HomeMy WebLinkAboutNCS000331_3_2019-2020 NCS000331Annual Report_20210517Stormwater Management Program
Annual Report
Monitoring Period: 1 April 2019 — 31 March 2020
Directorate of Public Works
April 1, 2020
Prepared by:
Water Management Section
Fort Bragg, North Carolina
Fort Bragg Stormwater Program Annual Report — Year
Monitoring Period: 1 April 2019 — 31 March 2020
I certify under penalty of law, that this document and all attachments were prepared
under my direction or supervision, in accordance with a system designed to assure that
qualified personnel properly gather and evaluate the information submitted. Based on
my inquiry of the person or persons who manage the system, or those persons directly
responsible for gathering the information, the information submitted is, to the best of my
knowledge and belief, true, accurate, and complete. I am aware that there are
significant penalties for submitting false information, including the possibility of fines and
imprisonment for knowing violations.
OL-
Monica A. Stephenson
Director of Public Works
Table of Contents
I. Program Summary and Assessment
II. Minimum Control Measures Discussions
A. Education and Outreach
B. Public Involvement
C. Illicit Discharge Detection and Elimination
D. Construction Site Stormwater Runoff Control
E. Post -Construction Stormwater Management
F. Pollution Prevention and Good Housekeeping
G. Monitoring and Evaluation
III. Proposed Program Changes
I. Program Summary and Assessment
Fort Bragg is authorized to discharge stormwater and continue operation of oil water
separators not associated with wastewater facilities under North Carolina Department
of Environment Quality (NCDEQ), Division of Energy, Mineral and Land Resources
Quality, Permit Number NCS000331 (initial effective 1 April 2011 --31 March 2016,
renewal effective 1 April 2016 — 31 March 2021, amended 6, July 2016), hereinafter
"the Permit." In accordance with Part III and Part IV of the permit, Fort Bragg hereby
submits this report in fulfillment of its annual reporting requirement.
Fort Bragg believes the single best indicator of how the Stormwater Management
Program is performing is by monitoring the amount of pollution entering the stormwater.
There are no detectable trends in concentrations of constituents occurred upon review
of the historical stormwater sampling data.
This annual report provides the updated status of the Installations
implementation of the Permit requirements, including compliance with the standard of
reducing the discharge of pollutants to the Maximum Extent Practicable (MEP).
H. Minimum Control Measures Discussions
A. Public Education and Outreach
According to Part II, Section B of the Phase II permit, the objectives of the Public
Education and Outreach measure is to distribute educational materials to the community
or conduct equivalent outreach activities about the impacts of stormwater discharges on
water bodies and the steps that the public can take to reduce pollutants in stormwater
runoff. The target audiences have been identified as construction contractors and
inspectors, housing residents, environmental compliance officers, and range operation
personnel. The following Public Education and Outreach activities were completed
during this Year's reporting period;
• Fort Bragg Environmental Division Water Management Section partnered with
PWC and the Junior League of Fayetteville to educate 500 Fort Bragg students
at Westarea Elementary School Career Day May 3, 2019. Students received;
coloring books, backpacks, and a hands-on Stormwater Pollution demonstration.
Instruction was provided on "Only Rain in the Storm Drain", importance of
keeping waterways clean, and what pollution prevention can be accomplish
through recycling.
• Fort Bragg has completed its sixteenth year of its stormwater inlet labeling
campaign "Only Rain in the Storm Drain". To date well over seven thousand
storm drain markers have been installed or replaced as a component of Fort
Bragg's continuing efforts to educate soldiers and their families to better
understand the consequences of allowing pollutants to enter our storm drain
system.
The initial 20 hour and 8 hour refresher Environmental Compliance
Officer/Environmental Compliance Assistant training continued each month with
a total of 902 students trained. Additional, training and outreach occurred
throughout the year at the unit level during the Compliance Assessment Team
(CAT) inspections of industrial areas.
• WMS continued sediment/erosion control and stormwater controls training on an
ad hoc basis during numerous construction site inspections. This training
includes project design, NCDEQ requirements, and control measures installation
and maintenance.
B. Public Involvement and Participation
According to Part 11, Section C of the Phase 11 permit, the objectives of the Public Involvement
and Participation measure is to comply with State and local public notice requirements when
implementing a public involvement and participation program. The target audience for this
measure has been identified as the Installation population and local volunteers that can be
involved in stream/lake cleanup or storm drain stenciling activities. The following activities
were completed for this Year's reporting period.
• Sustainable Fort Bragg "Green Boot program" continues to enhance our
environment through resource stewardship. The goal is to reduce environmenta
impacts through initiatives such as water conservation, pollution prevention and
recycling to name a few initiatives promoted within the installation.
Fort Bragg continued "Operation Clean Sweep" initiatives across the installation.
