Stormwater Phase II Overview
In response to the 1987 Amendments to the Clean Water Act (CWA), the US Environmental Protection Agency (EPA) developed Phase I of the National Pollutant Discharge Elimination System ( NPDES ) Storm Water Program in 1990. The Phase I program addressed sources of storm water runoff that had the greatest potential to negatively impact water quality. The Department of Environmental Conservation (DEC) is responsible for administering the program in NYS as part of the State Pollutant Discharge Elimination System (SPDES). Under Phase I, SPDES permit coverage was required for storm water discharges from medium and large municipal separate storm sewer systems (MS4s) located in incorporated places or counties, eleven categories of industrial activity and construction activity that disturbed five or more acres of land.
The Phase II Final Rule, published in the Federal Register on December 8, 1999, expanded the stormwater permit program to include stormwater discharges from certain regulated small MS4s and construction activity that disturbs between 1 and 5 acres of land. On January 8, 2003, the DEC finalized two-new permits for stormwater discharges in NYS as required by the Federal EPA; the small MS4 and small construction permits.
The MS4 permit requires regulated municipal MS4s (those with a minimum population density of 1000 people per square mile and are located in urban areas as defined by the U.S. Census Bureau) to develop and fully implement a stormwater management program by 2008. Stormwater management programs must contain appropriate management practices in each of the following minimum control measure categories: Public Education and Outreach; Public Involvement and Participation; Illicit Discharge Detection and Elimination; Construction Site Stormwater Runoff Control; Post-Construction Site Stormwater Runoff Control; and Pollution Prevention for Municipal Employees.
As a first step toward obtaining SPDES permit coverage regulated MS4s were required to submit a Notice of Intent (NOI) form to DEC by March 10, 2003. The NOI required MS4s to provide an initial outline of planned management practices and to identify measurable goals to annually assess progress toward the full implementation of an appropriate stormwater management plan. Although DEC specified a few required actions and provided a list of approved management practices for each minimum control category, regulated MS4s were encouraged to tailor the development of their stormwater management programs to best meet local stormwater problems.
Copies of the permits and fact sheets and applicable forms are available on the DEC website at:
http://www.dec.ny.gov/chemical/8468.html.
These general permits authorize new and existing discharges of stormwater from construction activities and MS4s required to have permits in accordance with Environmental conservation Law.
All permittees currently authorized under each of the General Permits will be notified and such permittees shall be permitted to be authorized under the renewal permits unless otherwise prohibited, and shall be considered authorized without interruption. Applicants seeking new authorizations to discharge will be required to file a Notice of Intent to obtain such authorization.
MS4 Phase II Program Requirements
Automatically designated operators of Municipal Separate Storm Sewer Systems (MS4s) must develop, implement, and enforce a stormwater management program (SWMP) designed to reduce the discharge of pollutants to the maximum extent practicable (MEP). MEP is a technology-based standard established by Congress in the Clean Water Act. Since no precise definition of MEP exists, it allows for maximum flexibility on the part of MS4 operators as they develop their programs.
Minimum Control Measures (MCMs)
SWMPs must include six minimum control measures. For each of these six minimum measures, MS4s must identify measurable goals and implement management practices to achieve those measurable goals. The six minimum measures include:
- Public Education and Outreach
- Public Involvement/Participation
- Illicit discharge Detection and Elimination
- Construction Site Stormwater Runoff Control
- Post-Construction Stormwater Runoff Control
- Pollution Prevention/Good Housekeeping For municipal Operations