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HomeMy WebLinkAboutNCS000246_Draft SWMP_20231018 Draft Stormwater Management Plan City of Fayetteville NCS000246 DocumentDate N * FAYE TT Eli I LLE C AMERICA'S CAN DO CITY Table of Contents PART 1: INTRODUCTION...................................................................................................................1 PART 2: CERTIFICATION....................................................................................................................2 PART 3: MS4 INFORMATION ............................................................................................................3 3.1 Permitted MS4 Area......................................................................................................................3 3.2 Existing MS4 Mapping...................................................................................................................4 3.3 Receiving Waters ..........................................................................................................................4 3.4 MS4 Interconnection ....................................................................................................................5 3.5 Total Maximum Daily Loads (TMDLs) ...........................................................................................6 3.6 Endangered and Threatened Species and Critical Habitat ...........................................................7 3.7 Industrial Facility Discharges.........................................................................................................7 3.8 Non-Stormwater Discharges.......................................................................................................10 3.9 Target Pollutants and Sources ....................................................................................................11 PART 4: STORMWATER MANAGEMENT PROGRAM ADMINISTRATION.............................................14 4.1 Organizational Structure.............................................................................................................14 4.2 Program Funding and Budget.....................................................................................................15 4.3 Shared Responsibility..................................................................................................................15 4.4 Co-Permittees.............................................................................................................................17 4.5 Measurable Goals for Program Administration..........................................................................17 PART 5: PUBLIC EDUCATION AND OUTREACH PROGRAM................................................................19 PART 6: PUBLIC INVOLVEMENT AND PARTICIPATION PROGRAM.....................................................24 PART 7: ILLICIT DISCHARGE DETECTION AND ELIMINATION PROGRAM............................................27 PART 8: CONSTRUCTION SITE RUNOFF CONTROL PROGRAM...........................................................34 PART 9: POST-CONSTRUCTION SITE RUNOFF CONTROL PROGRAM..................................................36 PART 10: POLLUTION PREVENTION AND GOOD HOUSEKEEPING PROGRAMS.....................................44 PART 11: PROGRAM TO MONITOR AND EVALUATE STORMWATER DISCHARGES...............................52 PART 12: WATER QUALITY ASSESSMENT AND MONITORING.............................................................55 List of Tables Table 1: Summary of MS4 Mapping Table 2: Summary of MS4 Receiving Waters Table 3: Summary of Approved TMDLs Table 4: Summary of Federally Listed Species/Habitat Impacted by Surface Water Quality Table 5: NPDES Stormwater Permitted Industrial Facilities Table 6: Non-Stormwater Discharges Table 7: Summary of Target Pollutants and Sources Table 8: Summary of Responsible Parties Table 9: Shared Responsibilities Table 10: Co-Permittee Contact Information Table 11: Program Administration BMPs Table 12: Summary of Target Pollutants &Audiences Table 13: Public Education and Outreach BMPs Table 14: Public Involvement and Participation BMPs Table 15: Illicit Discharge Detection and Elimination BMPs Table 16: Qualifying Alternative Program Components for Construction Site Runoff Control Program Table 17: Construction Site Runoff Control BMPs Table 18: Qualifying Alternative Program(s)for Post-Construction Site Runoff Control Program Table 19: Summary of Existing Post-Construction Program Elements Table 20: Post Construction Site Runoff Control BMPs Table 21: Pollution Prevention and Good Housekeeping BMPs Table 22: Monitor and Evaluate Stormwater Discharges BMPs Table 23:Water Quality Assessment and Monitoring BMPs PART 1: INTRODUCTION The purpose of this Stormwater Management Plan (SWMP) is to establish and define how the City of Fayetteville will comply with its National Pollutant Discharge Elimination System (NPDES) Municipal Separate Storm Sewer System (MS4) Permit and the applicable provisions of the Clean Water Act to meet the federal standard of reducing pollutants in stormwater runoff to the maximum extent practicable. This SWMP identifies the specific elements and minimum measures that the City of Fayetteville will develop, implement, enforce, evaluate and report to comply with the MS4 Permit number NCS000246. The MS4 Permit, issued by the to the North Carolina Department of Environmental Quality(NCDEQ) Division of Energy, Minerals and Land Resources (DEMLR), covers activities associated with the discharge of stormwater from the MS4 as owned and operated by the City of Fayetteville and located within the corporate limits of the City of Fayetteville. In preparing this SWMP,the City of Fayetteville has evaluated its MS4 program and its permit requirements to develop a comprehensive 5-year SWMP that will meet the community's needs, address local water quality issues and provide the minimum measures necessary to comply with the permit. The SWMP will be evaluated and updated annually to ensure that the elements and minimum measures it contains continue to adequately provide for permit compliance and the community's needs. After the SWMP is approved by NCDEQ, all provisions contained and referenced in this SWMP, along with any approved modifications of the SWMP, are incorporated by reference into the permit and become enforceable parts of the permit. Any major changes to the approved SWMP will require resubmittal, review and approval by NCDEQ, and may require a new public comment period depending on the nature of the changes. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 1 PART 2: CERTIFICATION By my signature below I hereby certify,under penalty of law,that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system,or those persons directly responsible for gathering the information,the information submitted is,to the best of my knowledge and belief,true, accurate, and complete. I am aware that there are significant penalties for submitting false information, including the possibility of fines and imprisonment for knowing violations. I am also aware that the contents of this document shall become an enforceable part of the NPDES MS4 Permit, and that both the Division and the Environmental Protection Agency have NPDES MS4 Permit compliance and enforcement authority. ❑ 1 am a ranking elected official. ❑ 1 am a principal executive officer for the permitted MS4. ❑ I am a duly authorized representative for the permitted MS4 and have attached the authorization made in writing by a principal executive officer or ranking elected official which specifies me as(check one): ❑ A specific individual having overall responsibility for stormwater matters. ❑ A specific position having overall responsibility for stormwater matters. Signature: Print Name: Title: Signed this day of 20 DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 2 PART 3: MS4 INFORMATION 3.1 Permitted MS4 Area This SWMP applies throughout the corporate limits of the City of Fayetteville, including all regulated activities associated with the discharge of stormwater from the MS4. The map below shows the corporate limits of City of Fayetteville as of the date of this document. 4 CARVERS CREEK FORT BRAGG BEAVER CREEK I CROSS CREEK CAPE FEAR 1 LITTLE CROSS CREEK ' r � ` �BOHESCREEK LITTLE ROCKFISH CREEK Il 1 BEAVE R CREEK•2 B OUNTSCREfI[ r � t BUCKHEAD CREEK BEAVER CREE K-3 [APE FEAR•2 r STEHWRTS•CREEK L LITTLE ROCKFISH CREEK 2 ROCKFISH CREEK L*yend water$0ftne Slate ©0*a1nage sane Cty or F eyevevtr! Not n C H TDrp of H DAe Y eta To ofSpnngLaAa =4.000 DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 3 3.2 Existing MS4 Mapping The current MS4 mapping includes...narrative description of what is included in existing mapping (e.g. pipes,flow direction, inverts, ditches, inlets, catch basins, manholes, outfalls, sizes, condition, etc. See permit item 3.4.1 for specific requirements). Link to publicly available MS4 GIS map: https://faync.maps.arcgis.com/apps/webappviewer/index.html?id=25cf3adfc9O64ddd831baebac3O549 56. Table 1: Summary of Current MS4 Mapping Percent of MS4 Area Mapped 100% No. of Major Outfalls* Mapped 279 *An outfall is a point where the MS4 discharges from a pipe or other conveyance(e.g. a ditch) directly into surface waters. Major outfalls are required to be mapped to meet permit requirements. A major outfall is a 36-inch diameter pipe or discharge from a drainage area>50-acres; and for industrial zoned areas a 12-inch diameter pipe or a drainage area>2-acres. 3.3 Receiving Waters The City of Fayetteville MS4 is located within the Cape Fear River Basin and discharges directly into receiving waters as listed in Table 2 below. Applicable water quality standards listed below are compiled from the following NCDEQ sources: o Waterbody Classification Map o Impaired Waters and TMDL Map o Most recent NCDEQ Final 303 d List Table 2: Summary of MS4 Receiving Waters Receiving Water Name Stream Index/ Water Quality 303(d) Listed Parameter(s) AU Number Classification of Interest Cape Fear River 18-(26) C - Carvers Creek 18-24 WS-IV, B - UT at Cross Creek POTW 18-27-(3) C Dissolved Oxygen (4 mg/l,AL, FW) Cross Creek 18-27-(1) C Fish Community(Nar,AL, FW) Cross Creek 18-27-(2.5) WS-IV; CA - DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 4 Cross Creek 18-27-(3) Benthos(Nar,AL, FW) Country Club Lake 18-27-2-(1) WS-IV, B - LIT near Rosehill Road 18-27-2-(2) WS-IV - Little Cross Creek 18-27-4-(1) WS-IV Benthos(Nar,AL, FW) Little Cross Creek 18-27-4-(1.5) WS-IV;CA - Blounts Creek 18-27-5 C Fish Community(Nar,AL, FW) Branson Creek 18-27-5-1 C - Locks Creek 18-28 C - Buzzard Branch 18-28-3 C - Pearces Mill Creek 18-30 C - Little Rockfish Creek 18-31-24-(3) B - Little Rockfish Creek 18-31-24-(4) C - Bones Creek 18-31-24-2 C - Beaver Creek 18-31-24-5 C - Persimmon Creek 18-31-24-5-3 C - Stewarts Creek 18-31-24-5-4 C - Buckhead Creek 18-31-24-6 C - Big Sandy Run 18-31-25 C - Locks Creek 18-32 C - 3.4 MS4 Interconnection The City of Fayetteville MS4 is not interconnected with another regulated MS4 and directly discharges to the receiving waters as listed in Table 2 above. The City of Fayetteville MS4 is interconnected with another regulated MS4 and directly receives stormwater from the NameOtherMS4 MS4. The number of interconnections entering the City of Fayetteville MS4 from NameOtherMS4is xx, as determined by[insert narrative explanation of the methodology used to specifically determine or estimate the number of interconnections and any additional work that is planned to define the inter-connecting discharges during the permit term]. The City of Fayetteville MS4 is interconnected with another regulated MS4 and directly discharges stormwater into the Name0therMS4MS4. The number of interconnections leaving the City of Fayetteville MS4 to NameOtherMS4 is xx, as determined by[insert narrative explanation of the methodology used to specifically determine or estimate the number of interconnections and any additional work that is planned to define the inter-connecting discharges during the permit term]. The MS4 does/does not interconnect with the statewide NCDOT MS4 and includes: a. The interconnection is/is not receiving stormwater from the NCDOT MS4. The number of interconnections is known/estimated/unknown. Quantity: ##or N/A b. The interconnection is/is not discharging stormwater into the NCDOT MS4. The number of interconnections is known/estimated/unknown. Quantity: ##or N/A DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 5 c. The City of Fayetteville MS4 mapping does/does not identify interconnections with the NCDOT MS4. d. The City of Fayetteville MS4 mapping does/does not include NCDOT MS4 outfalls. 3.5 Total Maximum Daily Loads(TMDLs) The TMDL(s) listed in Table 3 below have been approved within the MS4 area, as determined by the map and list provided on the NCDEQ Modeling&Assessment Unit web page. The table also indicates whether the approved TMDL has a specific stormwater Waste Load Allocation (WLA)for any watershed directly receiving discharges from the permitted MS4, and whether a Water Quality Recovery Program has been implemented to address the WLA. Table 3: Summary of Approved TMDLs Water Body Name TMDL Pollutant(s)of Concern Stormwater Waste Water Quality Load Allocation Recovery (Y/N) Program (Y/N) Statewide Mercury N N The Statewide TMDL for Mercury does not require any actions by the NPDES stormwater permittees because most mercury in stormwater comes from atmospheric deposition. The Stormwater Division has determined that a Total Maximum Daily Load (TMDL) has not yet been developed and approved or established by NCDEQ(as delegated through EPA)for the receiving waters of the City of Fayetteville's MS4 NPDES stormwater discharge. Therefore, this Permit section is currently not applicable in the City of Fayetteville. The Stormwater Division developed an Impaired Streams Program to monitor streams that have been classified as impaired within the City limits in 2014. In many cases, it is possible that an impaired stream could progress negatively overtime and may have a TMDL assigned to them to improve their water quality. To be proactive, Stormwater has developed this program on a voluntary basis to monitor impaired streams and make necessary adjustments to improve their water quality prior to the potential issuance of a TMDL. This program will allow Stormwater to assess the effect pollutants may have on streams, as well as determine how the streams are impacted by their surrounding environments. Stormwater uses several methods to analyze the health of a stream, such as analytical laboratory sampling,field sampling, and site inspections.The Stormwater Division samples for 20 to 32 parameters at each sample site depending on what related issues are found during the inspection.These methods allow staff to assess both the chemical and biological conditions of a stream. Information obtained through sampling and inspection is then recorded on an Excel Spreadsheet. Using the spreadsheet, staff will be able to analyze the results over time to determine patterns and possible pollution issues within a stream. