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HomeMy WebLinkAbout20110684 Ver 1_More Info Received_20110726Strickland, Bev From: Homewood, Sue Sent: Wednesday, July 27, 2011 9:29 AM To: Dennison, Laurie; Strickland, Bev Subject: FW: Emailing: 11-0684 - Phil Stevens parking - hold letter - wilkes For file 11-0684 please. this is their addinfo response. Sue Homewood NC DENR Winston-Salem Regional Office Division of Water Quality 585 Waughtown Street Winston-Salem, NC 27107 Voice: (336) 771-4964 FAX: (336) 771-4630 E-mail correspondence to and from this address may be subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Derek Goddard [mailto:derek@brec.biz] Sent: Tuesday, July 26, 20115:48 PM To: Homewood, Sue Cc: monte.k.matthews@usace.army.mil Subject: Re: Emailing: 11-0684 - Phil Stevens parking - hold letter - wilkes Sue, Thanks for the response. I have spoken to our client. He will pave the area making it 100% impervious and then we will draft a storm water plan for the new proposed impervious (not preexisting) that meets the specifications of the GC. I will send you a copy of the stormwater plan, we will not seek written authorization, but insure that the BMP we spec meets the requirements. Monte, do you need anything else from us? Thanks Derek On Tue, Jul 26, 2011 at 12:24 PM, Homewood, Sue <sue.homewood(a),ncdenr.gov> wrote: My answers below.. Sue Homewood 1 NC DENR Winston-Salem Regional Office Division of Water Quality 585 Waughtown Street Winston-Salem, NC 27107 Voice: (336) 771-4964 FAX: (336) 771-4630 E-mail correspondence to and from this address may be subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Derek Goddard [mailto:derek(0rec.biz] Sent: Monday, July 25, 20115:38 PM To: Homewood, Sue Subject: Re: Emailing: 11-0684 - Phil Stevens parking - hold letter - wilkes Sue, Thanks for the heads up. Here are my questions after consulting the GC 3821: 1. The currently existing parcel is 72% impervious. 2. Our Proposed PCN for parking would make the parcel 83% impervious if we used gravel or asphalt. Remember that they'd only have to treat the NEW impervious surfaces. If our client decides that he wants this area to be filled (not compacted) and grassed does the GC require Stormwater BMP's? If so then he will probably pave it. If they decide not to compact the fill and not to use it for parking, then we would not consider that an increase in BUA. However then the purpose and need of the culvert changes and you'd have to go back to the USACE and ensure they are willing to permit it under the new purpose and need. What if someone decides to buy the property and develop it (Pave It) in 10 years, would they be bound by the GC to then install BMP's per the manual? If so then this could be addressed at a later date as part of the site development and net usable space calculations. Yes, our approval is only valid for the purpose and plans submitted (or on file with the USACE). So, if he applies for safety reasons and then someone in the future develops the area, it could possibly trigger stormwater requirements at that time. We cannot predict what the regulations will be in the future. In any case we will revise the PCN to Include Safety Concerns as well. Sorry for all the questions today. Thanks Derek On Thu, Jul 21, 2011 at 11:47 AM, Homewood, Sue <sue.homewood(a),ncdenr.gov> wrote: Derek, Per our conversation Tuesday. Derek Goddard, Principal Consultant Blue Ridge Environmental Consultants, P.A. 828.265.4425 336.844.4088 828.964.9349 Cell www.brec.biz derek brec.biz Confidentiality Notice: This E-Mail transmission (and/or the documents accompanying it (Attached or uploaded to the BREC, P.A. server) may contain information belonging to the sender and/or intended recipient which is confidential, privileged and/or exempt from disclosure under applicable law. The information is intended only for the use of the individual(s) or entity named above. If you are not the intended recipient, you are hereby notified that any disclosure, copying, distribution or the taking of any action in reliance on the contents of this information is strictly prohibited. If you have received this E-Mail transmission in error, please immediately notify us by return E-Mail or telephone to arrange for return of its contents including any documents. Derek Goddard, Principal Consultant Blue Ridge Environmental Consultants, P.A. 828.265.4425 336.844.4088 828.964.9349 Cell www.brec.biz dereknabrec.biz Confidentiality Notice: This E-Mail transmission (and/or the documents accompanying it (Attached or uploaded to the BREC, P.A. server) may contain information belonging to the sender and/or intended recipient which is confidential, privileged and/or exempt from disclosure under applicable law. The information is intended only for the use of the individual(s) or entity named above. If you are not the intended recipient, you are hereby notified that any disclosure, copying, distribution or the taking of any action in reliance on the contents of this information is strictly prohibited. If you have received this E-Mail transmission in error, please immediately notify us by return E-Mail or telephone to arrange for return of its contents including any documents.