, with more than 100,000 discrete point-source facilities discharging stormwater, and that federal and state permitting authorities do not have sufficient numbers of personnel to inspect and enforce stormwater regulations.

The NRC points out that land use management is a key factor going forward in stormwater regulatory programs as further land development creates an increase in impervious cover. It suggests that permit programs be predicated on rigorous projections of future growth and changes in impervious cover, or that incentives be offered to decrease the impact of land development.

Greater accountability is needed in monitoring cumulative contributions of multiple sources and pollutants in the same watershed, because most discharges are regulated on an individual basis, the report says.

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The NRC also suggests further stormwater control measures, including conserving natural areas, reducing hard surface cover such as roads and parking lots that channel stormwater into waterways, and retrofitting urban areas with features that hold and treat stormwater.  

The federal government should provide more financial support to state and local efforts to regulate stormwater, the NRC recommends. Although there are five times more stormwater permit holders than wastewater permit holders, funds for the latter are greater than for the stormwater program, according to the NRC.    


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

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