All units on Fort Bragg (over 70,000 Soldiers) participate in the week long
installation wide clean-up program. The soldiers police -up trash and sweep
common areas to include around barracks, offices, parking lots, recreational
areas, and roads.
C. Illicit Discharge Detection and Elimination
According to Part II, Section D of the Phase II permit, the objective of the Illicit Discharge
Detection and Elimination measure is to develop, implement, and enforce a program to
detect and eliminate illicit discharges into the State's waters. The following activities were
completed or were ongoing within this Year's reporting period;
Fort Bragg's GIS contains information depicting the stormwater MS4 system
information including pipe material shapes and sizes, drainage structures,
outfalls, detention/retention basins, and monitoring locations. Data is updated
continuously on a regular basis. Approximately 10,000 edits/updates were
made to the Stormwater MS4 system layers.
Fort Bragg conducts dry weather flow inspections of stormwater outfalls. For
this reporting year, a total of 272 outfalls were inspected at Fort Bragg, Pope
and Simmons Army Airfields, and Camp Mackall. No illicit discharges were
detected.
All Illicit discharges/spills, including sewage, are reported to the Fort Bragg Fire
Department/Spill Response Team and/or DPW Environmental Compliance
Branch. These reports are then forwarded to NCDENR. Copies of spill reports
are maintained in the DPW Environmental Compliance Branch. From 1 April
2019 through 31 March 2020, there were 3 reportable hazardous substance
spills (fuel, oil, gasoline) that reached the Fort Bragg storm drain system.
• Procedures for sanitary sewer overflows are investigated and cleaned up by Old
North Utilities Service (ONUS) and reported to the contracting officer
representative, Stormwater Manager, and NCDNER as necessary.
SEWER RELEASES FOR FORT BRAGG COLLECTION SYSTEM
SANITARY SEWER OVERFLOWS (SSO)
ESTIMATED
VOLUME
SURFACE
VOLUME
SURFACE
WATER
CAUSE OF
DATE
LOCATION
(al)
WATER (gal)
NAME
SSO
Intersection
of Irwin and
Beaver
06/13/19
Seari ht
3,000
3,000
Creek
Vandalism
Rhine Rd.
and
7/28/2019
Monteburg
3,000
0
NIA
Grease
11/7/2019
Souter Place
30
30
Tank Creek
Debri in Line
LS #6 Force
11/21/2019
Main
4400
0
NIA
Pipe Failure
D. Construction Site Stormwater Runoff Control
According to Part II, Section E of the Phase 11 permit, Fort Bragg's compliance with the
NCDENR Division of Land Resources Erosion and Sediment Control Program
effectively meets the requirements of the Construction Site Runoff Controls. The
following activities were completed within this Year's reporting period;
Construction Site Runoff Control Program
Assessment
QTY
Active NCDEQ Land Disturbing Permits
42
Completed/Closed Out NCDEQ Land Disturbing
5
Permits
Water Management > 1 Ac Land Disturbing
64
Project Approvals
Water Management/Environmental Clearances
263
Project Reviews
Projects Receiving NOVs
0
NCDEQ Erosion & Sediment Control
96
Inspections
Water Management Erosion & Sediment
153
Control Inspections
Publicly Reported Construction Site Issues
0
E. Post -Construction Site Runoff Controls
According to Part II, Section F, 2 of the Phase II permit, To comply with the Post
Construction requirements in 15 NCAC 02H Section .1000, Fort Bragg shall submit, for
approval, plans, supplement forms, specifications, and calculations to the Division for all
projects, including public roads and bridges, that disturb greater than or equal to one acre
including projects less than one acre that are part of a larger common plan of
development. Fort Bragg may reference their approved base wide SCM O&M Plan to
meet a project's O&M requirements. Additionally; to protect water quality in North
Carolina Rivers, streams, and lakes, and the existing uses of such surface waters for
their scenery, swimming, boating, as well as for commercial and recreational fishing Fort
Bragg shall: Maintain an inventory and all plans and documents for Stormwater Control
Measures approved by the State after July 1, 2007. Fort Bragg shall inspect and maintain
all Stormwater Control Measures approved by the State after July 1, 2007 in accordance
with the schedule developed by Fort Bragg
The following activities were completed this reporting period:
Post -Construction Site Runoff Controls
Program Assessment
QTY
Stormwater plans reviewed/submitted for
8
State approval
Stormwater Control Measures approved by the
240
State after July 1, 2007 total inventory
Stormwater Control Measures total inventory on
804
Ft Bragg
Stormwater Control Measures added
31
Stormwater Control Measures inspections.
744
Stormwater Control Measures completed routine
2,232
maintenance procedures.
Fort Bragg has installed hundreds of SCMs across the installation designed to reduce
the amount of pollutants found in stormwater. To protect water quality in North Carolina
Rivers, streams, and lakes, and the existing uses of such surface waters for their
scenery, swimming, boating, as well as for commercial and recreational fishing. SCMs
must be routinely inspected and have the necessary maintenance performed on them to
be certain that they continually function as designed.