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 6 The Stormwater Division identified the sample sites based on stream segments that the State has deemed as impaired, along with input from the PWC Watersheds Group,to ensure that there is no duplication of sample sites. From these efforts, 20 sample sites were identified.This program allows Stormwater to understand the characteristics of our impaired streams. Stormwater staff has developed a Standard Operating Procedure (SOP)for inspecting and collecting sampling data from our designated impaired stream segments.The purpose of the document outlines the City's efforts to monitor and reduce pollutants in local streams classified as impaired by NCDEQ.The written document is also highly effective in showing procedural consistency and the process when audited by DENR and EPA. While there are no TMDLs currently assigned to the City,the collected data and a validated process will be great tools and provide historical information to hopefully avoid or at least delay future TMDLs in the local area. 3.6 Endangered and Threatened Species and Critical Habitat Significant populations of threatened or endangered species and/or critical habitat are/are not identified within the regulated MS4 urbanized area. Based upon a review of the Endangered and Threatened Species and Species of Concern by County for North Carolina Map and Listed species believe to or known to occur in North Carolina map as provided by the U.S. Fish and Wildlife Service,the species listed in Table 4 have the potential to occur within the regulated MS4 urbanized area. Of those species listed,Table 4 summarizes the species that may be significantly impacted by the quality of surface waters within their habitat. Table 4: Potential Federally Listed Species/Habitat Impacted by Surface Water Quality Scientific Name Common name Species Group Federal Listing Status 3.7 Industrial Facility Discharges The City of Fayetteville MS4 jurisdictional area includes the following industrial facilities which hold NPDES Industrial Stormwater Permits, as determined from the NCDEQ Maps & Permit Data web page. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 7 690 i • or �Fort Br rqggl .4. '1., .. Bonnie Doc Cli BIG -4�4� 7 4A7 lysi Estates de 210 Rockfish a..r. :: Mil - Grays N � 53 • No Exposure Facilities i • Individual Permit - Facilities 53 • General Permit Facilities Ci Limits Table 5: NPDES Stormwater Permitted Industrial Facilities Permit Number Facility Name Facility Street Address NCG020757 Burney Pit 3039 Gainey Rd NCG020935 Fields Road Mine Intersection Of Fields Road +Grantsboro Rd NCG020978 Gainey Road Mine 3778 Gainey Rd NCG020989 Lacie Mine Claude Lee Rd NCG020995 Vander Mine End Of Gainey Rd NCG030082 Mann+Hummel Purolator Filters NA, LLC 3200 Natal Rd NCG030307 United Tool&Stamping Co of NC Inc. 2817 Enterprise Ave NCG030401 Steel Fab of VA Inc 950 Country Club Dr NCG030489 Eaton Corp-Fayetteville 2900 Doc Bennett Rd NCG030520 Union Corrugating Company 701 S King St NCG050444 American Phoenix Inc. 318 Blount St NCG060047 Fayetteville Plant 1579 Underwood Rd NCG060160 Valley Proteins-Fayetteville Div 1309 Industrial Dr NCG060438 Amazon.com Services LLC- RDU4 6309 Bragg Blvd NCG070073 Oldcastle Precast, Inc. (Fayetteville) 3960 Cedar Creek Rd NCG070137 Fayblock Materials Incorporated 130 Builders Blvd DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 8 NCG080292 Southeastern Freight Line-Fayetteville 669 Snow Hill Rd NCG080310 TForce Freight Fayetteville 531 S Eastern Blvd NCG080712 Fayetteville Area System of Transit(FAST) 455 Grove St Bus Garage NCG080718 Fayetteville Hauling 691 Tom Starling Rd NCG080933 FeclEx Ground-South Fayetteville 880 Technology Dr NCG080942 Milan Rail Yard 918 North St NCG100059 Devore&Cooke Auto Parts Co Inc 1529 Clinton Rd NCG100091 McLamb's Auto Salvage Incorporated 315 Pelt Dr NCG100218 B&B Used Auto Parts&Auto Recyclers 896 Santee Dr NCG100241 Sandhills Pick-N-Pull 555 S King St NCG100251 A-Fox Towing& Recovery 714 Dunn Rd NCG120017 Cumberland Co-Ann St 698 Ann St NCG130064 Sonoco Recycling Fayetteville 3226 Mid Pines Rd NCG140180 Concrete Service-Fayetteville 393 Rankin St NCG140189 S&W Ready Mix Concrete Company LLC 1309 S Reilly Rd NCG140338 Concrete Service Company Inc- 130 Builders Blvd Fayetteville NCG140386 Concrete Service Company 1081 S Reilly Rd NCG150056 Fayetteville Regional Airport 400 Airport Rd NCG160045 Barnhill Contracting Co-Shaw Plant 6050 Murchison Rd NCG160091 Barnhill Contracting Co-Cumberland 936 Shaw Mill Rd NCG200366 OmniSource, LLC-Fayetteville 445 Glidden St NCG200541 Tolar Street LLC 260 Tolar St NCG210363 M W Manufacturers 408 Pine St NCG210459 PacklQ Fayetteville 880 Technology Dr Ste 110 NCG210487 Carpenter Contractors of America Inc 190 Gillis Hill Rd NCG240014 Wilkes Road Yard Waste Facility 771 Wilkes Rd Table 6: NPDES Individually Permitted Industrial Facilities NCS000088 Hexion Inc. 1411 Industrial Dr NCS000246 Fayetteville/Cumb'Id Co-Ms4 433 Hay St NCS000369 Butler/Warner Generation Plant 2274 Custer Ave NCS000389 Cedar Creek Site 3216 Cedar Creek Rd NCS000391 The Goodyear Tire&Rubber Co.-Fayetteville 6650 Ramsey St Plant NCS000534 Clear Path Recycling 3500 Cedar Creek Rd Table 7: NPDES Storm water No Exposure Industrial Facilities Permit Number Facility Name Facility Street Address NCGNE0295 Nitta Gelatin USA, Inc. 4341 Production Dr NCGNE0513 Technimark, LLC 3130 Gillespie St NCGNE0535 Averitt Express Fayetteville Service 2778 Aviation Pkwy Center NCGNE0571 M J Soffe Co. One Soffe Dr NCGNE0613 Fayetteville-Rockfish Creek WRF 2536 Tracy Hall Rd DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 9 NCGNE0744 City of Fayetteville Transfer Station 583 Winslow St NCGNE0820 USPS Fayetteville Vehicle Maintenance 2509 Downing Rd Facility NCGNE0860 NC National Guard Fayetteville Armory 449 E Mtn Dr &FMS#11 NCGNE0904 L-3 Communications 3611 Ramsey St NCGNE0907 L-3 Communications 3611 Ramsey St NCGNE1080 Fayetteville-Cross Creek 601 N Eastern Blvd NCGNE1170 Fed Ex Express FAYA 165 Airport Rd NCGNE1418 Old Dominion Freight Line Inc-FAY 3939 Gillespie St NCGNE1462 The Fayetteville Observer 458 Whitfield St NCGNE1541 Quality Carriers, Inc. -Terminal#170 22828 NC Hwy 87 W 3.8 Non-Stormwater Discharges The water quality impacts of non-stormwater discharges have been evaluated by the City of Fayetteville as summarized in Table 6 below. The unpermitted non-stormwater flows listed as incidental do not significantly impact water quality. The City of Fayetteville has evaluated residential and charity car washing and street washing for possible significant water quality impacts. Street washing discharges are addressed under the Pavement Management Program in Part 10 of this SWMP. The Division has/has not required that other non-stormwater flows be specifically controlled by the City of Fayetteville. [insert brief narrative of any other Division-required non-storm water flows to be addressed and where in the SWMP they are addressed.] Wash water associated with car washing that does not contain detergents or does not discharge directly into the MS4 is considered incidental. However,these types of non-stormwater discharges that do contain detergents have been evaluated by the City of Fayetteville to determine whether they may significantly impact water quality. (insert brief narrative explanation of the determination. If determined to be significant, list as target pollutants/audiences and identify which parts of the SWMP contain measures to address them (e.g. Measures to address these target pollutants are provided in Parts 246 of this SWMP. If not evaluated yet, include BMPs to evaluate and incorporate into the SWMP in the Illicit Discharge Detection and Elimination section of this SWMP.] Table 8: Non-Stormwater Discharges Non-Stormwater Discharge Water Quality Impacts Water line and fire hydrant flushing Incidental Landscape irrigation Incidental Diverted stream flows Incidental Rising groundwater Incidental Uncontaminated groundwater infiltration Incidental Uncontaminated pumped groundwater Incidental Uncontaminated potable water sources Incidental Foundation drains Incidental Air conditioning condensate Incidental Irrigation waters Incidental DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 10 Springs Incidental Water from crawl space pumps Incidental Footing drains Incidental Lawn watering Incidental Residential and charity car washing Possible Flows from riparian habitats and wetlands Incidental Dechlorinated swimming pool discharges Incidental Street wash water Possible Flows from firefighting activities Incidental Splash pad (spray ground)water from potable water Incidental source only 3.9 Target Pollutants and Sources In addition to those target pollutants identified above,the City of Fayetteville is/is not aware of other significant water quality issues within the permitted MS4 area. These include[briefly explain issue/pollutant, likely source and how the MS4 became aware. This might be something like: Based upon multiple citizen complaint investigations, the City of Fayetteville has identified littering from abc school students traversing the xyz greenway to be an ongoing issue, or Based upon the city's Muddy Creek and Trashed Creek Watershed Master Plans,sediment and litter have been identified as pollutants of concern. Sediment is attributed to the rapid development and construction occurring in the Muddy Creek watershed. Litter is a general issue associated with both commercial and residential areas.] The City of Fayetteville has evaluated schools, homeowners and businesses as target audiences that are likely to have significant stormwater impacts.The target audiences for the public education program include those entities that will have significant positive and/or negative impacts on water quality conditions.The audiences selected are listed below along with an explanation as to why they are being targeted for educational outreach. General Public: Homeowners between the ages of 25 and 55 have been selected as a primary target for the educational program due to the significant positive and negative impacts they can have on water quality conditions.This age group represents a significant portion of the residents of the City.This is also the age group that would potentially engage in activities such as dumping oil and other wastes into storm drains, improperly disposing of yard wastes along creek banks, and improperly applying pesticides and herbicides on lawns.This also represents the target group that would be more inclined to report pollution problems observed in streams and lakes and participate in volunteer water quality initiatives. The City receives an average of 1,000 telephone calls annually from the general public to the City's Stormwater Hotline. One of the goals of the outreach program is to increase public awareness regarding water quality problems/concerns and provide information regarding proper reporting requirements for observed pollution problems. Some citizen groups have a greater potential for impacting water quality and will be specifically targeted as described below: DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 11 • Civic/ Environmental Groups—Targeted to become aware of general water quality issues, report pollution problems and participate in a variety of volunteer activities. • Neighborhood/Homeowners Associations—Targeted to become aware of general water quality issues, report pollution problems, and participate in a variety of volunteer activities. • Hispanic Outreach—Targeted for multi-language campaigns to become aware of general water quality issues and proper disposal activities. • Do-It-Yourself Yard Care—Targeted to reduce pesticide and fertilizer use and properly dispose of yard waste. • School Aged Children—Targeted to become aware of general water quality issues, collaborate with public school curriculum, and reach out to parents as well. Commercial: Commercial facilities have been targeted for the educational program due to the significant negative impacts they can have on water quality by potentially improperly handling and disposing of wastes, making illicit connections to the storm drain system, and practicing poor housekeeping at their facilities. Some commercial facilities have a history of water quality problems and will be specifically targeted through mailings, brochures, or presentations including: • Concrete Companies—Targeted for potential illegal dumping of wash water into storm drains. • Lawn Care Companies and Golf Courses—Targeted for potential improper application of fertilizers and herbicides resulting in discharges to surface waters. • Painting/ Home Renovation Companies—Targeted for potential improper handling of paints and other waste materials resulting in discharges to storm drains. • Restaurants—Targeted for potential improper handling of grease and other cooking byproducts resulting in discharges to storm drains. • Carpet Cleaning Companies—Targeted for potential illegal dumping of wastewater into storm drains. • Automotive Repair Facilities—Targeted for potential improper handling of used oil and other waste automotive fluids resulting in discharges to storm drains. Table 9: Summary of Target Pollutants and Sources Target Pollutant(s) Likely Source(s)/Target Audience(s) SWMP Program Addressing Target Pollutant(s)/Audience(s) Litter Residential, commercial,schools Public Education &Outreach, Public Involvement& Participation Yard Waste(leaves and grass Residential,commercial Public Education &Outreach, clippings) Pollution Prevention &Good Housekeeping Sediment Construction Construction Site Runoff Control