HomeMy WebLinkAboutNCS000246_Annual Report_20221021City of Fayetteville
NPDES Permit Program
2022 Annual Report
FAY E T T 6 V I L L E C
STORMWATER
Permit Number NCS000246
October 31, 2022
Table of Contents
SECTION 1: INTRODUCTION..........................................................................................................................I
SECTION 2: BACKGROUND............................................................................................................................1
SECTION 3: PUBLIC EDUCATION AND OUTREACH................................................................................2
3.1 TARGET POLLUTANTS AND SOURCES..............................................................................................................2
3.2 TARGET AUDIENCES........................................................................................................................................2
3.3 INFORMATIONAL WEBSITE..............................................................................................................................3
3.4 PUBLIC EDUCATION MATERIALS.....................................................................................................................3
3.5 HOTLINE / HELP LINE......................................................................................................................................4
3.6 PUBLIC EDUCATION AND OUTREACH PROGRAM............................................................................................. 5
SECTION 4: PUBLIC INVOLVEMENT AND PARTICIPATION................................................................8
4.1 VOLUNTEER INVOLVEMENT PROGRAM........................................................................................................... 8
4.2 PUBLIC INVOLVEMENT MECHANISM............................................................................................................... 9
4.3 HOTLINE / HELP LINE...................................................................................................................................... 9
4.4 PUBLIC REVIEW AND COMMENT..................................................................................................................... 9
4.5 PUBLIC NOTICE............................................................................................................................................... 9
SECTION 5: ILLICIT DISCHARGE DETECTION AND ELIMINATION(IDDE)....................................9
5.1
ORDINANCE ADMINISTRATION AND ENFORCEMENT.......................................................................................9
5.2
STORMWATER SYSTEM INVENTORY..............................................................................................................10
5.3
INSPECTION / DETECTION PROGRAM.............................................................................................................10
5.4
EMPLOYEE TRAINING....................................................................................................................................13
5.5
PUBLIC EDUCATION AND OUTREACH............................................................................................................13
5.6
PUBLIC REPORTING MECHANISM..................................................................................................................14
SECTION 6: CONSTRUCTION SITE RUNOFF CONTROLS....................................................................14
6.1 LOCALLY DELEGATED PROGRAM................................................................................................................. 14
SECTION 7: POST -CONSTRUCTION SITE RUNOFF CONTROLS........................................................14
7.1
POST -CONSTRUCTION STORMWATER MANAGEMENT PROGRAM...................................................................
14
7.2
POST -CONSTRUCTION SCM STRATEGIES......................................................................................................
15
7.3
DEED RESTRICTIONS AND PROTECTIVE COVENANTS....................................................................................
15
7.4
OPERATION AND MAINTENANCE PLAN.........................................................................................................15
7.5
SETBACKS FOR BUILT -UPON AREAS.............................................................................................................16
7.6
EDUCATION AND TRAINING PROGRAM..........................................................................................................16
SECTION 8: POLLUTION PREVENTION AND GOOD HOUSEKEEPING FOR MUNICIPAL
OPERATIONS 17
8.1 OPERATION AND MAINTENANCE PROGRAM..................................................................................................17
8.2 FACILITY STORMWATER POLLUTION PREVENTION PLANS............................................................................18
8.3 FACILITY INVENTORY AND SITE INSPECTIONS..............................................................................................18
8.4 MUNICIPAL SPILL RESPONSE PROCEDURES...................................................................................................20
8.5 VEHICLE AND EQUIPMENT CLEANING OPERATIONS......................................................................................21
8.6 BMP EVALUATION FOR STREETS, ROADS, AND PUBLIC PARKING LOTS MAINTENANCE..............................21
8.7 BMP IMPLEMENTATION FOR STREETS, ROADS, AND PUBLIC PARKING LOTS MAINTENANCE .......................21
8.8 OPERATION AND MAINTENANCE FOR MUNICIPALLY OWNED OR MAINTAINED STRUCTURAL STORMWATER
SCMSAND STORM SEWER SYSTEM........................................................................................................................23
8.9 EMPLOYEE / STAFF TRAINING....................................................................................................................... 27
SECTION 9: INDUSTRIAL FACILITIES EVALUATION AND MONITORING.....................................28
9.1 INDUSTRIAL FACILITY INVENTORY...............................................................................................................28
9.2 INDUSTRIAL FACILITIES INSPECTION PROGRAM............................................................................................ 28
9.3 EVALUATION MEASURES...............................................................................................................................29
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NPDES Permit No. NCS000246 - 2022 Annual Report October 31, 2022
SECTION 10: WATER QUALITY ASSESSMENT AND MONITORING.....................................................29
10.1 WATER QUALITY ASSESSMENT AND MONITORING PLAN..........................................................................29
10.2 WATER QUALITY MONITORING IMPLEMENTATION...................................................................................33
SECTION 11: TOTAL MAXIMUM DAILY LOADS(TMDLS)......................................................................35
SECTION 12: MISCELLANEOUS STORMWATER ACTIVITIES...............................................................35
SECTION 13: PLANS FOR THE UPCOMING YEAR.....................................................................................35
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Section 1: Introduction
The City of Fayetteville has prepared this report in accordance with the Environmental Protection
Agency (EPA) and the Clean Water Act to meet program reporting and monitoring requirements
of the National Pollutant Discharge Elimination System (NPDES) Municipal Stormwater
Discharge Permit (No. NCS000246) as issued by the State of North Carolina effective October 10,
2018. The permit provides authorization for the City of Fayetteville to discharge municipal
stormwater to the Waters of the State. The permit is effective for five (5) years and will expire at
midnight on October 9, 2023
Under its Public Services Department, the City of Fayetteville Stormwater Program is responsible
for implementing and maintaining the City's NPDES Stormwater Discharge Permit. As prepared
by the Stormwater Program, this annual report covers City NPDES Permit -related activities from
approximately July 1, 2021, to June 30, 2022.
The COVID-19 pandemic continued to affect parts of our programing efforts during the annual
reporting year. Notably, Public Awareness and Outreach continued to have suspended or delayed
efforts due to restrictions on gathering and the inability to give school presentations during times
of high rates of infections. The Stormwater Program continues to work with government mandates
to execute the permit safely.
Section 2: Background
Fayetteville is one of only six NC Phase I municipalities, defined as a population of 100,000 or
more. Phase II permits cover all other NC municipalities and some designated counties and
petitioned areas required to seek an NPDES stormwater permit. The Six Minimum Measures are
the baseline for all Phase II NPDES stormwater permits. Because of their size and potential to
pollute stormwater runoff, the Phase I municipalities are subject to the Six Minimum Measures
and additional requirements.
Since the renewal of the permit on October 10, 2018, the City continues to implement the following
measures:
1) Public Education and Outreach
2) Public Involvement and Participation
3) Illicit Discharge Detection and Elimination (IDDE)
4) Construction Site Runoff Controls
5) Post -Construction Site Runoff Controls
6) Pollution Prevention and Good Housekeeping for Municipal Operations
7) Monitor and Evaluate Pollutants in Stormwater Discharges to Municipal Systems
8) Water Quality Assessment and Monitoring
This report is formatted to coincide with the Permit structure and provide the permit requirement's
progress, status, and results. The following major sections are the required program areas as
outlined in the new Permit. The subsections under each major section are the required Best
Management Practices (BMPs) for that Permit section.
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Section 3: Public Education and Outreach
3.1 Target Pollutants and Sources
The Stormwater Program has determined that the following sources of pollution have significant
impacts on water quality. Through proper education and public awareness, Stormwater's objective
is to bring attention to these sources' impacts on water quality.
The specific pollution sources targeted for the public education and outreach program are as
follows:
1) Lawn Care activities
2) Improper disposal
3) Poor housekeeping
4) Erosion
In addition to the above pollution sources, this Annual Report in Section 9 highlights the
Stormwater Program's efforts as it addresses stormwater quality concerns associated with
industrial activities and, in particular industrial "hot spots."
3.2 Target Audiences
The Stormwater Program has created a Public Education and Outreach campaign that seeks to
address several audiences throughout our community. These audiences are:
• Homeowners and Renters between the ages of 25-55
• School -age children
• Businesses that pose a threat to water quality (concrete companies, painters, lawn care,
construction companies, restaurants and foodservice establishments).
Homeowners and renters between the ages of 25-55 have been identified as a target audience due
to their significant positive and negative impacts on water quality. This age group represents a
significant portion of the residents of the City, and have been identified to both be more involved
with their community, but also are more likely to contribute to pollution by dumping oil and other
fluids into the storm drains, improperly disposing of yard wastes, and improperly applying
pesticides and herbicides on lawns. Flyers, brochures, and other educational materials have been
designed for this group. Stormwater attended or donated information for approximately two events
specifically geared towards this age group during this reporting year. The number of events and
presentations continued to be severely limited due to the ongoing COVID-19 pandemic and the
ongoing cancellation of events.
School -aged children are another target audience that the program has identified, and the
Stormwater Educator has developed several in person and online educational programs for the
Fayetteville area schools inside the Cumberland County school system. The focus is to help
children better understand what stormwater is, where it ends up, and the pollutants it picks up
along the way. For some grade levels, this information is a part of their Essential Standards for
Science. These standards outline what information a teacher will cover during the school year and
on the End of Grade (EOG) test. Several of the events that Stormwater is involved in also reach
out to school -aged children. Through the education and engagement of children, it is the hope of
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Stormwater Program that we can then reach the adults in the household. During this reporting
year, the Stormwater Educator conducted approximately nine presentations/demonstrations geared
towards school children.
Throughout the reporting year, the stormwater program reached approximately 5,957 residents
through presentations and events.
Various businesses have been identified as posing a threat to water quality. The Stormwater
Program also offers several free video training programs and has developed some brochures and
fact sheets that are aimed at educating businesses about stormwater pollution prevention. Business
types are listed below:
• Concrete companies
• Construction companies
• Landscaping and lawn care professionals
• Painting contractor's/home renovation companies
• Restaurants and foodservice establishments
• City Departments
The Stormwater Program acknowledges our growing diversity in our community, and we strive to
provide information to our Hispanic community by offering several publications in Spanish.
3.3 Informational Website
The Stormwater Program maintains a comprehensive website
(www.fayettevillenc.gov/stormwater) that details our program and permit components and offers
citizens the opportunity to learn more about stormwater and water quality. A few of the topics
addressed on the website include:
1. Stormwater Inspections
2. Stormwater Projects
3. Public Education and Involvement
4. Stormwater Management Ordinance and related documents
5. Frequently Asked Questions
6. Stormwater Related Downloadable Files
Staff reviews the website on a regular basis in order to provide timely and accurate information to
citizen regarding the Stormwater program. In addition to permit related awareness, the program
utilizes the website to keep citizens informed of the status of various stormwater projects, the
watershed masterplan process, and our flood awareness program.
During the reporting year, the COVID-19 pandemic continued to limit the ability to provide hands-
on demonstrations to area schools. The educator presented several online presentations throughout
the school year, and returned to some in -person presentations in the late Spring. Many Fall events
that the educator would normally participate in were delayed or cancelled, however, the educator
was able to attend some spring events. The public can access these lessons at
www.fayettevillenc.gov/stormwatereducation.
