HomeMy WebLinkAboutNCS000413_Deficiency Response Table_20210413Section
Description
Status
DEQ Comment
City of Kannapolis Response
II.A.2 Stormwater
The permittee evaluated the performance and effectiveness of
Self -audits have been conducted yearly through the
This element was noted to have a status of "Partial". The City has included in the SWMP that they will prepare, certify, and
Plan Implementation
Partial
submit the Annual Self -Assessment to NCDEQ prior to August 31st each year. The self -assessment period will include their fiscal
and Evaluation
the program components at least annually.
BIMS portal.
year (July 1 - June 30). [BMP #11.2 in Table 12 of SWMP]
II.A.3 Keeping the
The City submitted a SWMP at the beginning of each
This element was noted to have a status of "Partial". The City has included in the SWMP that they will update the SWMP as
Stormwater Plan Up
The permittee kept the Stormwater Plan up to date.
Partial
permit cycle. If nothing changed, the SWMP was not
determined by the City or NCDEQ or Annually going forward. The update will be completed by October 31st each year. Updates
to Date
updated yearly. The City has a 2016 SWMP and
to the SWMP will be documented in the SWMP Revisions table (Table 1). [BMP #11.3 in Table 12 of SWMP]
submitted an updated 2020 SWMP.
The permittee kept an up-to-date version of its Stormwater
The City has updated the SWMP to state that the latest version of the SWMP, using the NCDEQ template, will be uploaded onto
No
the City's website by no later than May 15, 2021. The web address will be included in the subsequent Annual Report. [BMP
Plan available to the Division and the public online.
#11.4 in Table 12 of SWMP]
The Unified Development Ordinance (UDO) and the City ordinances are available on the Code Enforcement webpage of the
City's website (link below). This webpage includes a link to Municode and to the City's UDO. The City's UDO is also available
through the Planning webpage. Article 4 and Article 9 of the UDO refer to items covered under the NPDES Stormwater Permit.
II.A.4 Availability of
The online materials included ordinances, or other regulatory
Online materials could not be located.
These items have been present on the City's website and no further actions will be taken on this unless notified by NCDEQ.
the Stormwater Plan
mechanisms, or a list identifying the ordinances, or other
No
The City is in the process of rewriting its UDO. Information on the rewrite is located at:
regulatory mechanisms, providing the legal authority necessary
https://www.kannapolisnc.gov/Government-Departments/Planning/UDO-Rewrite
to implement and enforce the requirements of the permit.
https://www.kannapolisnc.gov/Government-Departments/Planning/UDO
https://www.kannapolisnc.gov/Government-Departments/Planning/Code-Enforcement
[BMP #11.4 in Table 12 of SWMP]
Are any control measures implemented by an entity other than
Partial
The City does not rely on another entity to implement any control measure, with the exception of the Construction Site Runoff
the permittee?
North Carolina Department of Environmental Quality
Controls element. The City relies on NCDEQto conduct Erosion Control services for this control measure. The City does rely on
II.A.6 Sharing
conducts Erosion Control services for the City. The City
assistance for certain BMPs from a private consultant, but the City is still responsible for the overall compliance with permit
Responsibility
If yes, is there a written agreement in place?
No
has a private consultant that assists with IDDE and
obligations. The City does not rely on 40 CFR Section 122.35 for sharing any responsibility to implement minimum control
regular yearly SCM inspections.
measures. [BMP #11.6 in Table 12 of SWMP]
The permittee maintained written procedures for implementing
the six minimum control measures.
Partial
II.A.7 Written
A written SOP was maintained for IDDE but not for all
The City of Kannapolis will develop written procedures for implementing each of the six minimum control measures. These
Procedures
minimum control measures.
documents will include specific action steps, schedules, resources, and responsibilities for implementing each minimum control
Writing procedures identified specific action steps, schedules,
measure. This is scheduled to be completed prior to February 19, 2022. [BMP #11.7 in Table 12 of SWMP]
resources and responsibilities for implementing the six
No
minimum control measures.
The permittee maintained documentation of all program
III. A Program
components including, but not limited to, inspections,
Documentation for all minimum control measures
The City will ensure that documentation for all minimum control measures are complete and kept on file for a period of at least
Documentation
maintenance activities, educational programs, implementation
Partial
were not complete.
five years. The City will make documentation available to NCDEQ upon request. [BMP #11.8 in Table 12 of SWMP]
of BMPs, enforcement actions etc., on file for a period of five
years.