Nutrients Sewer overflows,failing septic systems, Public Education &Outreach, Illicit urbanization,schools Discharge Detection & Elimination, Construction Site Runoff Control, Post-Construction Site Runoff Control, Pollution Prevention & Good Housekeeping Fecal coliform Sewer overflows,failing septic systems, Public Education &Outreach, Illicit wildlife, illicit discharges Discharge Detection & Elimination DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 12 Mercury Atmospheric deposition Public Education &Outreach (fish consumption advisory) Illicit Discharges Residential,commercial, industrial, Public Education &Outreach, Illicit municipal staff Discharge Detection & Elimination Illegal Dumping Residential,commercial, industrial, Public Education &Outreach, municipal staff Pollution Prevention &Good Housekeeping Improper Waste Disposal Residential,commercial, industrial, Public Education &Outreach, Public municipal staff Involvement& Participation, Pollution Prevention &Good Housekeeping General Non-point Source Residential,commercial,schools, Public Education &Outreach Pollution municipal staff DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 13 PART 4: STORMWATER MANAGEMENT PROGRAM ADMINISTRATION 4.1 Organizational Structure [Provide a brief narrative description of the organizational structure of the City of Fayetteville as it relates to storm water program implementation and permit compliance] (Insert an organization chart that shows responsible positions as listed in Table 81 Table 10: Summary of Responsible Parties SWMP Component Responsible Position Staff Name Department Stormwater Program Stormwater Manager Byron Reeves Public Services Administration SWMP Management Stormwater Manager Byron Reeves Public Services Public Education& Public Information Shauna Haslem Public Services Outreach Specialist Public Involvement& Public Information Shauna Haslem Public Services Participation Specialist Illicit Discharge Detection Stormwater Inspections Nick Baggett Public Services &Elimination Supervisor Construction Site Runoff Control Post-Construction Stormwater Management Pollution Public Services Director Sheila Tomas-Ambat Public Services Prevention/Good Housekeeping for Municipal Operations Municipal Facilities Public Services Director Sheila Tomas-Ambat Public Services Operation & Maintenance Program Spill Response Program Emergency Management Scott Bullard Coordinator MS4 Operation & Public Services Director Sheila Tomas-Ambat Public Services Maintenance Program DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 14 Municipal SCM Operation Public Services Director Sheila Tomas-Ambat Public Services &Maintenance Program Pesticide, Herbicide& Fertilizer Management Program Vehicle& Equipment Cleaning Program Pavement Management Program Total Maximum Daily Load (TMDL) Requirements 4.2 Program Funding and Budget In accordance with the issued permit, the City of Fayetteville shall maintain adequate funding and staffing to implement and manage the provisions of the SWMP and comply with the requirements of the NPDES MS4 Permit. The budget includes the permit administering and compliance fee, which is billed by the Division annually. Residential properties are charged a flat stormwater fee of$72 per year.The stormwater fee for non- residential properties is based on a calculated Equivalent Residential Units (ERU). One ERU is the average amount of impervious area (2,266 ft2)found on a typical single-family residence. In practice,this results in a business paying$72 per 2,266 ft2 of impervious area.These stormwater fees provide the stormwater program with $11,254,367 in revenue each year. [Insert a summary of the fiscal analysis and, if adequate funding is not currently provided, the gap analysis results for funding necessary to implement this SWMP and comply with the MS4 Permit. Do not attach the full fiscal analysis or gap analysis, the Division will specifically request these documents if they are needed]. [If the gap analysis indicates that additional funding is needed to implement the SWMP and comply with the MS4 Permit, then enter the primary steps that will be taken to fully fund the total annual stormwater program budget in Table 11:Program Administration BMPs]. 4.3 Shared Responsibility The City of Fayetteville will share the responsibility of implementing the following Minimum Control Measures (MCMs),which are at least as stringent as the corresponding NPDES MS4 Permit requirement. The City of Fayetteville remains responsible for compliance if the other entity fails to perform the permit DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 15 obligation and may be subject to enforcement action if neither the City of Fayetteville nor the other entity fully performs the permit obligation. Table 9 below summarizes who will implement the component, what the component program is called,the specific SWMP BMP or permit requirement that is being met by the shared responsibility, and whether a legal agreement to share responsibility is in place. (Do not list Qualifying Alternative Programs here; those are listed in Tables 16 and 18. This section is for contractual and inter-local agreements to implement specific permit elements on behalf of the permitted MS4. Example entries: SWMP BMP or Legal Implementing Entity& Program Name Agreement Permit Requirement (Y/N) Permit Section 3.2 Great Partner COG Stormwater Education Cooperative Y BMP No. 37 Big County Post Construction Program Y Table 11: Shared Responsibilities SWMP BMP or Legal Permit Requirement Implementing Entity& Program Name Agreement (Y/N) DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 16 4.4 Co-Permittees The are no other entities applying for co-permittee status under the NPDES MS4 permit number NCS000246 for the City of Fayetteville. Table 10 summarizes contact information for each co-permittee. Table 12: Co-Permittee Contact Information Co-Permittee MS4 Name Contact Person Phone& E-Mail Interlocal Agreement (Y/N) N/A 4.5 Measurable Goals for Program Administration The City of Fayetteville will manage and report the following Best Management Practices (BMPs) for the administration of the Stormwater Management Program. Table 13: Program Administration BMPs Permit 2.1.2 Program Implementation Ref. Measures to evaluate the performance and effectiveness of the SWMP program components at least annually. Results shall be used by the permittee to modify the program components as necessary to accomplish the intent of the Stormwater Program. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #1. Annual Self-Assessment Evaluate the performance and 1.Prepare, conduct and 1.Annually 1.Yes/No effectiveness of the program components document an annual Permit Years 1—5 at least annually. Results shall be used to evaluation of the program modify the program components as components. necessary to accomplish the intent of the Stormwater Program. Permit 1.6: Permit Renewal Application Ref. Measures to submit a permit renewal application no later than 180 days prior to the expiration date of the NPDES MS4 permit. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #2. Permit Renewal Application DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 17 Table 13: Program Administration BMPs Submit a permit renewal application and 1. Draft SWMP applicable to 1. Permit Year 5 1.Yes/No Draft SWMP no later than 180 prior to the proceeding 5 years permit expiration. following permit re-issuance. 2.Certify the stormwater 2. Permit Year 5 2. Date of permit permit renewal application renewal (Permit renewal application application form and Draft SWMP for the submittal next 5-year permit cycle)and submit to NCDEQ at least 180 days prior to permit expiration. Permit 2.1.1: Adequate Funding and Staffing Ref. Measures to maintain adequate funding and staffing to implement and manage the provision of the SWMP and meet all requirements of this permit. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #3. Maintain adequate funding Perform a fiscal analysis and determine if 1. Maintain stormwater utility 1.Annually 1.Amount of current funding mechanism is adequate to fees funding meet program needs. generated from stormwater utility fees 2.Complete a fiscal analysis 2. Permit year X 2.Yes/No/Partial 3. 3. 3. 4. 4. 4. 5. 5. 5. #4. Maintain adequate staffing Perform a staffing analysis and determine if 1. Maintain adequate staffing 1.Annually 1. No.of FTE's an adequate number of FTEs are dedicated dedicated to MS4 to MS4 requirements. requirements 2.Complete staffing analysis 2. Permit year X 2.Yes/No/Partial 3. 3. 3. 4. 4. 4. 5. 5. 5. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 18 PART 5: PUBLIC EDUCATION AND OUTREACH PROGRAM The City of Fayetteville will implement a Public Education and Outreach Program to distribute educational materials to the community or conduct equivalent outreach activities about the impacts of storm water discharges on water bodies and steps the public can take to reduce pollutants in storm water runoff. The target audiences and identified pollutants listed in Part 3.9 of this SWMP, which will be addressed by the Public Education and Outreach Program, are summarized in Table 12 below. In addition,the City of Fayetteville is required to inform businesses and the general public of the hazards associated with illicit discharges, illegal dumping and improper disposal of waste. The City maintains an informational website to assist in Public Education and Outreach.This website explains why stormwater management is vital to ensure pollutants do not contaminate the environment, provides contacts for public events, hands-on pollution demonstrations, and public involvement opportunities.The informational website can be found here: https://www.fayetteviIIenc.gov/city-services/public-services/engineering/stormwater/stormwater- public-education-and-involvement. Table 14: Summary of Target Pollutants&Audiences Target Pollutants Sources Target Audience(s) Poor housekeeping Poor housekeeping can result in the discharge of . General public petroleum products, miscellaneous chemicals,and other . Commercial wastes to the storm drain system and surface waters.This is usually a problem at commercial and industrial facilities. Yard waste Improper application, handling,and storage of lawn care . Neighborhood/ products can result in the discharge of pollutants to the homeowners storm drain system including fertilizers and herbicides. associations Improper disposal of grass clippings and leaves can • Do-it-yourself yard care negatively impact water quality by producing increased • Lawn care companies BOD and decreased DO levels in streams.Significant . Golf courses residential development exists in the City of Fayetteville with the potential for negative water quality impacts associated with improper lawn care activities. Sediment Poor erosion control at construction sites results in • General public sediment discharges to the storm drainage system.Also, . Commercial excessive volumes of stormwater runoff cause scouring of the creek banks resulting in sedimentation of the streams. Improper waste disposal Improper disposal can result in the discharge of a variety . General public of pollutants to the storm drainage system.This can be a . Commercial problem at construction sites where paint and other construction wastes are generated and in established commercial and residential areas where used oil,grease, animal waste,carpet cleaning wastes,and a variety of other pollutants can be a problem. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 19 The City has developed and implemented a Public Education and Outreach Program to distribute educational materials to the community and conduct outreach activities focused on the impacts of stormwater discharges on water bodies.The program also provides information on the steps that the public can take to reduce these impacts and protect water quality conditions. The City of Fayetteville will manage, implement and report the following public education and outreach BMPs. Table 1S: Public Education and Outreach BMPs Permit 3.2.2 and 3.2.4: Outreach to Targeted Audiences Ref. Measures to identify the specific elements and implementation of a Public Education and Outreach Program to share educational materials to the community or conduct equivalent outreach activities about the impacts of stormwater discharges on water bodies and how the public can reduce pollutants in stormwater runoff. The permittee shall provide educational information to identified target audiences on pollutants/sources identified in table 12 above and shall document the extent of exposure of each media, event or activity, including those elements implemented locally or through a cooperative agreement. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #S. Newspaper Articles/Inserts Press releases will be issued regularly throughout 1. Issue X press releases 1.Annually 1. No.of stormwater the Permit period to trigger newspaper articles about stormwater topics topic press releases about topics such as public events,workshops, 2. Issue a press release 2.Annually 2. No.of stormwater proper yard waste,animal waste and grease for each stormwater event press releases disposal, project completion,and other topics. event 3.Trigger a newspaper 3.Annually 3. No.of newspaper article for each press articles per press release release 4. 4. 4. �5. 5. 5. #6. Coordination with PWC Periodically throughout the Permit period,the 1. Coordinate X PWC 1.Annually 1. No.of PWC Stormwater Program will coordinate advertising written adverts on written adverts. with PWC addressing water quality and stormwater topics stormwater runoff in various publications 2. Coordinate X PWC 2.Annually 2. No.of PWC produced by the Public Works Commission and is broadcast adverts on broadcast adverts. 70,000 customers.Advertising may take the form stormwater topics of an advertisement placed in the Storm Prep 3. 3. 3. Guide,guest appearances on various PWC radio and TV programs,and podcasts,and monthly 4. 4. 4. billing newsletters. 5. 5. 5. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 20 Table 15: Public Education and Outreach BMPs #7. Community Events Each year throughout the Permit period,staff 1. Ensure staff 1.Annually 1. No.of community will regularly participate in community events participate in X events staff such as the Fayetteville Dogwood Festival and community events. participate in community awareness events by having booth 2. Distribute X number 2.Annually 2. No.of information space and distributing information and of information and and promotional promotional items. promotional items. items distributed 3. 