3.4 Public Education Materials
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
The City's Stormwater Program provides quality educational brochures and flyers to inform
citizens about stormwater and pollution prevention through various sources. Details regarding
these publications are described below:
1. Stormwater Inspectors utilize various educational flyers to assist in educating the public
and business owners that they speak with while out performing inspections and other
duties. These educational materials include: Restaurant brochures, mobile car wash flyers,
landscaping information.
2. Stormwater distributes educational brochures at all the events in which we participate.
Stormwater also distributes materials to several events where stormwater is not physically
present. The Public Education and Outreach Program subsection of this report further
describes these various activities. These brochures are listed as follows:
a. Stormwater Management Program
b. Pet Waste
c. Stormwater Fee Brochure
d. Drainage Assistance Program
e. Household Hazardous Waste
f. Children's Brochures
3. Through the help of Spanish language brochures, the Stormwater Program tries to reach
the growing local Hispanic population about stormwater pollution prevention during public
awareness events. Our Spanish language brochures and flyers focus on stormwater
management, spring lawn maintenance, and charity car washes.
4. During the reporting year, staff developed a flyer addressing mobile car washes, and
procedures the car wash needs to undergo in order to protect water quality.
5. Brochures are reviewed to ensure information is up to date on an annual basis. These
brochures are available online and are used at various events when appropriate:
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Photograph 1: Mobile Car Wash Flyer
3.5 Hotline / Help Line
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
The Stormwater Hotline (910-433-1613), initiated in 1995 as an integral part of the Stormwater
program, is a source of information and direction and is the primary means for the public to
communicate incidents, complaints, and suggestions on a 24/7 basis. The Hotline received
approximately 524 documented calls during the past year, resulting in a Work Order for follow-
up.
3.6 Public Education and Outreach Program
Stormwater has a documented Public Awareness Strategy, which outlines specific goals that
Stormwater intends to meet each year through its efforts. This strategy is updated regularly and
guides the Stormwater Program's public education and outreach efforts. This document is
available to the public on the City of Fayetteville Stormwater website.
Throughout the past year, Stormwater contracted with several advertising agencies across several
different media platforms to create awareness of the Stormwater Program. The following
describes those efforts in detail:
1. Stormwater ran advertisements in three different issues of CityView. CityView is a popular
local magazine published eight times a year with an estimated 58,442 readers each issue.
Readership adds up to approximately 175,3426 annual potential contacts both print and
digitally.
2. The Stormwater Program runs four advertisements in Kidsville News, focusing on
advertising presentations and pollution prevention. Kidsville News is a local publication
that is distributed to local schools and focuses primarily on children. Readership of
Kidsville News is approximately 83,000 monthly, which adds up to approximately 334,000
potential contacts annually.
3. The City of Fayetteville partnered with the Clean Water Education Partnership to promote
stormwater pollution prevention through targeted TV, radio, and social media ads. This
reporting year, the CWEP committee decided to target restaurant pollution prevention and
household hazardous waste for its messaging. The total estimated Spectrum and Capitol
Broadcasting Company impressions for the City of Fayetteville are 744,421. This number
includes
a. radio spots,
b. web clicks,
c. La Noticia print and website ads and
d. TV pre -roll ads.
e. The Stormwater Division also shares CWEP social media posts and the CWEP
educator has assisted the Stormwater Educator in programming throughout the
year. CWEP hosted a Virtual Regional Creek Week, in which the Stormwater
Division took part by sharing social media posts, and Fayetteville was highlighted
on CWEP's Creek Week webpage.
f. The CWEP annual report can be accessed at https://nc-cleanwater.com/annual-
reports/.
4. The Stormwater Program works with Corporate Communications to advertise various
commercials and bulletins on the City's government access channel, FayTV, and YouTube
Channel. During the reporting year, Stormwater had several informational segments air on
the channel. Our FayTV crew filmed the following segments; keeping our storm drains
clear, City Updates on various projects and the DAP program. These programs ran
approximately 957 times before approximately 100,196 cable subscribers each time.
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Corporate Communications and Stormwater continue to develop videos to highlight public
services projects on social media on a monthly basis. Several Stormwater projects have
been featured in the videos.
5. Stormwater utilized social media outlets such as the City of Fayetteville's Facebook,
Twitter, and YouTube accounts to promote stormwater pollution prevention messages.
6. The Public Services Department continues to utilize its own Twitter account this past year,
in which the Stormwater Program has promoted several pollution prevention messages.
Throughout the reporting year, the Public Services Twitter account has provided
approximately 9,931 impressions for various social media messages.
7. Stormwater sent out media releases and answered several media requests over the year
involving stormwater-related information.
SCOOP THE POOP. DON'T POLLUTE!
Prevent pet waste from
entering our waterways by
picking up after your pet.
For more information on how
to reduce Storm water pcIIution:
91Q.433.1fi13
Photograph 2: Fayetteville TV Still Example
www.fayetteviIIenc.gov/stormwater *FAYETTEVILLE=
STN WATER
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Photograph 3: Social Media Graphic
Due to the ongoing COVID-19 pandemic, the Stormwater Educator continued to advertise online
lessons, reach out to teachers, and schedule virtual classroom visits. When giving school
presentations, the Educator ensures that the information provided aligns with curriculum standards.
Hence, the presentations relate to what the students are learning and reinforce what the teacher has
taught. The Educator has created online content for teachers to use for online instruction and
continues to look for ways to enhance virtual learning. During the Spring school semester, the
educator was invited to some school events, as the school system eased their COVID protocols.
The educator is planning a return to a normal school year for the 22-23 fiscal year.
This reporting year, the Educator used online lesson plans using an online platform called Nearpod
to create an interactive environment for students to learn about the water cycle, stormwater, and
macroinvertebrates.
Since the Stormwater Program's inception, a focus has been made to coordinate public education
efforts between various agencies and other City departments to provide information to the public
regarding stormwater pollution prevention. These agencies/departments include, but are not
limited to:
• Fayetteville PWC
• Fayetteville Police Department
• Cumberland County Soil and Water Conservation District
• Cumberland County Cooperative Extension
• Cumberland County Schools
• Fayetteville/Cumberland Parks and Recreation
The following paragraphs describe some of those efforts.
Through a partnership with Stormwater, the Clark Park Nature Center and Lake Rim Park
incorporate stormwater pollution prevention elements in various programs, including the
Environmental Mobile Unit (EMU). The parks began providing programs again this year,
as COVID-19 protocols allowed. Overall, Lake Rim and Clark Park served 331 children
this program year. Throughout the COVID-19 pandemic, the Cape Fear River Trail, which
runs through Clark Park, continues to see record numbers as people get out to walk the
trail. The Stormwater Program maintains educational signs along the trail to educate
residents and users about stormwater, the importance of wetlands, and how habitats
surrounding the river benefit the City.
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Photographs 4 & 5: Educational Signs on Cape Fear River Trail
Stormwater continues to promote the use of pet waste stations in the local public parks
through educational materials. There are seventeen pet waste stations spread throughout
these parks. The division ran academic posts on social media and FayTV bulletins
throughout the year to create awareness regarding picking up after pets.
The Stormwater Educator continues to sit on the Cumberland County Green Schools
Advisory Team as an advisory member. The advisory team consists of several community
agencies that meet quarterly to guide the Green Schools Program throughout the school
year. This Green Schools program encourages schools to reduce their waste and increase
conservation to be better stewards of the environment and lower school costs. Through
this partnership, the staff helped to give advice where needed. Through this partnership,
relationships with Cumberland County school personnel is strengthened, and the
possibility of developing relationships with other community partners occurs. Throughout
the COVID-19 pandemic, the Green Schools Advisory Team has continued to meet
virtually via Google Meets.
Section 4: Public Involvement and Participation
4.1 Volunteer Involvement Program
The City of Fayetteville, through the Parks and Recreation Department, coordinates two programs,
Adopt -A -Street and Adopt -A -Site, to provide trash and litter pickup along streets and sites that
volunteer groups have adopted. The groups volunteer to clean these areas several times a year. The
City provides trash bags along with a list of safety procedures to be followed during the cleanup. The
groups report their activities back to the City, and the City picks up the full trash bags for proper
disposal. A total of 143 Adopt -A -Street participants take on streets throughout the City and assume
the responsibility to clean the streets several times a year. Additionally, 60 specific sites throughout
the City of Fayetteville have been adopted and cleaned regularly. These groups provide a valuable
service toward improving water quality by picking up and properly disposing of trash and litter
that could otherwise discharge into the City's storm drainage system during the next rain event.
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
The Stormwater Program continues to partner with the City of Fayetteville's local affiliate of Keep
America Beautiful, Fayetteville Beautiful. Over the past year, the City has taken ownership of the
organization, and brought it under the care of the City's Parks and Recreation department. Through
this reorganization, Fayetteville Beautiful has been able to expand its reach and number of clean-
ups it is able to host. Fayetteville Beautiful now aims to host a citywide cleanup each spring and
fall, and partners with Sustainable Sandhills to promote smaller community cleanups throughout
the year. Fayetteville Beautiful strives to keep the City clean and educate the public about the
importance of putting litter in its proper place, thus keeping it out of local rivers and streams.
Through this past fiscal year's clean-ups, 280 volunteers collected approximately 4,200 pounds of
litter.
4.2 Public Involvement Mechanism
The City continues to have an active Stormwater Advisory Board (SWAB) that meets regularly.
The City SWAB consists of Fayetteville citizens and provides guidance and advice to the City
Council about the Stormwater Management Program. Additionally, the SWAB has the powers
and duty in matters relating to the administrative review of any orders or decisions made by the
Stormwater Manager. The SWAB discussed several items during the past year, including approval
of Drainage Assistance Projects, providing letters of support for grants, and recommendations on
the stormwater management ordinance. The members are ready to continue their work on the
board and look forward to the next year of service.
4.3 Hotline / Help Line
Information on the City's Stormwater Hotline can be found previously in this Annual Report in
Section 3.5.
4.4 Public Review and Comment
The Stormwater Plan continues to be posted on the City's Stormwater webpage for information
and to seek public input. Additionally, hard copies have been made available at City Hall for any
interested citizens.
4.5 Public Notice
All regular meetings, special meetings, and hearings of the Stormwater Advisory Board are filed
in accordance with the North Carolina Open Meetings Law. Notices of meetings are posted in a
central location in City Hall and posted on the City's website. All records, files, and accounts are
considered public records provided in the North Carolina General Statutes.
The Stormwater Program advertises in the Fayetteville Observer when necessary for Public
Hearing Notices to notify residents about proposed changes to the Stormwater Management
Ordinance.
Section 5: Illicit Discharge Detection and Elimination (IDDE)
5.1 Ordinance Administration and Enforcement
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Article II. Illicit Connections and Improper Disposal of Chapter 23 Stormwater Management became
effective in the City in July 2009. The Ordinance makes it illegal to place, deposit, or discharge
anything except for stormwater runoff into the storm drainage system. There are some "DEQ
approved" exceptions, but overall the Ordinance is very inclusive. The Ordinance provides City
staff with a right -of -entry to private property, including buildings, for enforcement actions when
required. A Schedule of Civil Penalties, reviewed and approved annually by the City Council on
the City's Fee Schedule, details the fines and penalties associated with ordinance violations. The
Ordinance is available to the public online through the City's Stormwater website or
www.online.encodeplus.com/reas/fayetteville-nc/. During the reporting year, the inspectors
issued a total of 15 Notices of Violation (NOV).