• During this reporting period, the WMS contracted team conducted 744 SCM
inspections.
• Completed over 2,232 routine maintenance procedures. These inspections and
maintenance procedures ensure long term operation and a sustainable return on
investment.
F. Pollution Prevention/Good Housekeeping for Municipal Operations
According to Part II, Section G, of the Phase If permit, the objective of the Pollution
Prevention measure is to implement a program that has a training component and has
the ultimate goal of preventing or reducing pollutant runoff. The majority of industrial
activities on Fort Bragg are located in the cantonment area. ECO's and ECA's are
trained in areas of good housekeeping, materials management, spill control, stormwater
management, and wash rack/oil water separator management. Compliance in these
areas is determined by formal inspections performed by the Compliance Assessment
Team. Operation and Maintenance Division Road Section sweeps leaves and debris
from streets/roads, airfields, and parking lots. The following activities were completed
within this Year's reporting period;
• The Compliance Assessment Team conducted over 1,852 Inspections of all
military units, directorates and contractors that produce hazardous waste (HW)
or Universal Waste (UW) to ensure compliance with applicable Federal, State
and DoD environmental regulations.
• Water Management Section continuously updates GIS Outfall, sampling
locations, and stormwater control measures maps.
• Continued use of OWS systems to capture oil and grease from vehicle and
equipment cleaning. Fort Bragg has an O&M Plan for oil/water separators.
ECOs and ECAs inspect their industrial areas once each month.
• Fort Bragg continues street sweeping activities to remove leaves and debris
from streets/roads, airfields, and parking lots. A total of 9,247 miles were swept
during this reporting period.
• Continued to ensure that Fort Bragg personnel are properly trained for pesticide,
herbicide, and fertilizer application according to DOD instruction 4150.07.
• Continued the 20-hr ECO/ECA Training Class providing information on pollution
prevention, spill prevention/response procedures, and good housekeeping
practices. The Compliance Assessment Team trained 1,180 students in the
ECOIECA course.
• In addition to the SWMP required activities, Fort Bragg also conducted ongoing
activities including collection of refuse, recycling, HHW, electronics, green
waste, and a green building program. These programs all contribute to the goal
of reducing or eliminating the potential pollutants impacting stormwater.
• Fort Braggs Grease Interceptor Consolidation and Management Plan and the
Grease Control Plan minimize discharge of fats, oils and grease into the sanitary
sewer collection system to reduce overflows.
• Stormwater outfall maintenance was conducted in the spring & fall prior to the
accomplishment of the permit required semiannual qualitative monitoring on 91
outfalls. Periodic vegetation, sediment and trash removal maintenance is
required in order to safely access these sites for regulatory monitoring purposes.
G. Monitoring & Evaluation
As required by Part ll, Section J of Permit No. NCS000331, Cutoff Concentrations. For
each parameter, the arithmetic mean of all analytical sampling results collected during
the term of the permit shall be calculated for each individual outfall and compared to
the cut-off concentrations fisted below. At a minimum, Fort Bragg must perform
analytical sampling during the first year of the permit. If the analytical results fall at or
below the cutoff concentrations listed below, Fort Bragg is not required to sample that
parameter at that outfall for the remainder of the permit. If analytical results exceed the
cutoff concentration, subsequent sampling is required annually. Each year, Fort Bragg
has the option to assess if the arithmetic mean of data collected for each parameter at
each outfall is below the cutoff concentration. If the arithmetic mean is less than the
cutoff concentration then Fort Bragg is not required to continue analytical monitoring for
that parameter at that outfall during the remainder of the term of the permit unless a
significant change in the operations in the drainage area occurs. Fort Bragg has
elected to use the option of arithmetic mean. Table 1 provided below summarizes the
sampling Arithmetic Mean results.
Parameter
Cut-off Concentration
Oil and Grease
30 mgll
pH (do not take average, use most recent pH sample
result)
6-9 standard units
TSS
100 mgll
Table 1: Arithmetic Mean
Outfall #
Total Suspended
Solids(TSS)
m 11
Oil & Grease
(mgll)
PH
3
26.56
<5.0
7.5
18119
19.83
<5.0
6.9
20/21/176
12.9
<5.0
7.0
22
7.22
<5.0
6.7
39
52.4
<5.0
6.6
53
14.86
<5.0
7.1
61
14.8
6.63
7.5
71
25.11
<5.0
6.7
84
12.17
<5.0
6.8
93
5.14
<5.0
7.5
III. Proposed Program Changes/Updates
1. Update and revise Stormwater Management Plan in accordance with new permit
requirements.
2. Update and revise the Installation's Stormwater Pollution Prevention Plan
(SWPPP).