3. 3. 4. 4. 4. 5. 5. 5. #8. Public Educational Presentations Educational presentations will be given 1. Conduct X water 1.Annually 1. No.of water beginning in the first year of the permit targeted quality presentation. quality presentations at the general public, interest groups, businesses conducted and industrial facilities.These presentations will 2. Promote volunteer 2.Annually 2. No.of new be made regularly throughout each of the permit activities. volunteers years.The presentations will focus on the efforts 3. 3. 3. necessary to protect water quality and the promotion of volunteer activities. 4. 4. 4. 5. 5. 5. #9. Classroom Outreach Each year throughout the Permit period, 1. Conduct X 1.Annually 1. No.of school classroom presentations will be made to all presentations/ children grades from prekindergarten through high school demonstrations geared presentations/ utilizing educational outreach materials. towards school children demonstrations Presentations will also be made at the local conducted colleges(Fayetteville State University and 2. Conduct X 2.Annually 2. No.of high school Methodist University)on certain occasions. presentations/ presentation/ demonstrations geared demonstrations towards high schoolers conducted 3. Conduct X 3.Annually 3. No.of college presentations presentation/ demonstrations geared demonstrations towards college conducted students 4. 4. 4. 5. 5. 5. #10. Promotional Items DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 21 Table 15: Public Education and Outreach BMPs Promotional items will be designed and 1. Distribute X 1.Annually 1. No.of educational distributed to complement outreach activities educational materials at materials distributed such as group presentations,workshops,and public events, at public events, public events. Promotional items will include, but workshops,and workshops,and are not limited to, messages with the hotline presentations presentations. number to report pollution and the Stormwater 2. Design X new public 2. Permit Year 1 2. No.of newly Division internet address. educational materials designed public education materials 3. 3. 3. 4. 4. 4. 5. 5. 5. #11. Partnership with Clean Water Education Partnership The City will maintain a partnership with the 1. Maintain a 1.Annually 1.Yes/No/Partial Clean Water Education Partnership(CWEP). partnership with the CWEP is a statewide cooperative that assists Clean Water Education communities large and small with educational Partnership efforts through providing direct education 2. 2. 2. opportunities, mass media services such as television and radio ads,social media and 3. 3. 3. website content,as well as print publications for 4. 4. 4. both English and Spanish speaking audiences. 5. 5. 5. #12. Social Media Social media has become an important way to 1. Generate X social 1.Annually 1. No.of social media provide information and engage with audiences media posts per year posts in a variety of subjects.The City uses a variety of 2. Maintain social media 2.Annually 2. No.of social media social media platforms to educate citizens and accounts on X social platforms provide program information. media platforms. 3. 3. 3. 4. 4. 4. 5. 5. 5. Permit 2.1.7,3.2.3 and 3.6.5(c): Web Site Ref. Measures to provide a web site designed to convey the program's message(s)and provide online materials including ordinances,or other regulatory mechanisms, or a list identifying the ordinances or other regulatory mechanisms, providing the legal authority necessary to implement and enforce the requirements of the permit and SWMP. The web page shall also provide developers with all relevant post-construction requirements, design standards,checklists and/or other materials. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #13. Informational Website DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 22 Table 15: Public Education and Outreach BMPs A website will continue to be developed and 1. Continue to maintain 1.Annually 1.Yes/No/Partial directed the public and commercial and an informational industrial entities. Specific information will be website to provide provided on these web pages directed at the program information to pollution sources discussed in Table 12 above. the public 2. 2. 2. 3. 3. 3. 4. 4. 4. r5-. 5. 5. Permit 3.2.5: Stormwater Hotline Ref. Measures for a Stormwater hotline/helpline for the purpose of public education and outreach. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #14. Hotline/Helpline The Stormwater Hotline, initiated in 1995 as an 1. Maintain the 1.Annually 1. No.of Hotline integral part of the Stormwater program, is a Stormwater Hotline inquires source of information and direction,and 2. Respond to citizen 2.Annually 2. No.of citizen continues to be the primary means for the public concerns reported via requests for service to communicate incidents, complaints and the Stormwater Hotline requested suggestions on a 24/7 basis. 3. 3. 3. 4. 4. 4. 5. 5. 5. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 23 PART 6: PUBLIC INVOLVEMENT AND PARTICIPATION PROGRAM This SWMP identifies the minimum elements and implementation of a Public Involvement and Participation Program that complies with applicable State,Tribal and local public notice requirements. The City of Fayetteville will manage, implement and report the following public involvement and participation BMPs. Table 16: Public Involvement and Participation BMPs Permit 3.3.1: Public Input Ref. Mechanisms for public involvement that provide for input on stormwater issues and the stormwater program. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #15. Establish a mechanism for public involvement The City established the Stormwater Advisory 1. Maintain the 1.Annually 1.Yes/No/Partial Board (SWAB) in July 2009.The SWAB meets Stormwater Advisory regularly to discuss issues important to the Board Stormwater Program such as amending the 2. 2. 2. Stormwater Ordinance, reviewing Capital Improvement Needs,and reviewing the 3. 3. 3. Stormwater Budget.Additionally,the SWAB has 4. 4. 4. the powers and duty in matters relating to the administrative review of any orders or decisions 5. 5. 5. made by the Stormwater Manager.The SWAB provides useful feedback and is an important asset to the Stormwater Program. #16. Public review and comment Following the development of a Stormwater Plan, 1. Provide copies of 1. Permit year 1 1.Yes/No/Partial copies will be made available to the public for draft Stormwater Plan review and comment. Hard copies will be for public review and available for public review at City Hall as well as a comment digital copy will be posted on the Stormwater 2.Advise the SWAB on 2. Permit years 2- 2.Yes/No/Partial Division website.The SWAB will also review the program issues as 5 Stormwater Plan.Additionally, presentations and necessary updates will be made to the SWAB as needed to 3. 3. 3. update and involve the public in the ongoing development and implementation of the 4. 4. 4. program. 5. 5. 5. #17. Public notice DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 24 Table 16: Public Involvement and Participation BMPs All regular meetings,special meetings, and 1. Provide public notices 1.Annually 1.Yes/No/Partial hearings of the Stormwater Advisory Board are for all SWAB meetings as filed in accordance with the North Carolina Open well as other meetings Meetings Law. Notices of meetings are posted in a as necessary central location in City Hall, as well as posted on 2. 2. 2. the City's website.All records,files, and accounts are considered public records as provided in the 3. 3. 3. North Carolina General Statutes. 4. 4. 4. 5. 5. 5. #18. Public Survey Each year,the City invites citizens to complete a 1. Distribute survey to 1.Annually 1. No.of survey survey.This survey is distributed via [insert] and citizens responses covers topics such as [insert].The results from this 2.Analyze survey results 2.Annually 2.Yes/No/Partial survey are used to [insert]. to gauge where citizen concerns are concentrated 3. 3. 3. 4. 4. 4. 5. 5. 5. Permit 3.3.2: Volunteer Opportunities Ref. Measures to provide volunteer opportunities designed to promote ongoing citizen participation. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #19. Volunteer community involvement program The City of Fayetteville through the Parks and 1. Continue to support 1.Annually 1. No. of streets Recreation Department coordinates two Adopt-A-Street adopted by programs,Adopt-A-Street and Adopt-A-Site,to volunteers provide trash and litter pickup along streets and 2. Continue to support 2.Annually 2. No. of sites sites that have been adopted by volunteer groups. Adopt-A-Site adopted by The groups volunteer to clean these areas several volunteers times a year.The City provides trash bags along 3. 3. 3. with a list of safety procedures to be followed during the cleanup. 4. 4. 4. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 25 Table 16: Public Involvement and Participation BMPs The groups report their activities back to the City, 5. 5. 5. and the City picks up the full trash bags for proper disposal.These groups provide a valuable service toward the improvement of water quality by picking up and properly disposing of trash and litter that could otherwise be discharged to the City's storm drainage system during the next rain event. #20. Partnership with Fayetteville Beautiful The Stormwater Division partners with 1. Maintain partnership 1.Annually 1.Yes/No/Partial Fayetteville Beautiful,a local affiliation of Keep with Fayetteville America Beautiful. Fayetteville Beautiful is Beautiful responsible for citywide clean ups to include, but 2.Support X citywide 2.Annually 2. No.of citywide not limited to, litter and debris removal,stream clean ups each year clean ups cleanup,etc. Fayetteville Beautiful strives to keep 3. 3. 3. the City clean,and to educate the public about the importance of putting litter in its proper place, 4. 4. 4. thus keeping it out of local rivers and streams. 5. 5. 5. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 26 PART 7: ILLICIT DISCHARGE DETECTION AND ELIMINATION PROGRAM The City maintains a proactive Illicit Discharge Detection and Elimination Program that has developed out of the implementation of the NPDES stormwater permit program.The program centers on the identification of water quality problem areas and the initiation of standardized follow-up field screening activities designed to identify and eliminate pollution sources and restore water quality conditions. Some of the integral components of this program are as follows: • Responding to citizen requests for service concerning water quality problems • Administration and enforcement of the City's stormwater pollution control ordinance • Identification and mapping of stormwater outfalls that discharge to Waters of the State • Creek Cleaning and Dry Weather Flow screening • Train employees about illicit discharges and how to prevent and report them • Maintain a public reporting mechanism • Coordination with other local government agencies to identify and eliminate failed septic systems and sanitary sewer overflows The City of Fayetteville will develop, manage, implement, document, report and enforce an Illicit Discharge Detection and Elimination Program which shall, at a minimum, include the following illicit discharge detection and elimination BMPs. Table 17: Illicit Discharge Detection and Elimination l3MPs Permit 3.4.1: MS4 Map Ref. Measures to develop, update and maintain a municipal storm sewer system map including stormwater conveyances, flow direction, major outfalls and waters of the United States receiving stormwater discharges. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #21. Maintain a Storm Sewer System Base Map Maintain a current map showing major outfalls and 1.Continue to maintain 1.Annually 1.Yes/No/Partial receiving streams. storm sewer map in GIS 2. Update sewer map as 2.Annually 2.Yes/No/Partial necessary with additional outfalls 3. 3. 3. 4. 4. 4. 5. 5. 5. #22. Stormwater System Inventory The City has previously inventoried the stormwater 1.Continue to maintain a 1.Annually 1.Yes/No/Partial system that is considered part of the public system. stormwater system The parts of the stormwater system that originate inventory in GIS DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 27 Table 17: Illicit Discharge Detection and Elimination BMPs on private property are not part of the inventory. 2. Update stormwater 2.Annually 2.Yes/No/Partial The inventory is updated through as-builts that are system inventory with submitted to the City at project completion. additional devices During the inventory, lists of water quality 3. 3. 3. concerns,sediment, and maintenance needs for each of the watersheds were generated.The 4. 4. 4. stormwater system inventory was instrumental in 5. 5. 5. identifying outfalls to Waters of the State that need to be monitored as part of the field screening process. Permit 3.4.2: Regulatory Mechanism Ref. Measures to provide an IDDE ordinance or other regulatory mechanism that provides legal authority to prohibit,detect, and eliminate illicit connections and discharges, illegal dumping and spills into the MS4, including enforcement procedures and actions. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #23. Maintain appropriate legal authorities Maintain adequate ordinances or other legal 1.Continue 1.Annually 1.Yes/No/Partial authorities to prohibit illicit connections and administration and discharges and enforce the approved IDDE enforcement of the Illicit Program. Connections and Improper Disposal Ordinance. 2. Review ordinance 2. Permit year 1 2.Yes/No/Partial and propose updates as necessary. 3. 3. 3. 4. 4. 4. 5. 5. 5. #23. Ordinance Administration and Enforcement Article II. Illicit Connections and Improper Disposal 1. Issue an NOV to 1.Annually 1. No.of Notice of of Chapter 23 Stormwater Management became entities that are not in Violations(NOVs) effective in the City in July 2009.The Ordinance compliance with Article II, issued. makes it illegal to place,deposit,or discharge Chapter 23. anything except for stormwater runoff into the 2.Collect penalties from 2.Annually 2. No.