5.2 Stormwater System Inventory
The City has previously inventoried the stormwater system that is considered part of the public
system. The inventory contains all stormwater structures and conveyances within the public right-of-
way. The system follows its outfalls into the Waters of the State. The parts of the stormwater system
that originate on private property are not part of the inventory. The inventory is updated with new
structures and conveyances constructed through as-builts submitted to the City at project completion.
Stormwater continues to utilize the stormwater inventory to detect and eliminate illicit connections
and improper disposal and ensure that all structures and conveyances are functioning as intended.
This information is also being used to schedule maintenance by the City of Fayetteville, along with
NCDOT. The stormwater system inventory was instrumental in identifying outfalls to Waters of the
State that need to be monitored as part of the field screening process. The stormwater system
inventory was also proactively utilized to identify existing culverts under roadways that warranted
inspection to detect possible defects or structural problems.
5.3 Inspection / Detection Program
The City investigates possible illicit connections or improper disposal activities to detect and
eliminate them. The City acts as the enforcement agent and has the authority to issue fines.
Additionally, during any enforcement action, the Inspector will educate the violator on stormwater
quality and how similar situations can be avoided in the future. The City followed up on 34
documented work orders as a potential illicit connection or improper disposal. Many of these work
orders involve improper disposal of yard waste, automotive fluids, and sediment, and six involved
restaurants improperly disposing of waste, which is considered an improper disposal according to the
Ordinance. If the potential violation is not obvious, or the need arises to identify a pollutant more
accurately, Stormwater Inspectors will collect samples and conduct water quality monitoring on an
as -needed basis. As detailed later in this Annual Report, the City works closely with the NCDEQ
Land Quality Section's regional office in Fayetteville to correct the sediment situations and issue
possible fines where warranted.
During the stormwater system inventory, the City located and identified all known outfalls to
Waters of the State regardless of their size. As the City has completed the stormwater inventory,
data has been used to identify all major outfalls to Waters of the State 36 inches and greater. The
City has identified 279 major outfalls to Waters of the State during this reporting period. The City
completed an initial dry weather screening of all the major outfalls once their location was
established to create a baseline. Each year, the City aims to screen 80% of the identified outfalls
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
for dry weather flows and evidence to detect and eliminate illicit connections or improper disposal.
However, if inspectors are not able to reach their goal, those not screened the previous year will
be given priority in the following year, and are the first to be screened. Therefore, every major
outfall will be screened every two years. The results of the screenings are recorded in an Excel
spreadsheet and are considered permanent records. Due to staffing shortages throughout the
reporting year, the Inspections team were unable to inspect all the outfalls this year. The
Inspections staff expects to be able to reach their inspections goal for the next fiscal year. During
inspections of the outfalls, the Inspector noted several outfalls had heavy vegetation and iron
bacteria present. Some outfalls also had issues present that were due to construction nearby.
243 of 279 major outfalls were screened for dry weather flows during this reporting year. The
table below reflects the number of outfalls in each of the respective drainage basins.
BASIN NAME
Beaver Creek 1
Beaver Creek 2
Beaver Creek 3
Blounts Creek
Bones Creek
Buckhead Creek
Cape Fear 1
Cape Fear 2
# OF OUTFALLS
34
26
10
48
18
19
16
14
Culvert Inspection Program
BASIN NAME
Carvers Creek
Cross Creek
Little Cross Creek
Little Rockfish 1
Little Rockfish 2
Rockfish
Stewarts Creek
# OF OUTFALLS
10
41
26
12
2
2
1
The City continues to conduct its comprehensive Culvert Inspection Program to monitor the culverts
under existing roadways (both City and NCDOT) within the City limits. Culverts are essential to the
City's infrastructure, as they help control and direct the flow of runoff away from City streets during
rain events. The City has identified over 300 culverts that are inspected yearly. These culverts are
not only inspected for functionality but water quality issues as well.
Inspections are conducted by walking mapped areas of culverts that have been identified. Several
data types are collected during the inspection, such as the culvert's condition, debris/sediment found,
percentage of culvert filled, a severity rating, flowing water, and any obvious water quality issues
(i.e., color, sheen, turbidity). All analysis is done in the field and is addressed with appropriate staff.
If water quality issues are present, samples are collected and tested as needed for various water quality
issues to include: detergents, total chlorine, total copper, pH, turbidity, dissolved oxygen, and
conductivity.
During the reporting year, 316 culverts were inspected. Most of the 316 culverts inspected are in
good condition, with only a few having erosion issues and some heavy vegetation. If maintenance
work is needed in any of the culverts, the appropriate agency responsible for the culvert is notified.
The City Streets Superintendent is notified for City -maintained culverts, and for NCDOT-maintained
culverts, the local NCDOT Maintenance Engineer is notified. The Stormwater Program aims to
identify issues with the City's infrastructure and correct them before becoming a problem through the
Culvert Inspection Program.
Coordination with Fayetteville Public Works Commission (PWC)
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Stormwater and PWC continue to work jointly on promoting water quality issues through their
public relations programs. Additionally, Stormwater forwards potential sanitary sewer leaks to
PWC upon discovery. Likewise, PWC alerts Stormwater anytime there is a sanitary sewer
overflow that would potentially impact the water quality of the City's stormwater drainage system
and, more importantly, local streams. In cases of sanitary sewer overflows, Fayetteville PWC
sends email messages to both the Stormwater Manager and the Stormwater Inspections Supervisor
detailing the specifics of the occurrence. Responses by Stormwater may vary depending on the
nature of the problem and the threat to water quality. Therefore, there is open communication and
continuous dialogue between these two agencies.
During the reporting year, PWC notified Stormwater and NCDEQ of 16 sanitary sewer overflows.
Information on the overflows is as follows:
Spill
Volume in Gallons
Incident
Date
Incident
Location
Fayetteville
City Limits
521
July 30, 2021
1130 Bingham Drive
yes
195,510
August 2, 2021
2838 Coronada Parkway
yes
51,043
August 2, 2021
5245 Mawood Avenue
yes
4,807
August 4, 2021
424 Valmont Avenue
yes
2,550
August 5, 2021
3234 Gables Drive
yes
158
August 10, 2021
4013 Eastdale Drive
yes
10
August 16, 2021
1237 Knotty Elm Loop
yes
25
September 21, 2021
1710 Bridger Street
yes
3,150
October 28, 2021
1101 Lake Mont Court
yes
11,950
December 16, 2021
100 Twin Acres Drive
yes
2,945
December 28, 2021
317 McFayden Drive
yes
425
January 7, 2022
3405 Murchison Road
yes
1,715
May 23, 2022
255 Murray Fork Drive
yes
9
June 2, 2022
6651 Brookshire Street
yes
3,150
June 30, 2022
2607 Cherry Plum Drive
yes
12,600
June 30, 2022
4106 Whisper Wood Drive
yes
Coordination with County Health Department
Stormwater continues to forward discoveries of failing and potentially failing septic tanks to the
Cumberland County Health Department and works with their personnel as needed to resolve the
matter. The number of septic tank failures within Fayetteville's city limits was not readily available
because, at the time of this report, the County had not finished its Annual Report. When issues
arise, they are addressed by repairing the system or connecting to a sanitary sewer. Additionally,
Stormwater has coordinated with the County Health Department to resolve stagnant water and
mosquito problems.
Sanitary Sewer Extension
In addition to the above coordination with the County Health Department, Cumberland County
properties primarily on septic tanks continue to be annexed into Fayetteville. As a result, these
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properties will be converted over time to the sanitary sewer. Thus, the proliferation of septic tanks
in the urbanized area continues to be reduced. Therefore, reducing the opportunity where septic
tanks can fail can impact the local water quality.
5.4 Employee Training
Stormwater has documented "selected" training that each of the Stormwater staff has received over
time. The Inspectors have attended a variety of internal and external classes, training seminars,
and certification programs. Thus, each inspector has had adequate training to effectively inspect
illicit connections, industrial facilities, stormwater SCMs, etc. Inspectors are also given
opportunities for on-the-job training in each of these areas. Some of the major certifications that
the Inspectors continue to receive training on are:
• Illicit Discharge Detection and Elimination Training
• Hazardous Materials Operations/OSHA Level II Chemical Spill Response
• Stormwater Permit and SWPPP Compliance Training
• Stormwater SCM Maintenance Training
• Erosion and Sediment Control Training I and II
• NPDES Certified Stormwater Inspector
• NC Notary Training
• Surface Water Identification Training and Certification
• OSHA 10 Hour Safety Course
Engineering Division staff received training on the Stormwater SCM Reviewer Certification
through North Carolina State University. The team recertifies their certification as it expires. Staff
also attended classes on Geographic Information Systems (GIS) and Low Impact Development
(LID) to stay current with these programs.
Stormwater continues to utilize the online training program to provide annual stormwater pollution
prevention training to City employees. FAST Bus Garage employees and Parks and Recreation
Employees received their training via this online program during this reporting year.
Staff attended a virtual NOAA Office for Coastal Management workshop entitled "Fostering
Behavior Change in Coastal Communities: An Introduction to Community -Based Social
Marketing. This workshop focused on planning and tools to use in order to foster the behavior
change that we want to see in our communities. Participants walked away with worksheets and
ideas on how social media can improve marketing techniques within their respective programs.
5.5 Public Education and Outreach
Ongoing inspection visits of specific businesses such as commercial car washes, carpet cleaners, lawn
care services, charitable car washes, etc. ensure continued education about proper material disposal.
The City provides free educational videos to businesses and other entities who may pose a potentially
high risk for pollution to educate them on stormwater pollution prevention. A description of these
videos can be found in Section 8.9 (Employee / Staff Training) of this report. This reporting year the
Stormwater Educator revamped the Restaurant Brochure and created a Mobile Car Wash brochure
for the Inspectors to hand out when needed. Follow-up investigations and monitoring occur on all
potential illicit connections and improper disposal activities.
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5.6 Public Reporting Mechanism
Information on the City's Stormwater Hotline can be found previously in this Annual Report in
Section 3.5.
Section 6: Construction Site Runoff Controls
6.1 Locally Delegated Program
The City does not currently have a locally delegated erosion control program for administrating a
Construction Site Runoff Controls Program. This program has been and is now provided by the
local office of the NCDEQ Land Quality Section. 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 brought to their attention through complaints
or other sources. The City developed a standard operating procedure (SOP) that provides a step-
by-step outline of how to 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 when needed.
Section 7: Post -Construction Site Runoff Controls
7.1 Post -Construction Stormwater Management Program
During the last year, the City continued to perform engineering reviews of new development plans,
commercial and single-family, based on the City's Stormwater Management Ordinance, Chapter 23
of the City of Fayetteville's Code of Ordinances. Article III, Stormwater Control, requires stormwater
SCMs to control peak discharge on new development and redevelopment so 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. In February 2012, the
City adopted proposed revisions to Article III to make the Ordinance compliant with Phase II post -
construction requirements. The Division of Water Quality (DWQ) subsequently approved the Article.
Based on the State's approval, the City of Fayetteville has 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.