Section
Description
Status
DEQ Comment
City of Kannapolis Response
The permittee defined goals and objectives of the Local Public
The City will ensure that goals and objectives of the Public Education and Outreach Program, based on community wide issues,
11.6.2.a Goals and
Education and Outreach Program based on community wide
No
The goals and objective are not clearly defined within
will be documented in the Public Education and Outreach Procedures by February 19, 2022. These goals and objectives will be
Objectives
issues.
the SWMP.
assessed and revised annually, as necessary. [BMP #13.1 in Table 14 of SWMP]
11.6.2.g Hotline/Help
The permittee promoted and maintained a stormwater
The City will clarify their stormwater hotline/helpline on their website for the purpose of public education and outreach no later
hotline/helpline for the purpose of public education and
Partial
No Public Education and Outreach hotline is specified.
Line
than August 1, 2021. This number will also be promoted on outreach material annually. [BMP #13.5 in Table 14 of SWMP]
outreach.
II.C.2.c Hotline/Help
The permittee promoted and maintained a hotline/helpline for
The City will clarify their stormwater hotline/helpline on their website for the purpose of public involvement and participation
Line
the purpose of public involvement and participation.
No
No documentation.
no later than August 1, 2021. [BMP #14.1 in Table 15 of SWMP]
The permittee maintained a written IDDE Program.
Partial
The City has created an IDDE Program Manual in 2020.
The City has an IDDE Program Procedures Manual and will update the plan to include illicit discharge close out procedures and
II.D.2.a IDDE Program
If yes, the written program includes provisions for program
The City uses Cityworks to track IDDE and other
assessment and evaluation procedures no later than October 1, 2021. The updated procedures will be included as an
assessment and evaluation and integrating program.
No
stormwater violations.
attachment in the subsequent Annual Report. [BMP #15.1 in Table 16 of SWMP]
The City has the legal authority to prohibit illicit connections and discharges. This is included in the City of Kannapolis Code of
Ordinances, Part 2 Code, Chapter 17 Waters and Sewers, Article V Stormwater Utility, Control, and Management, Division 4
Stormwater Control and Management. The City's Ordinance applies to the entire MS4 area.
If yes (The permittee maintained an IDDE ordinance or other
II.D.2.b Legal
regulatory mechanism(s) that provides the legal authority to
The North Carolina General Statue Chapter 160A Section 193 also provides that "A city shall have authority to summarily
prohibit illicit connections and discharges to the MS4.), the
No
City Ordinance.
remove, abate, or remedy everything in the city limits, or within one mile thereof, that is dangerous or prejudicial to the public
Authorities
ordinance applies throughout the corporate limits of the
health or public safety."
permittee. [Permit Part I.D]
It is unsure why the audit report stated "No" in response to "...the ordinance applies throughout the corporate limits of the
permittee." No further actions will be taken at this time to address this response unless further information is provided by
NCDEQ to the City of Kannapolis.
The City has maintained a hotline for IDDE online, the
II.D.2.i Public
The permittee promoted, publicized, and facilitated a reporting
website, and social media pages that the community
The City will continue to include information on where and how staff should report illicit discharges that are observed during
Reporting Mechanism
mechanism for staff to report illicit discharges.
No
can interact and comment about situations they
scheduled staff training. [BMP # 15.8 in Table 16 of SWMP]
observe.
The permittee maintained and implemented an 0&M program
for municipally -owned and operated facilities with the potential
No
for generating polluted stormwater runoff.
II.G.2.b Operation
lOperation and Maintenance plan is general. Site
The City will be creating an Operation and Maintenance plan for each City facility identified in BMP #21.1 of Table 22 in the
and Maintenance
If yes, the 0&M program specifies the frequency of inspections.
No
specific Operations and Maintenance was not
SWMP. These plans are scheduled to be completed by February 19, 2022. [BMP #21.2 in Table 22 of SWMP]
(0&M) for Facilities
documented.
If yes, the 0&M program specifies the frequency of routine
No
maintenance requirements.
If yes, the permittee evaluated the O&M program annually and
updated it as necessary.
No
Section
Description
Status
DEQ Comment
City of Kannapolis Response
There is a Spill Cleanup Standard Operating Procedure section in the Water Quality Protection Guidelines and Standard
Operating Procedures document that describes what should and should not be done during a spill. Other sections in this
II.G.2.c Spill Response
The permittee had written spill response procedures for
document that discuss specific processes and material handling also address spill cleanup as well. Information on spills is also
Procedures
municipal operations.