+amount storm drainage system.The Ordinance provides entities that are not in of penalties City staff with a right-of-entry to private property compliance with Article II, issued. including buildings for enforcement actions.There Chapter 23. is also a Schedule of Civil Penalties,that details the 3. 3. 3. fines and penalties associated with ordinance violations.The Ordinance is available to the public 4. 4. 4. online through the City's Stormwater website. 5. 5. 5. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 28 Table 17: Illicit Discharge Detection and Elimination BMPs Permit 3.4.3: IDDE Plan Ref. Measures to maintain and implement a written IDDE Plan to detect and address illicit discharges, illegal dumping and any non-stormwater discharges identified as significant contributors of pollutants to the MS4. The plan shall provide standard procedures and documentation to: a) Locate priority areas likely to have illicit discharges, b) Conduct routine dry weather outfall inspections, c) Identify illicit discharges and trace sources, d) Eliminate the source(s)of an illicit discharge,and e) Evaluate and assess the IDDE Program. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #24. Inspection/detection program to detect dry weather flows at MS4 outfalls Maintain written procedures and/or Standard 1. Implement the 1.Annually 1.Yes/No/Partial Operating Procedures(SOPS)for detecting and established IDDE tracing the sources of illicit discharges and for program. removing the sources or reporting the sources to 2. Review the IDDE 2. Permit year X 2.Yes/No/Partial the State to be properly permitted.Written program SOPS procedures and/or SOPS shall specify a timeframe 3. 3. 3. for monitoring and how many outfalls and the areas that are to be targeted for inspections. 4. 4. 4. 5. 5. 5. #25. Outfall Inspections The City has identified approximately 279 outfalls 1.Screen all identified 1.Annually 1. No.of that are 36 inches or greater to Waters of the State outfalls for dry weather inspections and has completed an initial dry weather screening flows conducted of all the major outfalls.The City will continue to 2. Record any water 2.Annually 2. No.of monitor dry weather flows at the major outfalls quality issues discovered problems and at other locations throughout the stormwater discovered system as they are identified. If dry weather flows 3. 3. 3. are observed,samples will be collected to determine if the flow is a pollution source and 4. 4. 4. immediate follow-up field screening activities will 5. 5. 5. be initiated when needed to identify and eliminate nnllutinn rnurcas_ #26. Water Quality Monitoring Water quality monitoring is conducted for the 1. Review water quality 1.Annually 1. No.of purpose of identifying illicit connections and monitoring data identified priority discharges,determining general water quality areas conditions,and targeting water quality problem 2.Track long&short 2.Annually 2.Yes/No/Partial areas for additional follow-up actions. IDDE term water quality trends monitoring includes ambient and fixed interval 3. 3. 3. stream monitoring activities aimed at improving capabilities for identifying and eliminating pollution 4. 4. 4. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 29 Table 17: Illicit Discharge Detection and Elimination BMPs problems c.. 5. 5. 5. quality trends. #27. Industrial/Commercial Facility Inspections Industrial/commercial facilities are identified as a 1. Inspect X number of 1.Annually 1. No.of potential source of illicit connections and industrial/commercial inspections discharges to City streams.An inspection program facilities each year conducted. for industrial/commercial facilities was 2. Record and report any 2.Annually 2. No.of implemented as a component of the initial NPDES issues discovered during problems permit program to identify and eliminate pollution industrial/commercial discovered. sources.These activities continue as part of the inspections NPDES permit program and the Stormwater Plan. 3. 3. 3. 4. 4. 4. 5. 5. 5. #28. Sanitary Sewer Extension Properties in Cumberland County that are primarily 1.Annex properties with 1.Annually 1. No.of on septic tank will continue to be annexed into the septic systems into the properties City of Fayetteville.As a result,these properties City annexed will be converted over time to the sanitary sewer. 2.Convert recently 2.Annually 2. No.of Thus,the proliferation of septic tanks in the annexed properties with properties urbanized area will continue to be reduced. septic systems to sanitary converted from Accordingly,this will reduce the circumstances sewer septic to sanitary where septic tanks fail and in turn impact the local sewer water quality. 3. 3. 3. 4. 4. 4. 5. 5. 5. Permit 3.4.4: IDDE Tracking Ref. Measures for tracking and documenting the dates)an illicit discharge, illicit connection or illegal dumping was observed, the results of the investigation,any follow-up of the investigation,the date the investigation was closed,the issuance of enforcement actions, and the ability to identify chronic violators. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #29. Documentation The City maintains electronic and hard copy files as 1. Maintain IDDE program 1.Annually 1.Yes/No/Partial necessary to document activities conducted under records and databases to the Illicit Discharge Detection and Elimination accurately document the activities in the program. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 30 Table 17: Illicit Discharge Detection and Elimination BMPs Program, including service requests, investigations 2. Document the date of 2.Annually 2.Yes/No/Partial and enforcement actions. Investigation,any enforcement action(s)or remediation that occurred. 3. 3. 3. 4. 4. 4. 5. 5. 5. Permit 3.4.5: Staff IDDE Training Ref. Measures to provide training for municipal staff and contractors who,as part of their normal job responsibilities, may observe an illicit discharge, illicit connection, illegal dumping or spills. Training shall include how to identify and report illicit discharges, illicit connections, illegal dumping and spills. Each staff training event shall be documented, including the agenda/materials, date,and number of staff participating. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #30. Employee&Contractor training Target City employee groups and contractors will 1. Update training 1.Annually 1. Yes/No/Partial be educated about common illicit discharges, procedures as necessary. associated environmental and health hazards, 2.Conduct employee& 2.Annually 2. No.of pollution prevention practices, problem reporting contractor refresher employees and methods and the requirements of the Illicit training. contractors given Connections and Improper Disposal Ordinance. refresher training Various education methods will be used as 3.Generate X IDDE 3.Annually 3. No.of IDDE appropriate for the target groups, including online articles for the employee articles in training tools,distribution of written literature, newsletters employee participation in employee events,articles in newsletters employee newsletters,and referrals to information 4.Conduct IDDE field 4.Annually 4. No.of IDDE on the Stormwater website,group presentations, visits for employees& field visits field visits,and facility inspections. contractors 5. Distribute IDDE 5.Annually 5. No.of each literature to employees& type of IDDE contractors literature distributed #31. IDDE Training Documentation The City maintains a repository of IDDE training 1. Maintain IDDE training 1.Annually 1.Yes/No/Partial materials for use in IDDE education of employees material repository and contractors.The City also records and 2. Retain IDDE training 2.Annually 2.Yes/No/Partial documents training materials used and number of documentation attendees for all IDDE training sessions. 3. 3. 3. 4. 4. 4. 5. 5. 5. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 31 Table 17: Illicit Discharge Detection and Elimination BMPs Permit 3.4.6: IDDE Reporting Ref. Measures for the public and staff to report illicit discharges, illegal dumping and spills.The mechanism shall be publicized to facilitate reporting and shall be managed to provide rapid response by appropriately trained personnel. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #32. Maintain a public reporting mechanism Establish and publicize reporting mechanism for 1. Maintain a hotline that 1. Annually 1. Yes/No/Partial the public to report illicit connections and receives information from discharges. Establish citizen request response the public 24 hours a day. procedures. All reported pollution problems will be 2. Respond to citizen 2.Annually 2. No.of citizen recorded as a "citizen request for service"and IDDE reporting via requests for immediately assigned to staff for initiation of hotline. services fulfilled necessary follow-up actions to identify and 3. 3. 3. eliminate pollution sources. 4. 4. 4. 5. 5. 5. #33. Public Outreach/Involvement Reporting by the general public is one of the best 1. Provide IDDE training 1.Annually 1. No.of citizens tools for detecting illicit connections and materials to citizens provided training discharges.The City will focus its public outreach 2. 2. 2. campaign, in part,on informing the public of what to look for in the detection of illicit connections 3. 3. 3. and discharges and the proper reporting process 4. 4. 4. for suspected pollution problems. 5. 5. 5. #34. Coordination with Fayetteville Public Works Commission (PWC) The Stormwater Division and PWC will continue to 1.Continue to work 1.Annually 1.Yes/No/Partial workjointly on promoting water quality issues jointly with PWC on through their public relations programs.The public relations Stormwater Division forwards potential sanitary 2. Maintain open 2.Annually 2.Yes/No/Partial sewer leaks to PWC upon discovery and PWC alerts communication with PWC the Stormwater Division anytime there is a sanitary about sanitary sewer sewer overflow that would potentially impact the issues that could affect water quality. In this way,there is open water quality communication and continuous dialogue between 3. 3. 3. these two agencies. 4. 4. 4. 5. 5. 5. #35. Coordination with County Health Department DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 32 Table 17: Illicit Discharge Detection and Elimination BMPs Stormwater will continue to forward discoveries of 1. Maintain open 1.Annually 1.Yes/No/Partial failing and potentially failing septic tanks to the communication with Cumberland County Health Department and works County Health with their personnel as needed to resolve the Department matter.Additionally,the Stormwater Division will 2. Report failing septic 2.Annually 2. No.of reported coordinate with the County Health Department to tanks to the County septic tanks resolve issues of stagnant water and mosquito Health Department problems. 3.Address stagnant water 3.Annually 3. No.of and mosquito problems problems reported by the County addressed Health Department 4. 4. 4. 5. 5. 5. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 33 PART 8: CONSTRUCTION SITE RUNOFF CONTROL PROGRAM In accordance with 15A NCAC 02H .0153, the City of Fayetteville relies upon the North Carolina Sedimentation Pollution Control Act (SPCA) of 1973 as a qualifying alternative program to meet a portion of the NPDES MS4 Permit requirements for construction site runoff control measures. The SPCA requirements include reducing pollutants in stormwater runoff from construction activities that result in land disturbance of greater than or equal to one acre and includes any construction activity that is part of a larger common plan of development that would disturb one acre or more. The state SPCA Program is either delegated to a city/town, delegated to a county, or implemented by NCDEQ in non-delegated areas. Even though the City's existing Construction Site Runoff program is handled by the local office of the NCDEQ Land Quality Section,the City continues to aggressively inspect construction sites that are brought to their attention through complaints or other sources.The City developed a standard operating procedure (SOP)that provides a step by step outline as to how perform the inspection and any needed follow-up.These activities are fully coordinated with NCDEQ Land Quality Section.There continues to be an excellent working relationship between the City and NCDEQ to address all problems associated with construction sites. Additionally,the above referenced program by NCDEQ's Land Quality Section regulates construction sites that are one (1) acre and larger. The City considers smaller sites as potentially discharging sediment and performs inspections and pursues enforcement measures through our local Ordinance or referral to NCDEQ when needed. Table 18: Qualifying Alternative Program Components for Construction Site Runoff Control Program Permit Reference State or Local Program Name Legal Authority Implementing Entity 3.5.1-3.5.4 State Implemented SPCA 15A NCAC Chapter 04 NCDEQ Program The City of Fayetteville also implements the following BMPs to meet NPDES MS4 Permit requirements. Table 19: Construction Site Runoff Control BMPs Permit 3.5.6: Public Input Ref. Measures to provide and promote a means for the public to notify the appropriate authorities of observed erosion and sedimentation problems. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #36. Municipal Staff Training DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 34 Table 19: Construction Site Runoff Control BMPs Train municipal staff who receive calls from the 1.Train municipal 1.Annually 1. Number of staff public on the protocols for referral and tracking of staff on proper trained construction site runoff control complaints. handling of construction site runoff control -complaints. 2. 2. 2. 3. 3. 3. 4. 4. 4. 5. 5. 5. #37. Stormwater Hotline See BMP No.X 1.See BMP No. X 1.See BMP No.X 1.See BMP No.X 2. 2. 2. 3. 3. 3. 4. 4. 4. 5. 5. 5. Permit 3.5.5: Waste Management Ref. Measures to require construction site operators to control waste such as discarded building materials,concrete truck washout,chemicals, litter,and sanitary waste at the construction site that may cause adverse impact to water quality. BMP A B C D No• Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric I #38. BMP Title 2. 2. 2. 3. 3. 3. 4. 4. 4. #39. BMP Title 2. 2. 2. 3. 3. 3. 4. 4. 4. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 35 PART 9: POST-CONSTRUCTION SITE RUNOFF CONTROL PROGRAM The City has worked to develop and implement a program to manage post-construction stormwater discharges to the MS4 in accordance with the NPDES requirements contained in 15A NCAC 2H .0126(9). The goal of this program is to address water quality impacts from post-construction stormwater discharges through the use of a combination of structural and non- structural stormwater control measures (SCMs) as appropriate.The program has included the development, implementation, and enforcement of an ordinance to address stormwater runoff from new development and re-development projects that disturb one acre or more, including projects less than one acre that are part of a larger common plan of development or sale that discharge to the MS4.The ordinance assigns responsibility for the development and implementation of long-term operation and maintenance practices for required SCMs. The following sections explain the BMPs to be implemented to meet this requirement. Table 20: Qualifying Alternative Program(s)for Post-Construction Site Runoff Control Program State QAP Name State Requirements Local Ordinance/Regulatory Mechanism Reference Water Supply Watershed (WS-IV) 15A NCAC 213 Municipal Code, Part II, Chapter 23, .0620-.0624 Article III o Slcomb � �ws-I I I N Watershed 4 1 R ' \ Fort Bragg �a WS-IV .t z 4$ r Watershed Fayetteville Fayetteville ¢ ,I n d M54 . p cT Rockfksh Qc 10 a Roc DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 36 In October 2008, the Fayetteville City Council approved a Stormwater Control Ordinance that contained provisions to address stormwater runoff from new development and redevelopment. The ordinance became effective on January 1, 2009. Article III, Stormwater Control, of the City's Stormwater Management Ordinance, Chapter 23 of the City of Fayetteville's Code of Ordinances, requires SCMs to control peak discharge on new development as well as redevelopment so that the post-development peak discharge rate will be no greater than the predevelopment peak discharge rate.This provision minimizes the downstream flooding impacts arising from new development. Once approved by the City Council, the ordinance was forwarded to NCDEQ for their review and approval.The State requested several revisions so that the ordinance would be fully compliant with NPDES permit requirements. In February 2012, the City adopted the proposed revisions to Article III to make the ordinance compliant with Phase II post-construction requirements. The Article was subsequently approved by NCDEQ. Based on the State's approval, the City of Fayetteville was delegated the authority to administer the post- construction program on a local level. Therefore, the ordinance contains both stormwater quantity and quality provisions. Last of all and to address the concern regarding the ongoing maintenance of stormwater facilities in single-family subdivisions, the City decided to accept the functional maintenance responsibility for these facilities, if the developer requests such. The above ordinance and Post-Construction Stormwater Management Program were designed to meet the requirements for post-construction runoff from new development and redevelopment projects specified by 15A NCAC 2H .0126 and the NPDES stormwater permit program.The ordinance covers the entire jurisdictional area of the City minus those portions located on Fort Bragg. As part of the program, an Administrative Manual was developed to ensure successful implementation of the program. The above referenced Stormwater Management Ordinance is available on the City's website as well as through the Internet at http://online.encodeplus.com/reps/fayetteville-nc/. Table 21: Summary of Existing Post-Construction Program Elements Permit Requirements for Municipal Ordinance/Code Reference(s) Date Adopted Plan Review and Approval and/or Document Title(s) 3.6.2(a)Authority Section 23-21 Scope of Article of Article III of the November 18, Stormwater Management Ordinance 2013 3.6.3(a)& 15A NCAC 02H.0153(c) Federal,State&Local Projects 3.6.3(b) Plan Review Section 23-27 Stormwater Design Plans and October 11, 2021 Approval Process of Article III of the Stormwater Management Ordinance 3.6.3(c)0&M Agreement Section 23-34 Operation and Maintenance October 11,2021 Agreement of Article III of the Stormwater Management Ordinance DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 37 3.6.3(d) 0&M Plan Section 23-27 Plan Requirements of Article III of October 11,2021 the Stormwater Management Ordinance 3.6.3(e) Deed Restrictions/Covenants Section 23-32 Minimum Stormwater Quality October 11,2021 Control Requirements of Article III of the Stormwater Management Ordinance 3.6.3(f)Access Easements Section 23-33 Ownership and Maintenance of October 11,2021 Stormwater Management Facilities of Article III of the Stormwater Management Ordinance Permit Requirements for Municipal Ordinance/Code Reference(s) Date Adopted Inspections and Enforcement and/or Document Title(s) 3.6.2(b) Documentation Section 29-186 Inspection and Release of the Performance Bond of Article VII of the Water Supply Watershed Management and Protection Ordinance 3.6.2(c) Right of Entry Section 23-33 Ownership and Maintenance of October 11,2021 Stormwater Management Facilities of Article III of the Stormwater Management Ordinance 3.6.4(a) Pre-CO Inspections Section 23-30 Final Approval Requirements of October 11, 2021 Article III of the Stormwater Management Ordinance 3.6.4(b) Compliance with Plans Section 23-41 Building Permit or Street Approval October 11,2021 Suspension and Revocation of Article III of the Stormwater Management Ordinance 3.6.4(c)Annual SCM Inspections Section 23-33 Ownership and Maintenance of October 11,2021 Stormwater Management Facilities of Article III of the Stormwater Management Ordinance 3.6.4(d) Low Density Inspections 3.6.4(e) Qualified Professional Section 23-31 Professional Registration October 11,2021 Requirements of Article III of the Stormwater Management Ordinance Permit Requirements for Municipal Ordinance/Code Reference(s) Date Adopted Fecal Coliform Reduction and/or Document Title(s) 3.6.6(a) Pet Waste 3.6.6(b) On-Site Domestic Wastewater Treatment The annual reporting metrics for the post construction program are provided in Table 20: Post Construction Site Runoff Control BMPs below. Table 22: Post Construction Site Runoff Control BMPs Permit 3.6.5(a),3.6.5(b),and 4.1.3: Minimum Post-Construction Reporting Requirements Ref. Measures to document activities over the course of the fiscal year(July 1—June 30) including appropriate information to accurately describe progress, status, and results. A B C D DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 38 Table 22: Post Construction Site Runoff Control BMPs BMP Schedule for Annual Reporting No. Description of BMP Measurable Goal(s) Implementation Metric #40. Standard Reporting Implement standardized tracking,documentation, 1.Track number of low 1.Annually 1. No. of plan inspections and reporting mechanisms to compile density and high reviews performed appropriate data for the annual self-assessment density plan reviews for low density and process. Data shall be provided for each Post- performed. high density. Construction/Qualifying Alternative Program 2.Track number of low 2.Annually 2. No. of plan being implemented as listed in Tables 18 and 19. density and high approvals issued for density plans approved. low density and high density. 3. Maintain a current 3.Annually 3. No. and type of inventory of low SCMs added to the density projects and inventory;and no. constructed SCMs and acreage of low including SCM type or density projects low density acreage, constructed. location and last inspection date. 4.Track number of 4.Annually 4. No. of SCM SCM inspections inspections. performed. 5.Track number of low 5.Annually 5. No. of low density inspections density projects performed. inspected. 6.Track number and 6.Annually 6. No. of type of enforcement enforcement actions taken. actions issued. Permit 2.3 and 3.6: Qualifying Alternative Programs) Ref. Measures to develop, implement and enforce additional BMPs in order to comply with the CAP state program requirements.[Delete if not implementing QAPs. If implementing multiple QAPs, add a section for each QAP. If existing post-construction elements in Table 18 do not fully meet the state program requirements, then provide specific BMPs to fully implement a compliant program. If the references in Table 18 demonstrate full compliance with the program requirements, then insert"The QAP requirements are fully met by the existing QAP for post-construction,see references provided in Table 18.] BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric 1. 1. 1. 2. 2. 2. 3. 3. 3. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 39 Table 22: Post Construction Site Runoff Control BMPs Permit 3.6.2: Legal Authority Ref. Measures to maintain adequate legal authorities through ordinance or other regulatory mechanism to: (a) review designs and proposals for new development and redevelopment to determine whether adequate stormwater control measures will be installed, implemented,and maintained, (b) request information such as stormwater plans, inspection reports, monitoring results, and other information deemed necessary to evaluate compliance with the Post-Construction Stormwater Management Program, and (c)enter private property for the purpose of inspecting at reasonable times any facilities,equipment, practices,or operations related to stormwater discharges to determine whether there is compliance with the Post-Construction Stormwater Management Program. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #41. Maintain Adequate Legal Authority The City will continue to maintain adequate legal 1. Maintain legal 1.Annually 1.Yes/No/Partial authority to manage stormwater runoff from post authority to manage construction sites. stormwater runoff from post construction sites 2. 2. 2. 3. 3. 3. 4. 4. 4. 5. 5. S. Permit 3.6.3: Plan Review and Approval Ref. Measures to maintain plan review and approval authority,standards and procedures to: (a) Require Federal,State,and local government projects to comply with Post-Construction Program requirements throughout the entire MS4 permitted area, unless the entity is subject to its own NPDES MS4 permit or a qualifying alternative program, (b) Conduct site plan reviews of all new development and redeveloped sites that disturb greater than or equal to one acre,and sites that disturb less than one acre that are part of a larger common plan of development or sale for compliance with 15A NCAC 02H .1017 and the qualifying alternative programs that apply within your jurisdiction, (c) Ensure that each project has an Operation and Maintenance Agreement that complies with 15A NCAC 02H .1050(12), (d) Ensure that each project has an Operation and Maintenance Plan that complies with 15A NCAC 02H .1050(13), (e) Ensure that each project has recorded deed restrictions and protective covenants,that require the project to be maintained consistent with approved plans,and (f) Ensure that each SCM and associated maintenance accesses be protected in a permanent recorded easement per 15A NCAC 02H 1050(9) and (10). BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #42. Post-Construction Stormwater Management Program Maintain an ordinance(or similar regulatory 1. Continue 1.Annually 1.Yes/No/Partial mechanism)for program to address stormwater administration and runoff from new development and enforcement of the redevelopment. Stormwater Control Ordinance DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 40 Table 22: Post Construction Site Runoff Control BMPs 2. Require plan reviews 2.Annually 2. No. of Plans prior to the Reviewed construction of new SCMs 3.Track the number of 3.Annually 3. No. of SCMs newly constructed Installed SCMs 4. 4. 4. 5. 5. 5. #43. Strategies which include Stormwater Control Measures(SCMs)appropriate for the MS4 Maintain strategies that include a combination of 1. Continue Post- 1.Annually 1.Yes/No/Partial structural and/or non-structural SCMs Construction Site implemented in concurrence with (a)above. Runoff Controls Provide a mechanism to require long-term program by operation and maintenance of structural SCMs. requiring SCMs, Require annual inspection reports of permitted ensuring proper SCM structural SCMs performed by a qualified operation and professional. maintenance,and annual inspections 2. 2. 2. 3. 3. 3. 4. 4. 4. 5. 5. 5. #44. Deed restrictions and protective covenants Section 23-32 Minimum Stormwater Quality 1. Continue to 1.Annually 1.Yes/No/Partial Control Requirements of Article III of the implement Deed Stormwater Management Ordinance contains Restrictions and provisions that require deed restrictions and Protective Covenants protective covenants to ensure that development Through administration projects remain consistent with approved plans. of the Stormwater Control Ordinance 2. 2. 2. 3. 3. 3. 4. 4. 4. r5. 5. 5. #4S. Operation and maintenance plan DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 41 Table 22: Post Construction Site Runoff Control BMPs Section 23-27 Plan Requirements of Article III of 1. Continue to 1.Annually 1.Yes/No/Partial the Stormwater Ordinance requires an 0&M Implement 0&M Plan agreement between the City and the responsible Requirements through party(owner)of each SCM.The owner must administration of the conduct annual inspections of SCMs, maintain Stormwater Ordinance proper records documenting operation and 2. 2. 2. maintenance activities,and submit inspection reports to the City. In the case of single family 3. 3. 3. residential projects only,the City will assume the 4. 4. 4. responsibility for operating, maintaining,and inspecting required structural SCMs. In addition, 5. 5. 5. 0&M Plans must be submitted to the City for review and approval prior to the issuance of a permit for the construction of the improvements. #46. Educational materials and training for developers Provide educational materials and training for 1. Continue to provide 1.Annually 1.Yes/No/Partial developers. New materials may be developed by Administrative Manual the City,or the City may use materials adopted to educate and train from other programs and adapted to the City's local engineers and new development and redevelopment program. developers 2. Review Manual 2. Permit Year 2 2.Yes/No/Partial and propose updates as necessary. 