During this reporting year, no changes were made to the Ordinance. Staff continues to review the
Ordinance to ensure that it serves its purpose the way it is written. Additionally, City staff regularly
meets with the Homebuilders Association of Fayetteville (HBAF) as the City's Post -Construction
Stormwater Management Program continues to evolve. Thus, there is an ongoing dialogue with the
development community on the Ordinance, its provisions, and its implementation.
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The above -referenced Stormwater Management Ordinance is available on the City's website as
well as through the Internet at http://www.online.encodeplus.com/regs/fayetteville-nc/.
7.2 Post -Construction SCM Strategies
The above referenced Article III utilizes the "stormwater Design Manual" as developed by the North
Carolina Division of Water Quality. Therefore, local engineers and developers can utilize any of the
SCMs in the Manual to address their post -construction site runoff control requirements. Currently,
the City of Fayetteville utilizes the State's Stormwater Design Manual in its locally delegated Water
Supply Watershed and Phase II Stormwater Programs.
Article III requires the long-term operation and maintenance of structural SCMs by the property
owner. This is accomplished by requiring that the structural SCM be inspected annually and the
inspection report submitted to the City of Fayetteville. The inspection and report are designed to
determine any maintenance needs and how they are to be repaired. Article III requires that the
inspection be performed and the report signed by a qualified professional. The City's Stormwater
Management Ordinance defines a qualified professional as "a qualified registered North Carolina
professional engineer, surveyor, landscape architect, soil scientist, aquatic biologist, or a person
certified by the North Carolina Cooperative Extension Service for stormwater treatment practice
inspection and maintenance."
The exception to the above is in single-family subdivisions where the developer requests that the
City provide the functional maintenance responsibility for the structural SCM. In these cases, the
City performs the annual inspection and determines any functional maintenance needs. If
necessary, City resources provide the needed repairs. The property owners in the subdivision are
still responsible for routine maintenance such as grass cutting, trash removal, and landscaping.
The engineering staff reviewed 59 plans for initial compliance with the Stormwater Ordinance and
Administrative Manual and other local requirements during the reporting year and had 77 plans
resubmitted for review. Additionally, inspections were made at various stages of the SCM
installation process to ensure that the SCM will be functional once the project is complete.
7.3 Deed Restrictions and Protective Covenants
Section 23-32 Minimum Stormwater Quality Control Requirements of Article III of the Ordinance
contains the following provision:
The approval of the stormwater permit shall require an enforceable restriction on
property usage that runs with the land, such as a recorded deed restriction or
protective covenants, to ensure that future development and redevelopment
maintains the site consistent with the approved project plans.
7.4 Operation and Maintenance Plan
Section 23-27 Plan Requirements of Article III of the Ordinance contains the following provision:
A plan for maintenance of privately -owned stormwater management facilities shall
be included as part of the stormwater design plan, which as a minimum shall specify
the following:
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
a. Types of maintenance activities which should be anticipated so that the
proposed drainage system and stormwater management facilities will
operate as designed.
b. The frequency and amount of maintenance that should be anticipated.
c. The equipment that will be required to perform the needed maintenance.
d. Name, address, and telephone number of the party responsible for
maintenance.
Section 23-39 outlines the operation and maintenance agreement
requirements, which must be executed on all privately -owned stormwater
management facilities. The city shall provide a standard agreement for
this purpose.
Please note that Article III of the Ordinance requires that the above Operation and Maintenance
Plan be submitted to the City for review and approval prior to the issuance of a permit for the
construction of the improvements.
7.5 Setbacks for Built -Upon Areas
Section 23-32 Minimum Stormwater Quality Control Requirements of Article III of the Ordinance
contains the following provisions:
For low -density projects:
Built -upon area shall be at a minimum of 30 feet landward of all perennial and
intermittent surface waters draining less than or equal to 640 acres. Built -upon
area shall be at a minimum of 75 feet landward of all perennial and intermittent
surface waters draining greater than 640 acres.
For high -density projects:
Built -upon area shall be at a minimum of 50 feet landward of all perennial and
intermittent surface waters draining less than or equal to 640 acres. Built -upon
area shall be at a minimum of 75 feet landward of all perennial and intermittent
surface waters draining greater than 640 acres.
7.6 Education and Training Program
Stormwater maintains an Administrative Manual that details how stormwater plans are prepared,
submitted, and reviewed by the City. The Manual outlines the entire process from approval of the
construction plans to the stormwater control measures' inspection and approval (SCMs). The Manual
was specifically prepared to educate and train engineers and developers on the new requirements for
Post -Construction Site Runoff Controls. The City engaged a Stakeholder Committee consisting of
local engineers and developers to assist in developing the Administrative Manual.
Since the Administrative Manual became effective in February 2012, local engineers and developers
have used it to prepare and submittal plans to the City. In particular, the Appendices contain numerous
forms required during the design, construction, and closeout phases of the stormwater SCMs.
Additionally, City staff uses the Manual to review and approve all stormwater projects' design,
construction, and closeout. In particular, the Appendices contain numerous form letters that the City
utilizes to approve, disapprove or issue notices of violation for all phases of a stormwater project.
Stormwater also plans to regularly review and update the Administrative Manual to reflect any
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
updates to Article III of the Ordinance (Stormwater Control) or other procedural modifications. The
Administrative Manual is available to the public on the City of Fayetteville Stormwater website
(=.fgyettevillenc.gov/stonnwater).
Section 8: Pollution Prevention and Good Housekeeping for Municipal Operations
8.1 Operation and Maintenance Program
The City provides an extensive network of municipal operations designed to keep these operations
and services functioning properly. These operations directly impact the storm sewer system, such
as storm sewer system maintenance and street sweeping, and indirectly, landscape management
and municipal building maintenance. The cumulative impact of all these operations on the storm
sewer system can potentially be significant, so it is important to have operation and maintenance
programs that consider impacts on the storm sewer system.
First of all, the City has developed a list of its facilities that have significant potential for generating
polluted stormwater runoff. A list of these facilities is provided in Section 8.2. During this past
year and many previous years, the Stormwater Inspectors have inspected each of these facilities
for any situations that may generate polluted stormwater runoff. Any concerns that are found
during the initial inspection are always verified and corrected during follow-up inspections.
Also, the Stormwater Program is in ongoing contact with those other City operations that have the
potential to impact stormwater runoff. In particular, and as outlined in Section 5.4, Stormwater
oversees and coordinates various training opportunities for City employees, the FAST Bus Garage.
Additionally, City employees are reminded about how their actions can impact stormwater runoff
quality through the Public Education and Outreach Program. This reporting year, FAST Bus
Garage and Parks and Recreation were trained using the Online Training system. Due to mass
gathering limits and the limitations of computers with Street maintenance staff, Streets
maintenance staff were given training packets that were signed off once the employee had read
through the packet.
Recycling
Regarding the recycling of household items, the City of Fayetteville's Solid Waste Division
provides a curbside recycling program for its citizens where recyclables are picked up bi-weekly.
All residents are given a 96-gallon cart to use for the disposal of recycling items. Items suitable
for recycling are glass bottles and containers, plastic containers, aluminum cans, steel cans,
newspapers, corrugated cardboard and food boxes, and mixed paper. The recycling program
reduces the amount of waste going to the landfill and reduces the opportunity for these items to
end up in the storm drainage system. The City of Fayetteville also has seven sites where recyclable
items can be dropped off throughout the city, including recreational centers and fire stations.
Household Hazardous Waste
The Cumberland County Household Hazardous Waste (HHW) Facility continues to dispose of
household hazardous waste materials properly. The HHW Facility reported that 12,906 pounds of
household hazardous waste had been collected and processed during the past year.
Used Oil Collection
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The used oil recycling program continued in the private commercial sector. Also, the County Solid
Waste Department provides used oil recycling at its rural container sites and the Ann Street
Landfill and Household Hazardous Waste (HHW) Facility. The HHW Facility reported that 2,254
pounds of motor oil were collected last year.
8.2 Facility Stormwater Pollution Prevention Plans
In previous years, Site Pollution Prevention Plans (SPPP) have been developed for all of the City
of Fayetteville facilities listed in Section 8.3. The SPPPs are used as an implementation guide for
maintaining good housekeeping and reducing stormwater pollution. Topics covered in the SPPP
include best management practices, monitoring, training, inspections, spill prevention/response,
vehicle/equipment cleaning, and preventative maintenance. Pertinent staff from each facility was
trained on their respective Site Pollution Prevention Plan when the plan was developed and
provided to the facility.
8.3 Facility Inventory and Site Inspections
Facility
Industrial
Permit
Physical Address
PWC Wastewater Treatment Plant (Cross Creek)
Yes
601 North Eastern Boulevard
PWC Water Treatment Plant (P.O. Hoffer)
502 Hoffer Drive
PWC Water Treatment Plant (Glenville Lake)
628 Filter Plant Road
PWC Electrical Storage Yard
1035 Old Wilmington Road
PWC Fleet Maintenance Facility
1035 Old Wilmington Road
PWC Electric Generation Plant (Butler Warner)
Yes
2274 Custer Avenue
Fayetteville Regional Airport
Yes
400 Airport Road
Fayetteville Area System of Transit Bus Garage
Yes
455 Grove Street
Solid Waste Facility
455 Grove Street
Building Maintenance Facility & Fueling Station
325 Grove Street
Street Division Facility
335 Alexander Street
Milan Street Storage Yard
400 Milan Road
Marsh Street Storage Facility and Truck Wash
704 Marsh Street
Parks and Recreation Maintenance Facility
602 Ann Street
Parks and Recreation Maintenance / Storage
Facility
214 Gray Street
Waste Industries Transfer Station
Yes
583 Winslow Street
Favetteville Public Works Commission (PWC) Wastewater Treatment Plant (Cross Creek)
The PWC Wastewater Treatment Plant at Cross Creek currently operates under a State Non -
Exposure Permit (NCGNE1080). The Cross Creek Wastewater Treatment Plant was inspected on
June 8, 2022. No apparent issues with the facility were found. The Supervisor of the facility was
emailed the inspection summary dated June 15, 2022.
Fayetteville Public Works Commission (PWC) Water Treatment Plant (P.O. Hoffer)
The Hoffer Treatment Plant was inspected on June 15, 2022. There were no apparent issues at the
facility. The Supervisor of the Hoffer Water Treatment Plant was emailed the inspection summary
dated June 15, 2022.
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NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Fayetteville Public Works Commission (PWC) Electrical Storage Yard
The PWC Electrical Storage Yard was inspected on June 21, 2022, and noted one area of concern.
PWC Environmental Compliance staff was informed of the inspection via a letter from Stormwater
written on June 21, 2022.
Fayetteville Public Works Commission (PWC) Fleet Maintenance Facility
The PWC Fleet Maintenance Facility was inspected by Stormwater on June 21, 2022, and noted
one area of concern. PWC Environmental Compliance staff was informed of the inspection via a
letter from Stormwater written on June 21, 2022.
Fayetteville Public Works Commission (PWC) Electric Generation Plant (Butler Warner)
The PWC Butler Warner Electric Generation Plant currently operates under a State Industrial
Permit (NCS000369). This facility was last inspected by Stormwater on June 7, 2022. There were
no issues found at the inspection time, and the Supervisor was sent an inspection summary via
email on June 13, 2022.