No
No documentation.
included in a training PowerPoint titled Spill Prevention and Response Plan.
The City of Kannapolis will review and update these procedures, as necessary, while creating/updating procedures for other
minimum control measures by February 19, 2022. [BMP #21.3 in Table 22 of SWMP]
The City utilizes Cityworks to document operation and maintenance activities performed on catch basins and conveyance
systems that it owns and maintains. Street sweeping is performed regularly (though not scheduled) on City -owned roads.
II.G.2.f O&M for
The permittee maintained and implemented an O&M program
Catch Basins and
for the stormwater sewer system including catch basins and
No
No O&M plan has been created or maintained.
The City of Kannapolis will develop a written Operation and Maintenance Plan to define stormwater sewer system related
Conveyance Systems
conveyance systems that it owns and maintains.
resources and organization, responsibilities, policies, and general procedures by January 1, 2022. The plan will be included as an
attachment to the subsequent Annual Report. [BMP #21.5 in Table 22 of SWMP]
The permittee maintained and implemented an O&M program
for municipally -owned or maintained structural stormwater
controls installed for compliance with the permittee's post -
No
construction ordinance. If yes, then:
The O&M program specified the frequency of inspections and
No
routine maintenance requirements.
The permittee documented inspections of all municipally-
The City will create documentation for the Operation and Maintenance program for municipally -owned or maintained
II.G.2.e O&M for
owned or maintained structural stormwater controls.
No
Operation and Maintenance plan is general. Site
structural stormwater controls installed for compliance with the City's post -construction ordinance by September 1, 2021. The
Structural
specific Operations and Maintenance was not
City will perform scheduled inspections and maintenance based on the timeframes specified in the structural stormwater
The permittee inspected all municipally -owned maintainedh
stormwater Controls
documented.
controls Operation and Maintenance program document. Documentation of all inspections and maintenance for structural
t the schedule
structural stormwater controls in accordance wit
No
stormwater controls will be maintained. [BMP #21.7 in Table 22 of SWMP]
developed by permittee.
The permittee maintained all municipally -owned or maintained
structural stormwater controls in accordance with the schedule
No
developed by permittee.
The permittee documented maintenance of all municipally
owned or maintained structural stormwater controls.
No
Does the facility have a SWPPP or similar document? Is it facility
No*As
specific?
the City of Kannapolis develops written procedures for implementing each of the six minimum control measures, they will
Does the MS4 inspector's process include the use of a checklist
No*
consider the notes included in the Site Evaluation section of the Audit Report provided by NCDEQ to improve the inspection
or other standardized form?
process. Where applicable, the City may include checklists or standardized forms, photos, reviewing the facility's SWPPP (if
Site Visit Evaluations
( Variety of comments depending on site evaluation
applicable), and presenting findings of the inspection to the facility contact (where applicable). The procedure documents are
Does the MS4 inspector's process include taking photos?
No*
location.)
Does the MS4 inspector's process include reviewing the facility's
No*
scheduled to be completed prior to February 19, 2022.
SWPPP (or similar document)?
Does the MS4 inspector's process include presenting the
No*
*These actions may not be required at each inspection so are not always considered a deficiency.
inspection findings to the facility contact?
Section Description I Status I DEQ Comment I City of Kannapolis Response
The following items were noted in the City's self assessment of the Construction Site Runoff Controls, Post -Construction Site Runoff Controls, and the Total Maximum Daily Loads.
The City has implemented an inspection program,
The permittee has developed and implemented a written
though this program is not formally documented. The
inspection program for structural stormwater controls to
City sends letters to property owners annually to
ensure that all stormwater control measures meet the
Partial
remind them that their annual inspections are due.
permittee's performance standards and are being maintained
Structural control owners are responsible for
pursuant to the maintenance agreement.
conducting the inspections and sending in the
II.F.2.g Inspections of
inspection results and maintenance form to the City
The City of Kannapolis will develop written inspection program procedures for structural stormwater controls no later than
Structural
documenting what was done. The City is considering
February 19, 2022. Once the procedures are determined, the City will complete inspections and document and maintain
Stormwater Control
conducting their own inspections due to the low
records of the inspections, findings, and enforcement actions. [BMP #20.7 in Table 21 of SWMP]
Measures
return rate of inspection forms. The City currently
inspects structural control measures informally.
Returned inspection forms are maintained for record,
The pedocumented and maintained records of
No
though not all structural controls are currently
nt actions.
enforcement
maintained annually. Enforcement actions have not
currently been taken regarding owners not submitting
their annual inspection.