HomeMy WebLinkAboutNCS000331_DOD FB-DPW MS4 Audit Report_20210625MUNICIPAL SEPARATE STORM SEWER SYSTEM (MS4)
PROGRAM AUDIT REPORT
NPDES PERMIT NO. NCS000331
DOD Fort Bragg, NORTH CAROLINA
2175 Reilly Road, Stop A
Fort Bragg, NC 28310-5000
Audit Date: May 18 — May 19, 2021
Report Date: June 25, 2021
North Carolina Department of Environmental Quality
Division of Energy, Mineral & Land Resources Stormwater Program
512 N. Salisbury Street, 9th floor
1612 Mail Service Center
Raleigh, NC 27699-1612
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
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Audit Date: May 18 — May 19, 2021
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
TABLE OF CONTENTS
AuditDetails..................................................................................................................................................1
PermitteeInformation..................................................................................................................................2
SupportingDocuments..................................................................................................................................3
Program Implementation, Documentation & Assessment...........................................................................4
Illicit Discharge Detection and Elimination (IDDE)........................................................................................8
Post -Construction Site Runoff Controls....................................................................................................111
Pollution Prevention and Good Housekeeping for Municipal Operations..................................................16
Site Visit Evaluation: Municipal Facility No. 1.............................................................................................19
Site Visit Evaluation: Municipal Facility No. 2.............................................................................................21
Site Visit Evaluation: MS4 Outfall No. 1......................................................................................................23
Site Visit Evaluation: Post -Construction Stormwater Control Measure No. 1............................................25
Site Visit Evaluation: Post -Construction Stormwater Control Measure No. 2............................................27
Appendix A: Supporting Documents
DISCLAIMER
This audit consists of an evaluation of program compliance with the issued permit and implementation of
the approved Stormwater Management Plan. This audit report does not include a review of all program
components, and program deficiencies in addition to those noted may be present. The permittee is
required to assess program progress and permit compliance, and to implement the approved Stormwater
Management Plan in accordance with the issued permit.
Audit Date: May 18 — May 19, 2021 ii
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
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Audit Date: May 18 — May 19, 2021
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
I Audit ID Audit Date(s):
NCSO 0331—Fort Bragg MS4 Audit_20210518 May 18 — May 19, 2021 I
Minimum Control Measures Evaluated:
0 Program Implementation, Documentation & Assessment
❑ Public Education & Outreach
❑ Public Involvement & Participation
0 Illicit Discharge Detection & Elimination
❑ Construction Site Runoff Controls — No delegated Sediment and Erosion Control Program
❑ Construction Site Runoff Controls — Delegated Sediment and Erosion Control Program
0 Post -Construction Site Runoff Controls
® Pollution Prevention and Good Housekeeping for Municipal Operations
❑ Total Maximum Daily Loads (TMDLs)
Field Site Visits:
0 Municipal Facilities. Number visited: 2
0 MS4 Outfalls. Number visited: 1
❑ Construction Sites. Number visited: Choose an item.
0 Post-Construction,Stormwater Runoff Controls. Number visited: 2
❑ Other: Number visited: Choose an item.
❑ Other: Number visited: Choose an item.
Mike Lawyer, Env. Program Consultant DEMLR, FRO
Penny Markle, Env. Specialist DEMLR, FRO
Lauren Garcia, Env. Specialist DEMLR, RRO
Audit Report Author: Date:
Signatu"V- #�
Audit Report Author:
Signa
Date
::34vle
Audit Date(s): May 18 — May 19, 2021 Page 1 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
MS4 Permittee Name: Permit Effective Date: Permit Expiration Date:
Fort Bragg — Directorate of Public Works 4/1/16, 4/1/21(ext.) 3/31/21, 9/30/21(ext.)