Fayetteville Regional Airport
The Fayetteville Regional Airport currently operates under Certificate of Coverage Number
NCG150056, issued on June 4, 2010. The NC Division of Water Quality reissued the General
Permit (NCG150000) for this Certificate of Coverage on July 1, 2022. This facility was last
inspected by Stormwater on October 13, 2021. There were no discrepancies noted during the
inspection, and the Supervisor was sent an inspection summary via email on October 18, 2021.
Fayetteville Area System of Transit (FAST) Bus Garage
The FAST Bus Garage was inspected on May 17, 2022. During the inspection, the inspector noted
several items of concern. The Facility Supervisor was notified of the inspection summary via letter
dated May 31 2022.
Solid Waste Facility
The Solid Waste Facility is attached to the FAST Bus Garage and was inspected on May 17, 2022.
During the inspection, the inspector noted several items of concern. The Facility Supervisor was
notified of the inspection summary via letter dated May 17, 2022.
Building Maintenance Facility and Fueling Station
The Building Maintenance Facility and Fueling Station were inspected on June 27, 2022. During
the inspection, the inspector noted several items of concern. The Facility Supervisor was notified
of the inspection summary via letter dated July 6, 2022.
Street Division Facility
The Street Division Facility was inspected on April 25, 2022. During the inspection, the inspector
noted one item of concern. The Streets Division Superintendent was notified of the inspection
summary via a letter dated April 28, 2022.
Milan Road Storage Yard
The Milan Yard Facility was inspected on June 27, 2022, and one concern was noted during the
inspection. The Superintendent of Street Maintenance notified the inspection summary via a letter
dated July 6, 2022.
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Marsh Street Storage Facility and Truck Wash
The Marsh Street Storage Facility was inspected on April 25, 2022, and one concern was noted
during the inspection. The Superintendent of Street Maintenance was notified of the inspection
summary via a letter dated April 28, 2022.
Parks and Recreation Maintenance Facility on Ann Street
The Ann Street Facility was inspected on June 27, 2022. During the inspection, the inspector noted
several items of concern. The Facility Supervisor was notified of the inspection summary via letter
dated July 6, 2022.
Parks and Recreation Maintenance / Storage Facility on Gray Street
The Gray Street Facility was inspected on June 27, 2022. During the inspection, the inspector
noted several items of concern. The Facility Supervisor was notified of the inspection summary
via letter dated July 6, 2022.
GFL Transfer Station
The GFL Transfer Station currently operates under a State Non -Exposure Permit (NCGNE0744).
The GFL Transfer Station was inspected on June 13, 2022. During the inspection, the inspector
noted several items of concern. The Facility Supervisor was notified of the inspection summary
via letter dated June 15, 2022.
8.4 Municipal Spill Response Procedures
Spill Response Procedures have been developed and incorporated into the previously mentioned
Site Pollution Prevention Plans the facilities listed below. Within the SPPPs, the municipal spill
response procedures for each facility have been identified and outlined.
Spill response and prevention training for Street Maintenance and Parks and Recreation is
generally conducted alongside good housekeeping training. Due to COVID-19, all training was
conducted either online or through packets to satisfy mass gathering safety requirements.
Spill Prevention, Control, and Countermeasure (SPCC) Plans have been developed for the
following:
• Milan Road Storage Yard located at 400 Milan Road
• Marsh Street Facility located at 704 Marsh Street
• Street Maintenance and Traffic Services Facility located at 335 Alexander St
• Building Maintenance, Parks and Recreation, and Fueling Station, located at 280 Lamon
St
• Parks and Recreation Maintenance Facility located at 602 Ann Street
• Parks and Recreation Maintenance/Storage Facility located at 214 Gray Street
• PWC Wastewater Treatment Plant (Cross Creek) located at 601 North Eastern Boulevard
• PWC Water Treatment Plant (P.O. Hoffer) located at 502 Hoffer Drive
• PWC Water Treatment Plant (Glenville Lake) located at 628 Filter Plant Road
• PWC Electrical Storage Yard and Fleet Maintenance Facility located at 1035 Old
Wilmington Road
• PWC Electric Generation Plant is located at 2274 Custer Avenue.
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As part of these SPCC Plans, Facility Maps showing the onsite stormwater system and flow
directions have been developed to control any spills that might occur.
8.5 Vehicle and Equipment Cleaning Operations
The Marsh Street Truck Wash is used to wash trucks, street sweepers, other heavy equipment, etc.
The facility was constructed with sumps in the drain inlets where sediment will settle out and later
be removed and disposed of properly by the City's Jet -Vac. The system also drains to an oil/water
separator where the discharge is treated. Finally, the wash water is eventually discharged to the
sanitary sewer, not the storm drainage system.
8.6 BMP Evaluation for Streets, Roads, and Public Parking Lots Maintenance
Based on the City's previous evaluation of BMPs in 2016 to reduce polluted stormwater runoff
from municipally -owned streets, roads, and public parking lots within the corporate limits, the City
continues to follow the select BMPs to implement fully:
• Street Sweeping
• Yard Waste Containerization
• Loose Leaf Collection
• Spill Response (HAZMAT)
• Person Street "Greenstreet" Streetscape
• Public Parking Lots
• Animal Control
• Dog Park
• Coordination with NCDOT
Each of the above BMPs is detailed in Section 8.7.
8.7 BMP Implementation for Streets, Roads, and Public Parking Lots Maintenance
Street Sweeping
Street Sweeping operations are an effective best management practice for water quality, in that it
removes potential pollutants from entering the storm drainage system during rain events. The
Stormwater Program now provides all funding for the City's street sweeping operations. The City
Street Maintenance Division performs this service on City streets and some NCDOT roads, including
selected thoroughfares, through a maintenance agreement. Regarding the street sweeping schedule,
the thoroughfares are typically swept at night due to less traffic. Streets are swept ten (10) times
during the year or about once per month except during the heart of winter. The sweeping process
requires a water spray that does not work well in cold temperatures. The thoroughfare schedule
includes NCDOT streets through the agreement previously referenced. Residential/subdivision
streets are swept four (4) times per year plus shortly behind the leaf collection as close as possible.
Thus, most residential / subdivision streets are swept five (5) or six (6) times per year. During the
past reporting year, street sweepers removed 5,636 tons of debris from City's streets.
Yard Waste Containerization
The City's Solid Waste Division collects containerized yard waste once per week throughout the
year. Citizens can purchase a brown yard waste container through Solid Waste or use clear plastic
yard waste bags or other approved containers to containerize debris. Containerization of yard
waste and debris helps the city look appealing and prevents this material from flowing into the
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storm drainage system. Details regarding yard waste pickup are outlined in Chapter 22, Article I
of the City's Solid Waste Ordinance. Stormwater promotes yard waste containerization through
its educational program to help prevent stormwater pollution.
Loose Leaf Collection
Stormwater promotes the City of Fayetteville's loose-leaf collection. City residents can place their
loose leaves and pine straw at the curb for pickup during the fall leaf season during specific
collection periods. This program provides the timely removal of the leaves before they are washed
into the storm drainage system. Stormwater coordinates with Solid Waste to educate citizens on
the proper placement of their loose yard waste to ensure it does not reach the drainage system. At
other times throughout the year, Chapter 22, Article I of the City's Solid Waste Ordinance, requires
containerization of all leaves for efficient and effective pickup. Again, the containerization
requirement keeps the leaves from being washed down streets and other conveyances and into the
storm drainage system.
Spill Response
The Hazardous Materials (HAZMAT) Team continues to provide regional emergency spill
response. The HAZMAT unit members are skilled firemen and certified in hazardous materials
by the State of North Carolina. Firefighters who are part of the HAZMAT team also receive a
wide variety of training to handle different hazardous materials and situations once they are
assigned. The State of North Carolina also contracts the HAZMAT team as one of seven Regional
Response teams. The team is in charge of responding to incidents that cover a twelve -county area.
Through these response teams, counties in the region receive the necessary help and materials to
handle significant HAZMAT calls.
HAZMAT responds anytime there is an opportunity where hazardous materials or substances
might be discharged to the environment. The Stormwater Program is concerned about those
incidents where hazardous materials or substances might be discharged into the storm drainage
system and possibly into the Waters of the State. HAZMAT responded to 34 documented spills
or releases within the City Limits that could impact the storm drainage system during the reporting
year.
Stormwater takes an active role in any HAZMAT spill response where material could potentially
enter the drainage system and, eventually, Waters of the State. Stormwater will plug any drainage
lines in the vicinity of a spill where the spill might enter a portion of the drainage system. If
necessary, Stormwater will contact an environmental firm qualified to clean materials out of the
storm drainage system. Stormwater coordinates the efforts to ensure that hazardous materials do
not reach the Waters of the State.
Person Street "Greenstreet" Streetscape
During the reporting year, Fayetteville Technical Community College, City of Fayetteville Public
Services (Engineering and Stormwater) and Fayetteville -Cumberland Parks and Recreation
partnered to replant and revitalize some of the devices used in the devices for the Person Street
Greenstreet. Grasses and other wetland friendly plants were planted in the bio-filtration bump -
outs, while mulch and trees were replaced in some of the landscape beds. Person Street is located
upstream from Blount's Creek, and discharges its runoff to the creek. Blount's Creek is
biologically impaired and benefits from improved water quality that results from the incorporated
devices. The Greenstreet's design incorporates innovative Low Impact Development (LID)
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devices, which aids in runoff reduction and pollution reduction. Devices such as linear bio-
filtration bump -outs, Silva Cells, and an experimental undersized permeable pavement design are
used in this project, and meet the LID volume reduction and quality improvement goals for this
project.
The City continues to maintain the educational signs that describe the stormwater control measures
along the Greenstreet.
Photographs 6 & 7: Person Street Green Street Revitalization
Animal Control
The City of Fayetteville follows Chapter 3, Article II of Cumberland County's Animal Control
Ordinance within the City limits. This Ordinance requires owners of animals to immediately
dispose of animal waste from any public or private property properly. Violators of this Ordinance
can face violation notices and fines, leading to the loss of animals (until fees are paid) for habitual
offenders. This ordinance helps our community to look better, and it has a positive impact on
water quality.
Dog Park
A trend in many communities is to set aside a public place where owners can bring their dogs for
recreation. Along those lines, Fayetteville operates the Riverside Dog Park near the Cape Fear
Botanical Gardens. The park is a joint community involvement effort between the Bark for a Park
committee and Fayetteville / Cumberland Parks and Recreation. There are two designated areas, one
for dogs smaller than twenty-five pounds and one for larger dogs. All dogs in the park are on a leash
and have licenses and tags on their collars.
Additionally, dog owners are educated and encouraged to dispose of their dog's waste properly. The
park is supplied with dog waste bags to help promote this behavior. Proper dog waste disposal makes
for a better park, but it also improves the stormwater runoff quality leaving the park.
Coordination with NCDOT
Stormwater continues to coordinate with the local NCDOT on various stormwater activities such as
street sweeping and ditch maintenance programs and issues related to their NPDES permit
implementation.
