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HomeMy WebLinkAboutNorth Carolina Agricultural Sciences Center - C16123-comment response (2)Project North Carolina Agricultural Sciences Center Permit NCDEQ Stormwater Permit#SW5180902 Date 01.02.2019 Reviewer Corey Anen Number Comment Response 1 The square footage of impervious surfaces varies throughout different documents. The variation in square footage is due to the difference between peak folw calcuations that account for entire drainage area, and nutrient calculations that only account for area within the property line. 1a The existing impervious surface on the plans and in the nutrient calculations is 11,250 sf (0.258 acres). On the application, the total existing impervious surface is 123,109 sf (2.83 acres). The 11,250 sf refers to the project area and the 123,109 sf refers to the drainage area. 1b The total impervious surface, per the application, draining to the north and south bioretention cells is 290,872 sf (6.68 acres) and 131,521 sf (3.02 acres), respectively. In the sizing calculations, it is 250,660 sf (5.75 acres) and 65,588 sf (1.51 acres). The application includes impervious sf within the entire drainage area of the analysis point so that pre- and post- development conditions can be compared where flow is concentrated. The stormwater control measure sizing spreadsheets only account for the area draining to each device. 1c The total impervious area shown in the nitrogen calculations is 7.36 acres. In the application it is 10.22 acres. The 7.36 acres refers to the impervious area within the parcel and the 10.22 acres refers to the impervious area within the drainage area (including offsite impervious from Edwards Mill Road). 2 The calculations in the Stormwater Impact Analysis show the north bioretention surface area as 20,413 ft2. The surface area shown on the plans is significantly smaller. Note that the bioswales cannot be counted as they do not meet the minimum design criteria for bioretention systems. However, it is likely that as designed, the project could meet the Volume Match standard in lieu of the Runoff Treatment standard. This would be done by completing the Storm EZ spreadsheet and showing that the annual runoff volume in the post-development condition is less than 10% greater than the pre- development condition. For more information, please see Chapter A-1 of the Stormwater Design Manual. The Storm-EZ forms have been filled out and demonstrate a reduction in annual runoff volume. 3 The nitrogen calculations in the Stormwater Impact Analysis do not show the nitrogen loadings leaving the SCMs. Note that if the Volume Match approach is taken, the 35% reductions should only be applied to the volume of water that can be stored below the first outlet of the bioretention cell, as any overflow will not be treated. With the volume match approach, the 1" storm is still the target for nitrogen removal. Our model shows no outfloe in the water quality event. All water is contained below the first outlet. 4 Provide pdfs of all revisions, 2 hardcopies of revised plan sheets, and 1 hardcopy of other documents. Pdfs must be uploaded using the form at: https://edocs.deq.nc.gov/Forms/SW_Project_S ubmittal Pdfs have been provided as requested. NOTE Please note that this request for additional information is in response to a preliminary review. The requested information should be received by this office prior to January 13, 2019, or the application will be returned as incomplete. The return of a project will necessitate resubmittal of all required items, including the application fee. Acknowledged NOTE If you need additional time to submit the information, please submit your request for a time extension to the Division at the contact below. The request must indicate the date by which you expect to submit the required information. The Division is allowed 90 days from the receipt of a completed application to issue the permit. Acknowledged NOTE The construction of any impervious surfaces, other than a construction entrance under an approved Sedimentation Erosion Control Plan, is a violation of NCGS 143-215.1 and is subject to enforcement action pursuant to NCGS 143- 215.6A. Acknowledged NOTE If you have any questions concerning this matter please feel free to contact me at Corey.Anen@ncdenr.gov or (919) 707-3649. Thank you for meeting with us in person. It was very helpful to discuss the best way forward for permitting this project.