D
City, State, ZIP: Fort Bragg, NC 28310 ate of Last MS4 Inspection/Audit: N/A
I Co-permittee(s), if applicable: N/A
Permit Owner of Record: Fort Bragg — Directorate of Public Works; Monica A. Stephenson, Director
Lee Ward, Chief
Bill DeCarmine, Env. Protection Specialist
Ellie Cardenal, Env. Scientist
Barron Feit, Chief
Aaron Brown, Chief
Richard Akers, Supervisor, Roads/Grounds
Bruce A. Langston, Compliance Team
Manager
Kathryn Fernandez, PM, Water & Tanks
Chris Lamson, Water Quality Support
See Permit
DPW, Water Management Section
DPW, Water Management Section
DPW, Water Management Section
DPW, Environmental Compliance Branch
DPW, Environmental Division
DPW
DPW
DPW, Environmental Compliance Branch
DPW, Environmental Compliance Branch
Audit Date(s): May 18 — May 19, 2021 Page 2 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
p irt�ng DQcumefit s
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Org Chart
d'
Prior
2
Fort Bragg SWMP March 2020
Prior
3
2019 — 2020 Annual Report
Prior
4
Regulation 200-1 Fort Bragg Environmental Program
Prior
5
IDDE Binder
Reviewed During Audit
6
Cantonment SW Map
Prior
7
MacKall Stormwater Photo
Prior
8
Patriot Point Stormwater Photo
Prior
9
Fort Bragg Master Stormwater Pollution Prevention Plan
Prior
10
Fort Bragg SCM Inspection & Maintenance Manual
Prior
11
Fort Bragg Monitoring Plan
Prior
12
Fort Bragg SCM Inspection Report
Prior
13
Fort Bragg ECO/ECA Environmental Compliance Guide
During
14
Preventative Maintenance Tasks & Checklist
During
15
Environmental Compliance Checklist Form 2919
During
16
Base -wide Operation & Maintenance Program
Reviewed During Audit
Audit Date(s): May 18 — May 19, 2021 Page 3 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Lee Ward, Bill DeCarmine, Barron Feit
The permittee maintained adequate funding and staffing to implement and manage
Yes 1
the provisions of the Stormwater Plan and meet all requirements of the permit.
The Stormwater Plan identifies a specific position(s) responsible for the overall
Yes 1
coordination, implementation, and revision to the Plan.
Responsibilities for all components of the Stormwater Plan are documented and
Yes 1
position(s) assignments provided.
The permittee is current on payment of invoiced administering and compliance
Yes NA
monitoring fees (see stormwater e-payments on DEMLR MS4 web page).
Comments (Briefly describe funding mechanism, number of staff, etc.)
Water Management Section (WMS) contains 6-7 staff who are responsible for MS4 program implementation, outfall monitoring,
GIS mapping, etc. Several positions within the WMS have several responsibilities. The O-chart could provide more specific
responsibilities by position description. There is also a Compliance Assessment Team (CAT) responsible for unit inspections,
secondary containment, and road maintenance.
Funding is complicated because WMS funding comes from several places. Specific funding can also only be allocated for specific
uses. WMS was not able to provide any information about annual budgets or money allocation. However, they consider themselves
to be adequately funded. The WMS annual work plan is used to determine funding priorities.
The permittee evaluated the performance and effectiveness of the program
Yes 3
components at least annually.
If yes, the permittee used the results of the evaluation to modify the program Yes 3 I
components as necessary to accomplish the intent of the Stormwater Program.
Did the permitted MS4 discharges cause or contribute to non -attainment of an No 3
applicable water quality standard?
If yes, did the permittee expand or better tailor its BMPs accordingly to address Not NA
the non -attainment? Applicable
Audit Date(s): May 18 — May 19, 2021 Page 4 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Comments
Annual Reports evaluating the effectiveness of the program have been submitted as required. No modifications necessary.
Monitoring conducted in year 1 (2016/17) showed no exceedances of cut-off concentrations, however monitoring continued
voluntarily in years 2 and 3 (also with no exceedances). Monitoring not conducted in years 4 or 5 as allowed in the permit.
The permittee kept the Stormwater Plan up to date. I Yes
Not
The permittee notified DEMLR of any updates to the Stormwater Plan. Applicable
Comments (Indicate the date of latest Stormwater Plan and describe the nature of any updates, if applicable).
WMS has not needed to make recent changes to the Stormwater Plan.
The permittee kept an up-to-date version of its Stormwater Plan available to the
Yes
Division and the public online.
2
NA
The online materials included ordinances, or other regulatory mechanisms, or a list
identifying the ordinances, or other regulatory mechanisms, providing the legal Yes 4
authority necessary to implement and enforce the requirements of the permit.
Comments (Note what materials are available online)
Due to cyber security measures, website was shut down approximately 2 years ago. Prior to that, staff with the WMS maintained
the website with information on the base's Stormwater Plan.
Did DEMLR require a modification to the Stormwater Plan? I No I 2
If yes, did the permittee complete the modifications in accordance with the I Not I NA
established deadline? Applicable
Comments (Note date of DEMLR notification, modifications required, and date modifications were completed, as applicable)
DEMLR did not require modifications to the stormwater plan.