8.8 Operation and Maintenance for Municipally Owned or Maintained Structural Stormwater
SCMs and Storm Sewer System
The City of Fayetteville page - 23 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
The City's operation and maintenance program for structural stormwater SCMs and the storm
sewer system (including catch basins, the conveyance system, and structural stormwater controls)
continue to highlight the following components and is detailed below:
• Structural Stormwater SCMs
• Maintenance Transfer Program
• Drainage Inspection
• Drainage System Maintenance
• Limited Creek Cleaning Program
• Beaver Management Program
During the reporting year, the Stormwater staff reviewed several Standard Operating Procedures
(SOP) for various activities involving the inspection and maintenance of the stormwater drainage
system. The SOPS are as follows:
• Storm Drainage System Maintenance and Inspection
• Catch Basin Maintenance and Inspection
• Drainage Ditch Maintenance and Inspection
Structural Stormwater SCMs
The City of Fayetteville owns or maintains several structural stormwater SCMs throughout the
City. The following is a list of those structural stormwater SCMs, the type of SCM, and the entity
responsible for maintenance:
Structural SCM Location
Type
Maintenance
Responsibility
Airborne and Special Operations
Rain Garden,
City of Fayetteville
Museum
Constructed Wetland,
and Bioretention Areas
Fayetteville Regional Airport
Dry Extended
Airport Grounds
Detention Basin and
Maintenance
Grassed Swale
Swainey Avenue
Dry Extended
City of Fayetteville
Detention Basin
Butler Warner Generation Plant
Wet Detention Basin
Fayetteville PWC Grounds
Maintenance
Waddell Drive
Wet Detention Basin
Fayetteville PWC
Maintenance
Thelbert Drive
Wet Detention Basin
Fayetteville PWC
Maintenance
Fayetteville PWC Electrical Storage
Sediment Basin
Fayetteville PWC Grounds
Yard
Maintenance
Winslow Street Transfer Station
Wet Detention Basin,
Waste Management
Forebay, and Sediment
Baskets
Person Street "Greenstreet" Streetscape
Linear Bio-Filtration
City of Fayetteville
Swales, 13 Bio-
Retention Bump -Outs,
Silva Cells, Permeable
The City of Fayetteville page - 24 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Pavement, and Filterra
Bioretention Systems
James Creek North
Extended Dry
City of Fayetteville
Detention Basin
Transit Multi -Model Facility
Rain Harvesting for
Fayetteville Area Transit
Irrigation
System (FAST)
Rosehill Road Aquatic Center
Extended Dry
City of Fayetteville
Detention Basin
Fire Station #12 Hope Mills Road
Wet Detention Basin
City of Fayetteville
Westover Aquatic Center
Extended Dry
City of Fayetteville
Detention Basin
College Lakes Aquatic Center
Extended Dry
City of Fayetteville
Detention Basin
Lake Rim Aquatic Center
Extended Dry
City of Fayetteville
Detention Basin
Fayetteville Skate Park
Extended Dry
City of Fayetteville
Detention Pond
Legend Avenue Phase I
Wet Detention Pond
City of Fayetteville
Legend Avenue Phase II
Extended Dry
City of Fayetteville
Detention Pond
Rayconda Connector (Pinewood
Wet Detention Pond
City of Fayetteville
Terrace)
The Stormwater Inspectors inspect each of the above SCMs on an annual basis. The Inspectors
utilize the BMP Maintenance and Inspection Checklist as contained in Appendix 4-3 of the City
of Fayetteville's "Administrative Manual for Implementation of the Stormwater Control
Ordinance" for that specific structural stormwater SCM.
The annual maintenance on each SCMs is performed by personnel from the City Department or
other responsible party as listed above. First of all, maintenance activities focus on issues as
outlined in the above -referenced Inspection Report. Additionally, the maintenance personnel
perform those maintenance tasks as outlined in the applicable Maintenance Tasks and Schedule
contained in Appendix 4-2 (SCM Maintenance Plan) of the City of Fayetteville's "Administrative
Manual for Implementation of the Stormwater Control Ordinance."
Regarding the innovative Low Impact Development (LID) devices anticipated as part of the Person
Street "Greenstreet" Streetscape, Operation and Maintenance Manuals will be developed as part
of the design and construction process. Once installed and properly functioning, these structural
stormwater SCMs will be maintained by the Stormwater Program accordingly.
Maintenance Transfer Program
Chapter 23 (Stormwater Management), Article III (Stormwater Control) of the City of Fayetteville
Code of Ordinances contains provisions that allow developers of single-family residential
subdivisions to transfer functional maintenance responsibility of their SCMs to the City. This
transfer takes place once the SCM has been constructed and fully functional for at least one year.
The ground cover and required plant life must also be fully established before transferring
functional maintenance responsibility. The homeowner association will own the property where
the SCM is located. Therefore, the homeowner association will have responsibility for the routine
The City of Fayetteville page - 25 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
maintenance of the facility. Routine maintenance includes the cutting of the grass, trash removal,
and upkeep of the landscaping. The homeowner association is also required to remove any
invasive plant life, such as cattails, hydrilla, etc.
The following is a list of those structural stormwater SCMs and the type of SCM that have been
transferred to the City for functional maintenance:
Structural Stormwater SCM
Type
Lakedale Ph
Wet Detention
Winberry Subdivision
Dry Extended Detention Basin
Stonegate Section 3 Basin A
Wet Detention
Stonegate Section 3 Basin B
Wet Detention
Tullamore Square
Dry Extended Detention Basin
Knolls on Cliffdale Basin 1
Wet Detention
Colinwood Place and Park
Wet Detention Basin
The Stormwater Inspectors inspect the dry extended detention basins in the James Creek North
and Winberry subdivisions annually. The Stormwater Inspectors use the SCM Maintenance and
Inspection Checklist, Dry Extended Detention Basin as contained in Appendix 4-3 of the City of
Fayetteville's "Administrative Manual for Implementation of the Stormwater Control Ordinance"
to perform these inspections.
Maintenance of these dry extended detention basins is conducted by Stormwater Program
personnel based on issues highlighted in the above -referenced Inspection Report. In addition to
addressing those maintenance issues observed during the annual inspection, Stormwater Program
personnel perform the maintenance tasks as outlined in Dry Extended Detention Basin,
Maintenance Tasks and Schedule contained in Appendix 4-2 (SCM Maintenance Plan) of the City
of Fayetteville's "Administrative Manual for Implementation of the Stormwater Control
Ordinance."
Drainage Inspection
Stormwater originally and continues to make routine inspections of the drainage system based on
drainage complaints. Stormwater inspects the problem area, assesses the problem's source, then
reports the issue to the appropriate agency (City Street Maintenance Division, City or County
Engineering, NCDOT, etc.). Stormwater maintains a computerized database of open Work Orders
until the problem is resolved. This complaint -driven process was greatly enhanced based on the
results from the stormwater inventory. Therefore, based on the inventory data, the inspection and
maintenance of the storm drainage system has become more efficient, effective, and systematic.
Additionally, all members of the City's Street Maintenance Crews, including the Leaf Cleaning
Crews, have been instructed to observe the storm drainage system as they carry out their daily
responsibilities in the field. Based on their field observations, they report any potential maintenance
needs through the proper channels. The Inspectors in the Construction Management look for any
drainage system maintenance needs as they inspect construction projects involving new and
replacement/upgraded infrastructure throughout the City.
Drainage System Maintenance
The City of Fayetteville page - 26 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
During the last year, the City Street Maintenance Division reported that more than 76,379 linear feet
of the drainage system were cleaned by the Jet -Vac process, as documented in the City's work order
system. This maintenance practice provides benefits by removing sediments and other pollutants that
might otherwise be washed downstream during heavy rain. During this reporting year, the Streets
Division and Stormwater Program continued to use the RovverX Long -Range Pipe Inspection
Crawler to assist in drainage pipe inspection. This camera system continues to aid staff in detecting
issues (damaged pipes, problems with pipe joints, and potential illegal connections) within the City's
piped drainage infrastructure. The camera has greatly enhanced system maintenance and upkeep
while allowing for a timelier resolution to detected problems. Also, the Streets Division and
Stormwater Program continue to use pole cameras to quickly and effectively address minor issues or
concerns with the storm drainage system.
Limited Creek Cleaning Program
The Stormwater Division has a Limited Creek Cleaning Program, which essentially removes trash,
debris, and undergrowth from the existing ditches, channels, and creek banks to proactively
remove potential threats to the public right of way or city -owned infrastructure. Crews may
perform limited vegetation maintenance to ensure that the character of the channel is maintained;
however, the program is not intended to increase the capacity or improve any conveyance
characteristics of the channel by excavation or filling; thus, the name Limited Creek Cleaning
Program.
Beaver Management Assistance Program
The Beaver Management Assistance Program (BMAP) is designed to remove debris and obstructions
in local waterways. Through a Cooperative Service Agreement, the City of Fayetteville partners with
the US Department of Agriculture Wildlife Services (USDA APHIS WS) to provide City residents
with these needed services to reduce or eliminate property damage and threats to human health and
safety caused by beaver activities within the City limits. The Beaver Management Assistance
Program effectively removed 58 beavers and 30 beaver dams during the reporting year.
8.9 Employee / Staff Training
During the reporting year, Stormwater staff continued to utilize the training packages "Storm
Watch" and "Storm Warnings" that cover Stormwater Pollution Prevention to train City employees
and make the packages available to local businesses. This past year employees from Street
Maintenance, Parks and Recreation, and the FAST Bus Garage, participated in the Good
Housekeeping training for City Employees. Stormwater's goal is that all departments that have the
potential to pollute stormwater will receive training regularly. The materials cover the following:
o Good Housekeeping and Spill Prevention
o Vehicle and Equipment Washing, Fueling, and Repair
o Vehicle and Equipment Maintenance
o Spill Reporting and Response
o Street Maintenance
o Outdoor Storage and Management of Materials and Wastes
o Landscaping and Lawn Care
o Outdoor Manufacturing
o Dust Producing Processes
The City of Fayetteville page - 27 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
It should be noted that all current Stormwater Inspectors have a "Stormwater SCM Inspection and
Maintenance Certification" as required by the North Carolina Department of Environment and
Quality (NCDEQ) and the City of Fayetteville.
Section 9: Industrial Facilities Evaluation and Monitoring
9.1 Industrial Facility Inventory
The City receives a listing of all the facilities in the City of Fayetteville that have an Industrial
NPDES Stormwater Discharge Permit from the local office of NCDEQ. This listing also includes
those EPA Section 313 facilities located in the City of Fayetteville. The inventory comprises those
facilities supplemented by field findings, Yellow Pages review, and other sources. The inventory
of industries is updated annually based upon receipt of the latest listing of Industrial NPDES
Stormwater Discharge Permits from the Fayetteville Regional Office of NCDEQ. Currently, the
City has 22 permitted industries on the industrial list that are inspected annually. The number of
facilities have reduced in numbers due to closures of permitted facilities.
