HomeMy WebLinkAboutNCS000434_Archdale Draft SWMP v1 DEQ Comment Letter_20210219ROY COOPER
Governor
MICHAEL S. REGAN
Secretary
BRIAN WRENN
Acting Director
VIA EMAIL ONLY
RETURN RECEIPT REQUESTED
City of Archdale
Attn: Zeb Holden, City Manager
zholden@archdale-nc.gov
307 Balfour Drive
Archdale, NC 27263
NORTH CAROLINA
Environmental Quality
February 18, 2021
Subject: COMMENTS ON DRAFT SWMP (NOV-2020-PC-0119)
City of Archdale
NPDES MS4 Permit No. NCS000434
Guilford & Randolph County
Dear Mr. Holden:
On December 17, 2019, the North Carolina Department of Environmental Quality (DEQ) audited the City
of Archdale (City) for compliance with the subject NPDES MS4 permit. As a result, a Notice of
Violation (NOV) was issued to the City on March 5, 2020. The NOV defined specific document
submittals and deadlines. The required Draft SWMP submittal (version 1) was received on October 26,
2020.
Staff have reviewed the submitted Draft SWMP v1 and have found it to be insufficient to meet the
requirements. Please consult the SWMP Template Instructions and General SWMP Guidance on
the DEQ MS4 Forms & Resources web page for additional information on preparing an
approvable SWMP and address the general comments provided below. Specific comments will be
provided once an acceptable SWMP has been submitted for review.
The revised Draft SWMP v2 is required to be signed and submitted to DEQ within thirty (30)
calendar days of receipt of this letter.
General Comments:
1. Measurable Goals must be specific, measurable, achievable, realistic and timely BMPs to define
the specific steps to bring the program into compliance over the permit term. The repetitive
measurable goals provided are too vague to convey specific tasks that will be performed to
comply with the new permit. Define the overall goal of the tasks in the BMP (Column A) section
to provide context for the measurable goals.
2. Include frequencies in Column C - Schedule for Implementation (Once, Annually, Continuously,
etc.) and specific Permit Years that the measurable goal tasks(s) will be performed.
3. Annual Reporting Metrics in Column D must be brief and should be a reportable quantity,
Y/N/Status, etc. Results, documentation, etc. are not appropriate reporting metrics, but do
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identify tasks and supporting information that should be maintained on site for future compliance
audits.
Please also be aware that the SWMP will directly translate into an excel spreadsheet for the
annual assessment (annual report) that will be required once a new permit is issued. Therefore,
reporting metrics should be brief and additional documents will not be acceptable. This is to
facilitate electronic annual reporting in the future. These annual assessments will be utilized to
ensure the MS4 is on track to compliance. However, supporting documentation should be
maintained on site for the next compliance audit.
The required revised Draft SWMP v2 submittal must a hard copy with a certifying statement and original
"wet" signature by the City's ranking elected official or designated staff member in compliance with Part
IV, Paragraph G of the current MS4 Permit.
Please submit the required signed Draft SWMP v2 to:
DEQ-DEMLR Stormwater Program
Attn: Jeanette Powell
1612 Mail Service Center
Raleigh, NC 27699-1612
jeanette.powelt@ncdenr.gov
Thank you for your prompt attention to this matter. Should you have any questions, please contact me at
(919) 707-3620 or Jeanette.Powell(c-r�,ncdenr.gov.
Sincerely,
Jeanette Powell
MS4 Program Coordinator
Cc via email:
DJ Seneres, Stormwater Program Manager dsenereskarchdale-nc..og_v
Annette Lucas, DEMLR Stormwater Program Supervisor
Alaina Morman, Enforcement Specialist
Tamera Eplin, Winston Salem Regional Office
DEMLR NPDES MS4 Permit Laserfiche File