Are any control measures implemented by an entity other than the permittee? I No I ---
Not
If yes, is there a written agreement in place? Applicable
Comments (List the specific control measures implemented by others that do not have adequate written agreements, if
applicable)
DEMLR is responsible for implementing Post -Construction Site Runoff Controls and Construction Site Runoff Controls.
The permittee maintained written procedures for implementing the six minimum I Yes I 2,9
control measures.
Audit Date(s): May 18 — May 19, 2021 Page 5 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Written procedures identified specific action steps, schedules, resources and
Procedures Yes 2,9
responsibilities for implementing the six minimum measures.
Comments (List the specific minimum measures that do not have adequate written procedures, if applicable)
The written procedures were contained in the SWMP and in the base wide SWPPPs. WMS also maintains an IDDE Binder, which was
provided for review during the audit.
II�I�A The permittee maintained documentation of all program components including, but
program not limited to, inspections, maintenance activities, educational programs, Yes 2,9
DQcurn1#anon implementation of BMPs, enforcement actions etc., on file for a period of five years.
Comments (List the specific program components that do not have adequate documentation on file and why, if applicable)
The permittee submitted annual reports to the Department within twelve months
from the effective date of the permit (See Section III.B. for the annual reporting
Yes
3
period specific to this MS4).
The permittee submitted subsequent annual reports every twelve months from the
scheduled date of the first annual report submittal.
Yes
3
The Annual Reports included appropriate information to accurately describe the progress, status, and results
of the permittee's Stormwater Plan, including, but not limited the following:
1._ A detailed description of the status of implementation of the Stormwater Plan
as a whole. This will include information on development and implementation
of each major component of the Stormwater Plan for the past year and
Yes
3
schedules and plans for the year following each report.
2. An adequate description and justification of any proposed changes to'the
Stormwater Plan. This will include descriptions and supporting information for
Not
the proposed changes and how these changes will impact the Stormwater
Applicable
_
Plan (results, effectiveness, implementation schedule, etc.).
3. Documentation of any necessary changes to programs or practices for
assessment of management measures implemented through the Stormwater
Not
Applicable
---
Plan.
4. A summary of data accumulated as part of the Stormwater Plan throughout
the year along with an assessment of what the data indicates in light of the
Yes
3
Stormwater Plan.
5. An assessment of compliance with the permit, information on the
establishment of appropriate legal authorities, inspections, and enforcement
Yes
3
actions.
Comments (Note dates that annual reports cover under current permit and generally describe report deficiencies, if any)
Annual Reports from 2016, 2017, 2018, 2019 and 2020 were submitted.
The Annual Reports document the following:
1. A summary of past year activities, including where applicable, specific
Yes
quantities achieved and summaries of enforcement actions.
Audit Date(s): May 18 — May 19, 2021 Page 6 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
2. A description of the effectiveness of each program component. I Yes I 3
3. Planned activities and changes for the next reporting period, for each I Yes I 3
program component or activity.
4. Fiscal analysis. I No I 3
Comments (Note dates that annual reports cover under current permit and generally describe report deficiencies, if any)
While there is no specific documentation in the Annual Reports regarding a fiscal analysis, MS4 staff relayed that they are
adequately funded through Congress.
Audit Date(s): May 18 — May 19, 2021 Page 7 of 29
MS4 Permit Audit Report
Fort Bragg, INC: NPDES Permit No. NCS000331
Lee Ward, Bill DeCarmine, Richard Akers, Bruce Langston, Kathryn Fernandez, Chris Lamson
The permittee maintained a written IDDE Program.
Yes 1 5
If yes, the written program includes provisions for program assessment and
Yes 5
evaluation and integrating program.
Comments (Note any deficiencies)
Permittee's IDDE Program in conjunction with SWMP & Annual Reports serves as program assessment and evaluation. Permittee
maintains an internal Access database for inspections including dry weather inspections.
The permittee maintained an IDDE ordinance or other regulatory mechanism(s) that Yes 4
provides the legal authority to prohibit illicit connections and discharges to the MS4.
If yes, the ordinance applies throughout the corporate limits of the permittee.
[Permit Part I.D] Yes 4
Comments
DOD -wide Code, contracted housing rules
Directorate of Public Works relies on military code for enforcement. Army Reg. 200-1 covers all environmental programs.
The permittee maintained a current map showing major outfalls* and receiving Yes 6,7,8
streams.
Comments
Map shows outfalls subject to monitoring. A table with all outfalls including pipe material, diameter, etc. is also maintained.