9.2 Industrial Facilities Inspection Program
The City has developed a standard operating procedure (SOP) used by all its inspectors to inspect
industrial facilities. The SOP provides a step-by-step outline of how the inspection and any needed
follow-up actions are to occur. Additionally, the City has updated a previously developed standard
Inspection Form using the EPA Municipal Separate Storm Sewer System (MS4) Program
Evaluation Guidance Manual. The new form is used and filled out by all of the Inspectors
conducting inspections of industrial facilities. The Inspection Form contains an extensive
checklist, including the following:
o Review of the Stormwater Pollution Prevention Plan (SWPPP)
o Review and inspection of all activities both inside and outside of the facility
o Observations at all stormwater outfalls
o SCMs are reviewed and their effectiveness assessed
o History of any spills or leaks are reviewed
o Photographs are taken of the facility and its activities
Industrial inspections are conducted on an annual basis. Industries have a higher potential to cause
environmental harm and impact stormwater runoff, therefore, they are prioritized and inspected
thoroughly. The Stormwater Inspector completes an industrial site inspection checklist report as
described above for each site inspected. The inspection checklist information is transferred to an
Excel spreadsheet as a permanent record. For the time period of July 1, 2021, to June 30, 2022,
the City inspected all 22 of the above -referenced inventory facilities. If problems are noted during
the inspection, the facility is notified of the deficiencies and instructed to make the necessary
improvements to achieve compliance. Such facilities' compliance status is indicated as "pending"
in the inventory to note that the facility will need to be re -inspected later to determine compliance.
During this reporting year, Stormwater inspected Valley Proteins, an EPA Section 313 facility
within the City's permit jurisdiction. This facility is located on Martindale Drive. Valley Proteins
was inspected on June 22, 2022, and was found to be in compliance with its Certificate of
Coverage. Valley Proteins is also considered an EPA Section 313 facility due to its containment
measures for the bulk storage of its chemicals. All chemical storage is properly stored and kept
The City of Fayetteville page - 28 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
out of the way to prevent illegal discharge to the storm drainage system. This property will
continue to be inspected by the City in the future to ensure continued compliance.
As a supplement to the industrial inspections and in a continuing effort to improve local water
quality, the City has continued inspecting local area restaurants to ensure that they are practicing
good housekeeping, particularly in the disposal of their cooking waste byproducts (grease). The
Stormwater Inspector completes a site inspection checklist report for each restaurant inspected,
similar to the industrial inspections. The inspection checklist information is transferred to an Excel
spreadsheet as a permanent record. If the restaurant is in non-compliance, the inspector will issue
a Notice of Violation and guide how to remedy the problem. For the time period July 1, 2021, to
June 30, 2022, the City inspected 516 restaurants. There were a few restaurants that were found
to be deficient in good housekeeping practices. The issues found were trash on the ground, leaking
tallow bins, and grease on the ground. In each instance, the Stormwater Inspector worked with
the restaurant to have the incident corrected. In 6 cases, a Notice of Violation was issued.
Restaurants were given a period of time to clean up the issues, and all were brought into
compliance.
When restaurant facilities are inspected, the Stormwater Inspectors provide them with educational
materials and notify the owners of educational and training resources available to them through
the City. Additionally, if any unresolved issues are found, a notice of violation (NOV) and possible
fines can be issued.
9.3 Evaluation Measures
The Stormwater Inspector visually monitors the receiving waters at the industrial discharge point
during an industrial inspection. The Inspector checks to see if the discharge has an abnormal color,
odor, or sheen on the surface. The inspector also collects a sample of the discharge for visual
observation and determines if any substances are suspended in the water column. If necessary,
photographs are taken of the outfall. If evidence of polluted runoff is suspected, a sample of the
discharge is collected and further analyzed by an approved independent local laboratory for several
pollutant parameters. If pollutants are verified in the runoff, the City will immediately notify the
facility and require actions to remedy the situation.
As a supplement to the major outfall inspections described earlier in Section 5.3
"Inspection/Detection Program" of this Annual Report, the City also monitors and inspects outfalls
(12 inches and larger) associated with industrial activities. These inspections ensure industrial
facilities are not discharging any potential pollutants to the City's storm drainage system or Waters
of the State. Like the major outfall inspections, the Stormwater Inspector completes an outfall
inspection checklist report for each industrial outfall inspected. The inspection checklist
information is transferred to an Excel spreadsheet as a permanent record. For the time period July
1, 2021, to June 30, 2022, the City inspected 35 industrial outfalls. Some minor maintenance
issues such as heavy sediment in catch basins, erosion, and ditch line maintenance were noted. No
other significant water quality issues were observed.
Section 10: Water Ouality Assessment and Monitoring
10.1 Water Quality Assessment and Monitoring Plan
The City of Fayetteville page - 29 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
The City's current Water Quality Assessment and Monitoring Plan was reviewed and approved by
the NC Division of Water Quality via a June 12, 2013 email. The Plan details monitoring activities,
parameters, and data assessment required by the Permit. The Plan specifies water quality
monitoring activities to be performed quarterly at six (6) stream sites on major watersheds in the
City. Monitoring is conducted for chemical and physical parameters on a fixed interval monitoring
basis. Each calendar quarter (specifically, the 2nd Wednesday of the first month of each calendar
quarter) is targeted for monitoring at each monitoring location. Additionally, the samples will be
collected approximately 72 hours (48 to 96 hours) after rainfall has ceased. This will allow the
streams to return to their normal dry weather flow depth following the rainfall.
Table 10-1 lists the water quality parameters sampled at the monitoring sites.
Stormwater staff maintains a Sample Collection Guidance Manual for the Water Quality
Assessment and Monitoring Program. The document outlines detailed procedures and consistent
methods for obtaining samples for the quarterly ambient in -stream monitoring program.
Table 10-1: Water Quality Monitoring Parameters
Parameter
STypee
Frequency
Temperature
In -situ
Quarterly
Turbidity
In -situ
Quarterly
Dissolved Oxygen
In -situ
Quarterly
pH
In -situ
Quarterly
Conductivity
In -situ
Quarterly
Total Suspended Solids
Grab
Quarterly
Total Nitrogen
Grab
Quarterly
Total Kjeldahl Nitrogen
Grab
Quarterly
Ammonia (NH3)
Grab
Quarterly
NO2 + NO3
Grab
Quarterly
Total Phosphorous
Grab
Quarterly
Chromium (Cr)
Grab
Quarterly
Copper (Cu)
Grab
Quarterly
Lead (Pb)
Grab
Quarterly
Zinc (Zn)
Grab
Quarterly
Fecal Coliform
Grab
Quarterly
The City of Fayetteville page - 30 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Table 10-2 below contains a description and location of the six (6) monitoring sites in the
Monitoring Plan.
Table 10-2: Description of City of Fayetteville Water Quality Monitoring
Sites
Site
Stream
Location
BLT
Blounts Creek
Culvert at Campbell Avenue
XCK
Cross Creek
Culvert at Hillsboro Street
BVR
Beaver Creek
Bridge at Cumberland Road
BCK
Buckhead Creek
Culvert at Coventry Road
LRC
Little Rockfish Creek
Bridge at Lakewood Drive
CCK
Carvers Creek
Culvert at Ramsey Street and 1-295
The City of Fayetteville page - 31 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
Figure 10-1 shows a map and location of the six (6) monitoring sites within the Monitoring Plan.
Fignre2-I= Fa}"&-ftwril le Jar isdictie n and DraioageBasins
Ihr Cite ofFav-ettr;iUe
'4 SN mit`o.N-C-SO092a6-StortnwaterFtan
Figure 10-1: Fayetteville Water Quality Monitoring Sites
paw 4-
MY M17
The City of Fayetteville page - 32 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
10.2 Water Quality Monitoring Implementation
Stormwater has continued the in -stream ambient water quality monitoring program initiated in the
fall of 2005 when four sites located along Blounts Creek, Cross Creek, Beaver Creek, and Buckhead
Creek were chosen for in -stream ambient water quality monitoring. These sites were selected to avoid
potential duplication of other monitoring activities by NCDEQ, Fayetteville Public Works
Commission (PWC), the Middle Cape Fear River Basin Association, and the US Geological Survey
(USGS).
In 2010, Stormwater evaluated the in -stream ambient water quality monitoring program and
compared it to Charlotte, North Carolina. As a result of that evaluation and to get a better picture
of the overall water quality throughout the City of Fayetteville, the City added two new sampling
locations to the previous four locations. It started collecting samples in August of 2010. The two
newer sites are located along Little Rockfish Creek and Carvers Creek. With the addition of the
two locations, water quality samples are now collected and analyzed in each of the City's major
watersheds. Figure 10-1 shows the location of the six monitoring sites. During this reporting year,
Stormwater collected samples from each of the six sites quarterly. The in -stream ambient water
quality monitoring program results are shown in Figure 10-2 for the fiscal year 2021-2022.
The parameters shown in the table's top portion are collected and reported in the field during the
sample collection. The parameters shown in the middle of the table are reported from the
laboratory following the sample's analysis. The parameters shown at the bottom of the table are
observations made by the field personnel during sample collection.
In reviewing the results from last year (see Figure 10-2), we observe that some indication of
pollution is present at each of the six in -stream monitoring stations. In an urban setting, this is to
be expected. Pollutants of concern include Nutrients (as indicated by Nitrogen and NO2+NO3)
and Fecal Coliform. These parameters are detected in many of the samples. Also, elevated levels
of Turbidity and Total Suspended Solids were observed in Beaver Creek during the January 2022
sampling event. This may be attributable to increased construction in the Fayetteville area due to
an improving economy and large transportation projects. The Stormwater Program will pay close
attention to this and coordinate with the NCDEQ Land Quality Section's local office, administering
the City's Construction Site Runoff program. Since completion of the Coventry Road Storm
Drainage Improvements, Fecal Coliform samples have spiked in Buckhead Creek. The inspections
staff continue to monitor the area to determine the source.
The City of Fayetteville page - 33 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
RLODNTSCREEK
CROSECREEK
REAVERCREEK
RNCKHEADCREEK
LI ItEROCKFISH CREEK
CARVERS CREEK
BLT-001
BLT-
BIT .1
BLT-
XCK-001
XCK-002
XCK-003
XCK-004
RVR-001
all .1
BVR-.1
BVR-
RCK-
BCK-
BCK-.1
BCK-004
-.1
IRC-002
LRC-003
IRC-004
CC1-001
CCK-002
CCK-00I
CCK-004
SAMPLE BATE
7115121
11-2-21
2-162=
611I2022
7I15I2
11-2-21
2-16222
6/1I2022
7115/21
11-2-21
2-162022
6/112022
7-15-21
11-2-21
2-16-2022
91J=
]/15J21
11-2-21
2-16-2022
6/1/2022
1/15/21
11-2-21
2-1F2022
6/1/2022
&TIME
@940
NBINB
72+
@10.10
NBINC
72+
@1020
NB/RT
72+
@855
NWJWCA
72+
@925
NBINC
72+
@9.50
NBINC
72+
@1000
NBIRT
72+
@9.33
JRINBICA
72+
@1050
NBINC
72+
@ 11 20
NB/NC
72+
@11=40
NBIRT
72+
JtVNB/CA
72+
@10.10
NBINC
72+
@1840
NBINC
72+
@11.so
NBIRT
72+
JWNBICA
72+
@10.30
NBINC
72+
@1105
NBINC
72+
@1125
NBIRT
72,
JRfNBICA
72+
@8.55
NBINC
72+
@920
NBINC
72+
@8=45
NBIRT
72+
JRINBICA
72+
Analyst
Haurs since last rainfall
Air Temp, F.