3. 3. 3. 4. 4. 4. 5. 5. 5. Permit 3.6.4: Inspections and Enforcement Ref. Measures to maintain inspection and enforcement authority,standards and procedures to: (a)Conduct post- construction inspections prior to issuing a Certificate of Occupancy or a Temporary Certificate of Occupancy. Alternatively,the project owner may provide a surety bond to guarantee compliance with the approved plan(s), (b) Ensure that the project has been constructed in accordance with the approved plan(s), (c) Ensure annual inspection of each permitted SCM to ensure compliance with the approved Operation and Maintenance Agreement, (d) Ensure inspection of low density projects at least once during the permit term,and (e) Require that inspections be conducted by a qualified professional. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #47. Final Site Inspection Per Sec. 23-30,Article II, no final certificate of 1. Conduct a final 1.Annually 1.Yes/No/Partial occupancy shall be issued without a final site inspection of all inspection among other items. projects prior to issuing a certificate of occupancy DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 42 Table 22: Post Construction Site Runoff Control BMPs 2. 2. 2. 3. 3. 3. 4. 4. 4. 5. 5. 5. #48. Annual SCM Inspection Per Sec. 23-33,Article II, inspection reports shall 1. Ensure that SCM 1.Annually 1. No. of Inspections be provided to the city engineer beginning one owners are conducting Conducted year from the date of record-drawing certification and submitting and each year thereafter on or before the date of inspection forms the record-drawing certification.Additionally, 2. 2. 2. inspectors shall be a qualified registered North Carolina professional engineer,surveyor, 3. 3. 3. landscape architect,soil scientist, aquatic 4. 4. 4. biologist,or certified by the North Carolina Cooperative Extension Service for stormwater 5. 5. 5. treatment practice inspection and maintenance. Permit 3.6.6: Fecal Coliform Reduction Ref. Measures to control,to the maximum extent practicable,sources of fecal coliform per 15A NCAC 02H .1017(7). At a minimum,the program shall include: (a)A pet waste management component,which may be achieved by revising an existing litter ordinance, and (b)An on-site domestic wastewater treatment system component, if applicable,which may be coordinated with local county health department,to ensure proper operation and maintenance of such systems. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #49. Animal Control On June 24, 2013,the Fayetteville City Council 1. Issue fines to 1.Annually 1. No. and amount adopted amendments to the Animal Control persons that violate the of penalties issued Ordinance which requires owners of animals to Animal Control immediately dispose of animal waste from any Ordinance public or private property, properly.Violators of 2. 2. 2. this Ordinance can face violation notices,fines, leading up to loss of animal (until fees are paid) 3. 3. 3. for habitual offenders.This ordinance will help 4. 4. 4. the community to look better and will have a positive impact on water quality. 5. 5. 5. #50. Dog Park The City of Fayetteville operates the Riverside Dog 1. Educate dog owners 1.Annually 1. No. and type of Park, located near the Cape Fear Botanical on the proper disposal education materials Gardens. Dog owners are educated and of animal waste produced/ encouraged to properly dispose of their dog's distributed waste.The proper disposal of dog waste makes 2. 2. 2. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 43 Table 22: Post Construction Site Runoff Control BMPs for a better park, but it also improves the quc 3. 3. 3. of the stormwater runoff leaving the park. 4. 4. 4. 5. 5. 5. PART 10: POLLUTION PREVENTION AND GOOD HOUSEKEEPING PROGRAMS This SWMP provides a comprehensive pollution prevention and good housekeeping strategy for the City of Fayetteville municipal facilities and operations. Pollution prevention and good housekeeping is accomplished through the implementation of seven required programs, which collectively address the goal of preventing or reducing pollutant runoff from municipal operations such as parks and open space maintenance,fleet and building maintenance, new construction and land disturbances, and municipal storm sewer system maintenance. Pollution prevention and good housekeeping for municipal operations includes the following programs: 1. Municipal Facilities Operation and Maintenance Program 2. Spill Response Program 3. MS4 Operation and Maintenance Program 4. Municipal SCM Operation and Maintenance Program 5. Pesticide, Herbicide and Fertilizer Management Program 6. Vehicle and Equipment Maintenance Program 7. Pavement Management Program The City of Fayetteville will manage, implement and report the pollution prevention and good housekeeping BMPs as specified in Table 21 below for each required program. Table 23: Pollution Prevention and Good Housekeeping BMPs Permit 3.7.1: Municipal Facilities Operation and Maintenance Program Ref. Measures to manage facilities that are owned and operated by the permittee and have the potential for generating polluted stormwater runoff. The permittee shall maintain a current inventory of municipal facilities; perform facility inspections and routine maintenance;establish specific frequencies,schedules, and standard documentation; provide staff training on general stormwater awareness and implementing pollution prevention and good housekeeping practices. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #51. Inventory of municipal facilities and operations Maintain an inventory of municipal facilities and 1. Maintain inventory of 1.Annually 1.Yes/No/Partial operations that have been determined to have facilities that have significant potential for generating polluted significant potential for stormwater runoff.Also maintain an inventory of generating polluted municipally owned structural SCMs. stormwater runoff DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 44 Table 23: Pollution Prevention and Good Housekeeping BMPs 2. Maintain an inventory 2.Annually 2.Yes/No/Partial of municipally owned SCMs 3. 3. 3. 4. 4. 4. 5. 5. 5. #52. Inspection and evaluation of municipal facilities and operations Inspect and maintain SCMs,conveyance systems, 1. Maintain inspection 1.Annually 1.Yes/No/Partial facilities and operations owned and operated by program for municipal the City for potential sources of polluted runoff. facilities The inspection program shall evaluate pollutant 2. Maintain 2.Annually 2.Yes/No/Partial sources,document deficiencies, plan corrective maintenance program actions, implement appropriate controls, and for municipal facilities document the accomplishment of corrective 3. 3. 3. actions.The maintenance program shall include maintenance activities and procedures aimed at 4. 4. 4. preventing or reducing pollutants generated 5. 5. 5. from municipal facilities and operations. #53. Staff training Maintain and implement a training plan that 1. Maintain staff training 1.Annually 1.Yes/No/Partial indicates when training is required,who shall be plan trained,and what the training topics shall be. 2. Review and update 2. Permit year X 2.Yes/No/Partial staff training plan 3. 3. 3. 4. 4. 4. 5. 5. 5. #54. Facility Stormwater Pollution Prevention Plans Develop or review/update SPPPs for facilities 1. Develop and maintain 1.Annually 1. No. of SPPPs in with Phase I NPDES Stormwater Permit. For detailed SPPPs for compliance other facilities,develop or review/update the facilities with an NPDES shorter, more user-friendly SPPP template Stormwater Permit approved by the City.The SPPPs shall be used as 2. Develop and maintain 2.Annually 2. No. of SPPPs in an implementation guide for maintaining good user friendly SPPPs for compliance housekeeping and reducing stormwater all other facilities pollution.Topics to be covered include: 3. 3. 3. • Best management practices r4. 4. 4. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 45 Table 23: Pollution Prevention and Good Housekeeping BMPs • Monitoring and inspections 5. 5. 5. • Training and spill prevention/response • Vehicle/equipment cleaning and maintenance All documentation will be kept in the SPPPs, including descriptions of deficiencies found and corrective actions taken.A site map will also be included in all SPPPs. Permit 3.7.2: Spill Response Program Ref. Measures for facilities and operations that store and/or use materials that have the potential to contaminate stormwater runoff if spilled. The permittee shall maintain written spill response procedures and train staff on spill response procedures. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #55. Spill Response Procedures for municipal facilities and operations Spill Prevention and Response Procedures will be 1. Ensure all SPPPs have 1.Annually 1.Yes/No/Partial developed or reviewed/updated for all municipal a Spill Prevention and facilities. Spill Prevention and Response Response Procedures Procedures will be incorporated into SPPPs. section Items that will be evaluated and incorporated 2. Ensure Spill 2.Annually 2.Yes/No/Partial into Spill Prevention and Response Plans include Prevention and the following: Response Procedures • Product storage tanks/containers,exposure, have all required items and secondary containment Flow path and 3. 3. 3. potential for entry into the MS4 • Spill history, response to those spills,and 4. 4. 4. documentation Activities that may generate 5. 5. 5. spills • Operating procedures to prevent spills • Spill response procedures • Spill response equipment and other c - -aining Permit 3.7.3: MS4 Operation and Maintenance Program Ref. Measures to minimize pollutants in the stormwater collection system. The permittee shall provide operation and maintenance staff training on stormwater awareness and pollution prevention, perform MS4 inspections, maintain the collection system including catch basins and conveyances; and establish specific frequencies,schedules,and standard documentation. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #56. Site Pollution Prevention Plans for municipal facilities and operations Maintain and implement SPPPs for municipal 1. Maintain SPPPs at 1.Yearly 1.Yes/No/Partial facilities owned and operated by the City that municipal facilities DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 46 Table 23: Pollution Prevention and Good Housekeeping BMPs have been determined by the City to have 2. 2. 2. significant potential for generating polluted stormwater runoff that has the goal of 3. 3. 3. preventing or reducing pollutant runoff. 4. 4. 4. 5. 5. 5. Permit 3.7.4: Municipal SCM Operation and Maintenance Program Ref. Measures to manage municipally-owned,operated, and/or maintained structural stormwater control measures(SCMs) that are installed for compliance with the permittee's post-construction program. The permittee shall maintain a current inventory of SCMs, perform SCM inspections and maintenance,and shall establish specific frequencies, schedules,and documentation. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #57. Inspection and Maintenance(I&M)for municipally owned or maintained(SCMs)and the storm sewer system The City shall maintain and implement an 1. Maintain and 1.Annually 1.Yes/No/Partial inspection and maintenance program for SCMs implement an inspection owned and operated by the municipality and the and maintenance municipal storm sewer system (including catch program for municipal basins,the conveyance system,and structural SCMs stormwater controls). 2. Maintain and 2.Annually 2.Yes/No/Partial implement an inspection and maintenance program for the municipal storm sewer system 3. 3. 3. 4. 4. 4. 5. 5. 5. Permit 3.7.5: Pesticide, Herbicide and Fertilizer Management Program Ref. Measures to minimize water quality impacts from the use of landscape chemicals. The permittee shall provide routine pollution prevention and chemical use,storage and handling training,and shall ensure compliance with permits and applicator certifications. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #58. BMP Title Narrative description of BMP 1. 1. 1. 2. 2. 2. 3. 3. 3. 4. 4. 4. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 47 Table 23: Pollution Prevention and Good Housekeeping BMPs 5. 5. 5. #S9. BMP Title Narrative description of BMP 1. 1. 1. 2. 2. 2. 3. 3. 3. 4. 4. 4. 5. 5. 5. Permit 3.7.6: Vehicle and Equipment Maintenance Program Ref. Measures to prevent and minimize contamination of stormwater runoff from areas used for municipal vehicle and equipment maintenance and/or cleaning. The permittee shall ensure that municipal industrial facilities subject to NPDES industrial permitting comply with those permit requirements, provide routine pollution prevention training to staff, perform routine inspections, and establish specific frequencies,schedules,and documentation. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #60. Prevent or minimize contamination of stormwater runoff from all areas used for vehicle and equipment cleaning Follow best practices,including: 1. 1. 1. • Clean vehicles indoors or under cover, or 2. 2. 2. • Drain wash water to the sanitary sewer,or • Collect wash water and provide treatment or 3. 3. 3. recycle,or 4. 4. 4. • Other equivalent measures. 5. 5. 5. If sanitary sewer is not available and cleaning operations take place outdoors,the cleaning operations shall take place on grassed or graveled areas to prevent point source discharges of the wash water. Where cleaning operations cannot be performed as described above and when operations are performed in the vicinity of a storm drainage collection system,the drain is to be covered with a portable drain cover during cleaning activities. Any excess standing water shall be removed and properly handled prior to removing the drain cover. Facilities that serve three or fewer fire trucks and ambulances and thatcannot comply with these requirements shall incorporate structural measures during facility renovation. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 48 Table 23: Pollution Prevention and Good Housekeeping BMPs #61. Vehicle and Equipment Cleaning Operations in SPPPs A section regarding vehicle and equipment 1.Assess vehicle and 1.Annually 1.Yes/No/Partial washing will then be included in the SPPP of each equipment washing at facility that conducts washing activities.Where municipal facilities at washing is found to not be in accordance with each annual inspection the City's NPDES Permit,corrective actions will 2. Ensure the SPPP for 2.Annually 2.Yes/No/Partial be implemented as appropriate to the conditions municipal facilities that at each facility. Once the SPPPs are developed, conduct vehicle and washing activities will continue to be evaluated equipment washing during facility inspections. includes relevant section 3. Implement corrective 3.Annually 3. No. and actions when washing description of activities are found non- corrective actions compliant 4. 4. 4. 5. 5. 5. Permit 3.7.7: Pavement Management Program Ref. Measures to reduce pollutants in stormwater runoff from municipally-owned streets, roads,and parking lots within the permittee's corporate limits. The permittee shall implement measures to control litter, leaves,debris, particulate and fluid pollutants associated with vehicles,and establish specific frequencies,schedules,and documentation. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #62. Streets,roads,and public parking lots maintenance The City shall implement BMPs to reduce 1. Implement street and 1.Annually 1. No. and polluted stormwater runoff from municipally road BMPs description of owned streets, roads,and public parking lots street and road within the corporate limits. BMPs 2. Implement public 2.Annually 2. No. and parking lot BMPs description of public parking lot BMPs 3.Assess effectiveness 3.Annually 3.Yes/No/Partial of BMPs 4. 4. 4. 5. 5. 5. #63. Street Sweeping The Stormwater Division currently funds the 1.Sweep selected 1.Annually 1. No. of times City's entire Street Sweeping operations.The thoroughfares(10)times selected streets City Street Maintenance Division performs this per year have been swept DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 49 Table 23: Pollution Prevention and Good Housekeeping BMPs service on City streets as well as on some NCDOT 2.Sweep each 2.Annually 2. No. of times roads, including selected thoroughfares,through residential street a residential streets a maintenance agreement.The thoroughfares minimum of 4 times per have been swept are typically swept at night due to less traffic. year These streets are swept ten (10)times during the 3. 3. 3. year.The thoroughfare schedule includes NCDOT streets through the agreement previously 4. 4. 4. referenced. Residential/subdivision streets are 5. 5. 5. swept four(4)times per year plus shortly behind the leaf collection as close as possible.Thus, most of the residential/subdivision streets are swept five(5)or six(6)times per year. #64. Yard Waste Containerization The City's Environmental Services Department 1. Provide public 1.Annually 1. No.and type of collects containerized yard waste once per week education about yard educational throughout the year. Citizens have the choice to waste containerization materials purchase a brown yard waste container through distributed Environmental Services or may use clear plastic 2. 2. 2. yard waste bags to containerize debris. Containerization of yard waste and debris helps 3. 3. 3. the City to continue to look appealing,as well as 4. 4. 4. to prevent this material from flowing into the storm drainage system. Details regarding the 5. 5. 5. pickup of yard waste are outlined in Article I, Chapter 22 of the Solid Waste Ordinance. Stormwater promotes yard waste containerization through its educational program to help prevent stormwater pollution. #65. Loose Leaf Collection Stormwater coordinates with Environmental 1. Continue to support 1.Annually 1.Yes/No/Partial Services to educate citizens on proper placement the City's loose leaf of their loose yard waste to ensure that it does collection program not reach the drainage system.At other times 2. 2. 2. throughout the year, Chapter 22,Article I of the City's Solid Waste Ordinance requires 3. 3. 3. containerization of all leaves for efficient and 4. 4. 4. effective pick-up. 5. 5. 5. #66. Person Street"Greenstreet"Streetscape The Person Street"Greenstreet" project 1. 1. 1. encompasses two blocks of Person Street(which 2. 2. 2. is a major corridor for Downtown Fayetteville). The design for this project incorporates 3. 3. 3. innovative Low Impact Development(LID) devices which aids in runoff reduction and 4. 4. 4. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 50 Table 23: Pollution Prevention and Good Housekeeping BMPs pollution reduction. Devices such as linear bio- 5. 5. 5. filtration bump-outs,Silva Cells, and an experimental undersized permeable pavement design are used in this project.These devices meet LID volume reduction and quality improvement goals for this project. Blounts Creek is a biologically impaired stream upstream of the Greenstreet project and benefits from improved water quality from the proposed devices. #67. Public Parking Lots City-owned parking lots are swept by street 1. Provide sweeping 1.Annually 1.Yes/No/Partial maintenance on an as needed basis and when services as needed requested by City staff. 2. 2. 2. 3. 3. 3. 4. 4. 4. 5. 5. 5. #68. Coordination with NCDOT The Stormwater Division coordinates with the 1. 1. 1. local NCDOT on various stormwater activities such as street sweeping and ditch maintenance 2. 2. 2. programs as well as issues related to their NPDES 3. 3. 3. permit implementation.As indicated previously, the City is reimbursed for street sweeping 4. 4. 4. various NCDOT roads through an existing 5. 5. 5. maintenance agreement. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 51 PART 11: PROGRAM TO MONITOR AND EVALUATE STORMWATER DISCHARGES The City maintains an Industrial Facilities Evaluation and Monitoring Program to evaluate and monitor discharges to the City's MS4 from applicable industrial facilities. This includes inspection and monitoring programs to evaluate facilities that may contribute or have the potential to contribute substantial pollutant loads to the MS4. The following Sections explain the BMPs to be implemented to meet this requirement. Table 24: Monitor and Evaluate Stormwater Discharges BMPs Permit 3.9.1: Evaluate Pollutants from Hazardous waste treatment,disposal,and recovery facilities Ref. The Permittee shall develop a program to evaluate pollutants in storm water discharges to the permittee's MS4 from hazardous waste treatment,disposal,and recovery facilities, industrial facilities subject to section 313 of Title III of the Superfund Amendments and Reauthorization Act of 1986(SARA),and Industrial facilities identified with an industrial activity permitted (as defined in 4 CFR 122.26)to discharge storm water to the permittee's MS4. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #69. Coordination with NCDEQ The City notifies the Fayetteville Regional Office 1. Maintain excellent 1.Annually 1.Yes/No/Partial (RO)of NCDEQ of the situation any time a working relationship potential NPDES permit violation is found on an with the Fayetteville industrial facility.There is an excellent working NCDEQ RO relationship between the Stormwater Division and 2. Continue to notify 2.Annually 2. No. of State the local NCDEQ office. the Fayetteville NCDEQ Permit violations RO of any State Permit reported violations 3. 3. 3. 4. 4. 4. 5. 5. 5. #70. Industrial outfall inspections As an EPA requirement and supplemental to the 1. Inspect all industrial 1.Annually 1. No. of inspections major outfall inspections,the City also monitors outfalls that are>_ 12" and inspects outfalls(12 inches and larger) 2. Maintain the 2.Annually 2.Yes/No/Partial associated with industrial activities to make sure database that houses that they are not discharging any potential all inspection checklists pollutants to the City's storm drainage system or 3. 3. 3. to Waters of the State. Like the major outfall inspections,the Inspector completes an outfall 4. 4. 4. inspection checklist report for each outfall 5. 5. 5. inspected.The inspection checklist information is transferred to a database as a permanent record. The City is currently inspecting 46 industrial outfalls. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 52 #71. Monitoring at industrial facilities At each industrial outfall,the inspector: 1.Train inspectors on 1.Annually 1. No. of inspectors • Conducts visual monitoring of the receiving proper inspection trained or retrained waters procedures • Observes for abnormal color, odor,or sheen 2. Laboratory test all 2.Annually 2. No.of samples • Collects a sample of the discharge for visual samples suspected of sent to lab for observation and to determine if any substances containing polluted testing are suspended in the water column runoff • Takes photographs are taken of the outfall 3. Ensure facilities take 3.Annually 3. List of facilities corrective actions when required to take If evidence of polluted runoff is suspected, a polluted runoff is corrective actions sample of the discharge is collected and analyzed confirmed by an approved laboratory for several pollutant 4. 4. 4. parameters. If pollutants are verified in the runoff, 5. 5. 5. the City notifies the facility and requires actions to be taken to remedy the situation. Permit 3.9.2: Inventory of permitted hazardous waste treatment,disposal,and recovery facilities Ref. The permittee shall maintain an inventory of permitted hazardous waste treatment,disposal,and recovery facilities, industrial facilities that are subject to Section 313 of Title III of the Superfunds Amendments and Reauthorizations Act of 1986(SARA),and Industrial facilities identified with an industrial activity permitted (as defined in 4 CFR 122.26)to discharge storm water to the permittee's MS4. BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #72. Maintain an Inventory of Industrial Facilities Maintain an inventory of permitted hazardous 1. Maintain industrial 1.Annually 1.Yes/No/Partial waste treatment,disposal,and recovery facilities, facilities inventory industrial facilities that are subject to Section 313 2. 2. 2. of Title III of the Superfund Amendments and Reauthorization Act of 1986(SARA), industrial 3. 3. 3. facilities identified with an industrial activity 4. 4. 4. permitted to discharge stormwater to the City's MS4,or as identified as an illicit discharge under 5. 5. 5. the IDDE Program. For the purposes of the City's NPDES Permit, industrial activities shall mean all permitted industrial activities as defined in 40 CFR 122.26. Permit 3.9.3: Inspections of permitted hazardous waste treatment,disposal,and recovery facilities Ref. The permittee shall develop and implement a written program to identify frequencies and specific procedures for inspecting the facilities identified in part 3.9.2 above.The permittee shall evaluate control measures implemented at all facilities identified in part 3.9.2 above and establish procedures for reporting deficiencies and non-compliance to the permitting agency.The permittee will recommend and document the need for permit modifications or additions to the permit issuing authority, if such modifications or additions are determined by the permittee to better accomplish the intent of the municipality's stormwater program. A B C D DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 53 BMP Schedule for Annual Reporting No. Description of BMP Measurable Goal(s) Implementation Metric #73. Implement inspection program Conduct industrial inspections on a priority basis. 1. Inspect each 1.Annually 1. No. of industrial Those industries with the greatest potential to industrial facility yearly inspections cause environmental harm and impact the quality 2. Record the 2.Annually 2. No. of inspection of stormwater runoff are assigned a higher inspection checklist records priority and inspected before others. after each inspection 3. Inspect restaurants 3.Annually 3. No. of restaurant inspections 4. Conduct follow up 4.Annually 4. No. of NOVs actions for facilities issued found to be out of compliance 5. 5. 5. #74. Keep Inspection Standard Operating Procedure(SOP) up to date. The Facilities Inspection SOP and Inspection Form 1. Review and updates 1. Permit year X 1.Yes/No/Partial provide step-by-step guidance on inspections and Inspection SOP how to follow up when needed.The City's 2. Provide training on 2.Annually 2.Yes/No/Partial Inspection Form includes the following: inspection SOP • Review of the SPPP 3. 3. 3. • Review and inspection of all activities both inside and outside of the facility 4. 4. 4. • Observations at all stormwater outfalls 5. 5. 5. • Assessment of the effectiveness of BMPs • History of any spills or leaks are reviewed • Photographs of the facility and its activities DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 54 PART 12: WATER QUALITY ASSESSMENT AND MONITORING The City maintains a Water Quality Assessment and Monitoring Program to monitor and assess the quality of streams within the City as required by the NPDES stormwater permit. Information gained from the program can be used to help identify and eliminate sources of pollution and illicit discharges, track short-term and long-term trends, and, where possible, gauge the effectiveness of stormwater management efforts and programs conducted by the City. The following Sections explain the BMPs to be implemented to meet this requirement. Table 25:Water Quality Assessment and Monitoring BMPs Permit 3.10: Water Quality Assessment and Monitoring Plan Ref. The permittee shall maintain a Water Quality Assessment and Monitoring Plan.The Stormwater Management Plan shall include a schedule for implementing the proposed assessment and monitoring plan, as well as measurable and reportable goals to demonstrate implementation of the Water Quality Assessment and Monitoring Plan BMP A B C D No. Description of BMP Measurable Goal(s) Schedule for Annual Reporting Implementation Metric #75. Water Quality Assessment and Monitoring Plan The City shall implement and maintain the 1. Implement and maintain 1.Annually 1.Yes/No/Partial Water Quality Assessment and Monitoring Water Quality Assessment Plan submitted to DEMLR.The Plan and Monitoring Plan shall include a schedule for implementing the 2. Monitor in accordance 2.Annually 2. No. of locations proposed assessment and monitoring with the Water Quality monitored activities. Assessment and Monitoring Plan 3. 3. 3. 4. 4. 4. 5. 5. 5. DRAFT NCS000246 SWMP City of Fayetteville Document Date Page 55