774
79.E
629
611
10.99C
7.85C
22.55G
2341 C
746
796
61.9
603
10 88 C
654C
2331C
23.94C
788
813
624
61.7
11 38 C
775C
2444C
2156C
784
746
633
626
12.17C
10.75C
2441
2031
773
758
64.1
ED3
12.80C
757C
22.8C
239C
755
79.8
636
614
11.11C
863C
22.35C
2152C
Water Tempt
Turbidity,Nl
0
6.18
25
349
30.9
18 86
78
6.%
0
651
29
121
281
1221
65
6.85
0
5 03
53
492
0
1092
92
5.47
2.1
63
16
759
0
971
74
737
0
5.4
5.9
615
382
11.as
95
5 73
4.4
5.34
2.1
0
34
922
0
475
Dissolved Ovygen, %
PH
682
679
6.53
68
6.89
559
642
654
528
664
6.31
649
5.51
644
56
594
606
5.99
588
5.59
62
6.16
6D5
536
Cand-stay, pmhas7cme
o Us
0.054
a os5
0.08]
0.06
0.055
a o68
a 17
0051
0.064
0082
0669
0.064
0 018
0.086
0024
0.02E
1 0029
0.035
1 0027
0.054
1 0061
D. D73
0102
GRAB SAMPLE
HLT-001
RLT-0
HLT-0
RLT-0
XCK001
XCB4
XCK
XCK4104
RVR-0
BVR-0W
RVR-0
BVR-0
BCK
BCK
RCK
BCK9114
LRC4101
LRfg12
LRf:DD3
Lfl l
CCKD01
CCK
CCK4103
CCK
Ammonia(NH3), mYL
'a too
430
<00100
58
0.183
74
<00162
400
<0.100
220
'a too
80
<0.162
73
11112
<1a
11111
74
11111
1so
11112
51
112
200
11111
250
11111
350
11162
77
11112
1500
11111
220
11111
98
11112
41
022E
500
11111
260
11111
52
11112
32
<0.162
I'll
Facal Coliform
Tatal Nitrogen, mglL
-a1.049
034E
0 349
1.1 1
0 719
1.592
0.39
a 972
0 272
0.869
0.189
1.512
0.77
1.fi05
0.243
1 078
0378
1.159
0 459
1 639
0877
1 645
0.4
2-2.219
1.328
1519
2-2.376
1.98
1.44
0 94
0 24
0 929
0 229
1.532
0 17
1 561
0 344
0-2
0202
085,
a 159
1532
0 77
1 036
0253
N-NO3, mg/L
Total phosphorous, mg/L
co W4
31
0.08E
111
0 031
3.10
0.041
26
<0 024
2.62
0.083
2
<0024
1.so
0.048
<602
<0 024
7.12
01
554
0035
4.57
1151
76
<0.024
1.88
0111
211
0.034
364
0113
26
10.024
684
1112
4.69
0.024
260
0111
734
10.021
422
0111
3.3
0.027
330
1141
541
T56, mg/L
TKN, mg/L
coGoo
<D DD350
<0.soI
<0.00350
<0600
10 o0350
104
<0.00350
'a Gas
<0 00350
<0.600
<0.00350
<0600
,o II 0
12
00035
'a so
,o 00350
<0600
<0 00350
'a so,
,0 00350
0983
<0 0035
<a E00
<0.003 B
""'
10 00350
<I 111
<0.00350
1T4
<0 00351
<0.111
<0.00310
<0600
<0 o0350
<0.600
<0.00350
0994
<oo0350
<0.600
<0.00350
<0600
,060350
<06"
<3.50
1 1
,o ool50
Chramiu alCr), mglL
Capper(Cu(, raga-
D.DD161
a 000091
0.00178
0 000509
0.00139
a 000643
000218
0 000935
0.00183
0.000989
0.00269
0 000842
<0.00100
,0.000500
0.00I33
000145
0.0011
0.000794
0.00144
0000786
0.00127
0.000525
0.00122
0000995
<0.00100
0 00063E
0.0011
<0.000500
<0.00100
0 000613
<0.001
0.000T53
0.001
I coo799
0.00282
<0.000oI
<0.00100
< 000s00
0.00163
a oolI6
0.00183
<o000s00
0.00263
<0. o00500
0.00116
<o IIos00
<0.0010o
Is 000l00
-d (Pb), mg/L
-e (Z.), mg/L
<0.0150
<0.0150
0.D17
<0.9150
<0.0150
<0.0150
<0.0150
<0 a-
c0.0150
<0.0150
-0-
<0.0150
c0.0150
<0.0150
'0-<0.0150
<0.0150
'0-0<0.0150
<0.0150
<0.0150
<0.0150
<0.0150
<B.0150
OBSERVATIONS
BLT-001
BLT-002
BLT-003
BLT-004
XCK-D01
XCK-DD2
XCK-003
XCK-004
BVR-001
BVR-002
BVR-003
BVR-004
BCK-001
BCK-002
BCK-003
BCK-004
LRC-001
LRC-002
LRC-003
LRC-604
CCKOD1
CCK-002
CCK-003
CCK-004
OIISheen
No
No
No
No
No
No
No
Ves
No
Ves
No
Ves
No
Ves
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
%
No
No
Ves
No
Ves
No
No
Faam
Lhter&Tree h
Vee
No
Ye
No
Vee
No
Y.Y.Y.Y.No
No
No
No
Na
No
No
No
No
No
Ne
No
No
No
Ves
No
No
No
No
No
No
No
No
No
No
No
Ne
No
No
No
No
No
No
No
No
No
No
No
Bead Fish
L'-Fl eh
No
No
No
No
No
No
Y.No
No
No
No
No
No
No
No
No
No
No
No
No
Ne
No
Ves
No
No
No
Ne
No
Ne
No
Ves
No
No
No
Ne
No
No
No
No
No
No
No
No
No
No
No
No
No
ian
Bead Amphi bar.
L. Amphi biana
No
No
No
No
No
No
%
%
No
No
No
%
Ne
No
yes
No
No
No
Ne
No
No
No
No
No
Ne
No
No
No
No
No
Ves
No
No
No
No
No
Ne
%
No
No
No
%
No
No
No
%
No
No
Crayfish
Water bugs(insecte)
No
No
No
No
No
No
Ves
Ves
No
No
No
No
No
No
yes
No
No
No
Yee
No
Ne
No
Ves
No
Ne
No
No
No
No
No
Yee
No
Yee
No
Yee
No
No
No
yes
No
Ves
%
No
No
No
%
yes
No
Mussels
Algal growth
No
Clear
No
Clear
No
Clear
No
Clear
Ne
Clear
Ne
Clear
No
Clear
Ne
stained
No
Stained
Ne
Stained
No
Stained
No
Stained
Ne
Clear
No
Clear
No
Clear
No
Clear
No
Stained
No
Clear
No
Clear/Bark
No
Clear/Bar
No
Stained
No
Clear
No
Stained
yes
Clear
Col or of Water
Cdor Of Water
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
No
Illicit Discharge?
No
No
No
No
No
N,
No
No
No
No
No
No
No
No
No
No
No
No
No
No
%
No
No
No
Figure 10-2: Ambient Instream Monitoring Results
Impaired Streams Program
Stormwater 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 over time negatively and may have a Total Maximum Daily Load (TMDL) assigned
to them to improve their water quality. To be proactive, Stormwater has developed this program
voluntarily to monitor impaired streams and make necessary adjustments to improve their water
quality before the potential issuance of a TMDL.
This program will allow Stormwater to assess the effect pollutants may have on streams and
determine how their surrounding environments impact the streams. Stormwater uses several
methods to analyze a stream's health, such as analytical laboratory sampling, field sampling, site
inspections, and walking the stream. The Stormwater Program 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 analyze the results over time to determine patterns and possible pollution issues within a
stream.
The Stormwater Program 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 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.
Previously, Stormwater staff developed a Standard Operating Procedure (SOP) for inspecting and
collecting sampling data from our designated impaired stream segments. The document outlines
the City's efforts to monitor and reduce pollutants in local streams classified as impaired by
NCDEQ. The written document also shows procedural consistency and the process when audited
The City of Fayetteville page - 34 -
NPDES Permit No. NCS000246 - 2022 Annual Report October 31, 2022
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
delay future TMDLs in the local area.
Section 11: Total Maximum Daily Loads (TMDLs)
The Stormwater Program has determined that a Total Maximum Daily Load (TMDL) has not yet
been developed, approved, or established by the EPA for the receiving waters of the City of
Fayetteville's MS4 NPDES stormwater discharge. Therefore, this Permit section is currently not
applicable to the City of Fayetteville.
Section 12: Miscellaneous Stormwater Activities
During the reporting year, Stormwater has participated in several activities to promote stormwater
initiatives and support research for stormwater quality projects. These activities are listed below.
Urban Water Consortium
Stormwater is an active member of the Urban Water Consortium group of the Water Resources
Research Institute. This group was established in 1985 to provide a program of research and
development and technology transfer on water resource issues shared by urban areas across the
state. Through this group, WRRI and the State of North Carolina help individual facilities and
regions solve problems related to local environmental or regulatory circumstances. Stormwater
actively participates due to the importance of sharing information with other municipalities that
face the same challenges as Fayetteville and recognizing the importance of research and funding
of stormwater quality -related projects. The group meets quarterly in different locations around the
state.
tormwater Association of North Carolina (SWAN
Stormwater is an active member of SWANC, a statewide organization that advocates for
stormwater programs at the NC General Assembly and the NC Department of Environmental
Quality(DEQ).
Section 13: Plans for the Upcoming Year
The City continues through its Stormwater Program to implement the provisions of its 2018 issued
permit. In moving forward, the City looks to accomplish the following in the coming year:
• Continue to implement the Water Quality Assessment and Monitoring Plan.
• Continue to update the Stormwater Inventory with stormwater structures and conveyances
constructed during and after the field data collection.
• Complete recovery efforts from Hurricane Matthew, including completion of a City
maintained dam, and repairs of roadway for safety.
• Continue moving forward with a citywide Stormwater Watershed Master Plan.
• Complete 2022 State Audit, and prepare for the 2023 permit renewal process.
This past year marked the eleventh year that the City of Fayetteville has operated its independent
stormwater program, permit, and utility that initially started with the previous joint City / County
stormwater program, permit, and utility that ceased as of July 1, 2009. The upcoming year will
The City of Fayetteville page - 35 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022
mark the twenty-sixth year that an NPDES Municipal Stormwater Discharge Permit has covered
the City of Fayetteville.
To provide adequate funding to meet the requirements of the NPDES stormwater program,
Stormwater Program the City collects a stormwater utility fee of $72.00 per year per equivalent
residential unit (ERU). There was no fee increase requested for the Fiscal Year 2021 year. The
fee supports the NPDES permit compliance, capital infrastructure improvements, and the
development of a citywide stormwater watershed masterplan.
Should any additional information be required, please contact:
Mr. Byron Reeves, P.E. CFM, Assistant Public Services Director -Engineering
City of Fayetteville
433 Hay Street
Fayetteville, North Carolina 28301-5537
Phone: (910) 433-1301
Fax: (910) 433-1058
Email: ByronReeves@FayettevilleNC.gov
The City of Fayetteville page - 36 -
NPDES Permit No. NCS000246 — 2022 Annual Report October 31, 2022