*Major outfalls are discharges from > 36" diameter pipes or drainage areas of > 50 acres. In areas zoned for industrial activity, major outfalls
are > 12" or drainage area > 2 acres.
The permittee maintained a program for conducting dry weather flow field
Yes 11
observations in accordance with written procedures.
Comments (Generally summarize program, including frequency of observations and # or % of outfalls screened)
Field crews visually inspect outfalls and complete a dry -weather inspection form. Special attention is given to outfalls containing
flow when no rain has occurred within 72 hours and/or odors/discolored water is detected. Approximately 5% of outfalls are
inspected each month with goal of inspecting all outfalls once per year.
Audit Date(s): May 18 — May 19, 2021 Page 8 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
The per maintained written procedures for conducting investigations of
Investigation Yes 11
identified illicit discharges.
Procedafres
Comments (Generally describe what procedures are documented)
Provided during the audit.
For each case of an illicit discharge or potential illicit discharge, the permittee documented and tracked the
following:
1. The date(s) the illicit discharge was observed I Yes I 15
2. The results of the investigation I Yes I 15
3. Any follow-up of the investigation I Yes I 15
4. The date the investigation was closed I Yes I 15
Comments (Note whether a standard inspection form is utilized to capture consistent information and a tracking mechanism is
used)
Fort Bragg Spill Report Form, Facilities Engineering Work Request (for any structural issues), Excel Database
il_D:2.1 f`mployee The permittee implemented and documented a training program for appropriate
Training municipal staff who, as part of their normal job responsibilities, may come into Yes 13
contact with or otherwise observe an illicit discharge or illicit connection.
Comments (Generally describe the staff training program, including frequency and which staff are trained)
Environmental Compliance Officer/Environmental Compliance Assistant Course; 20-hour initial, 8-hour annual refresher; 1,180
students completed training in FY 19/20.
The permittee informed public employees of hazards associated with illegal I - -
Yes
discharges and improper disposal of waste.
The permittee informed businesses of hazards associated with illegal discharges and
Yes ---
improper disposal of waste.
The permittee informed the general public of hazards associated with illegal
Yes ---
discharges and improper disposal of waste.
Comments (Note how each sector was informed, if applicable)
Brochures, website (currently shut down due to Cyber Security), Paraglide newspaper; shown during audit
Audit Date(s): May 18 — May 19, 2021 Page 9 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
The permittee promoted, publicized, and facilitated a reporting mechanism for the
Yes ---
public to report illicit discharges.
The permittee promoted, publicized, and facilitated a reporting mechanism for staff
Yes ---
to report illicit discharges.
The permittee established and implemented response procedures for citizen
Yes ---
req u ests/re ports.
Comments (Generally describe reporting mechanisms and how promoted/publicized/facilitated/established)
911 or hotline, published on brochure
The permittee implemented a mechanism to track the issuance of notices of violation Yes 4
and enforcement actions administered by the permittee.
If yes, the mechanism includes the ability to identify chronic violators for Yes 4
initiation of actions to reduce noncompliance.
Comments (Generally describe the established tracking mechanism, if applicable) -
The permittee is not involved in enforcement. "Enforcement" actions are administered by the Garrison Commander, Unit
Commander, or equivalent.
Audit Date(s): May 18 — May 19, 2021 Page 10 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Lee Ward, Bill DeCarmine
Implementation (check all that apply):
❑ The permittee implements the components of this minimum measure.
M The permittee relies upon another entity to implement the components of this minimum measure: DEMLR
❑ The permittee implements the following deemed -compliant program(s), which meet NPDES MS4 post -construction
requirements for the areas where implemented and in compliance with the specific program requirements as provided in 15A
NCAC and noted below (Complete Session Law 2006-246 section below):
❑ Water Supply Watershed I (WS-1) —15A NCAC 213.0212
❑ Water Supply Watershed II (WS-II) —15A NCAC 2B .0214
❑ Water Supply Watershed III (WS-III) —15A NCAC 213.0215
❑ Water Supply Watershed IV (WS-IV) —15A NCAC 213.0216
❑ Freshwater High Quality Waters (HQW) —15A NCAC 2H .1006
❑ Freshwater Outstanding Resource Waters (ORW) —15A NCAC 2H .1007
❑ Neuse River Basin Nutrient Sensitive (NSW) Management Strategy —15A NCAC 26 .0235
❑ Tar -Pamlico River Basin Nutrient Sensitive (NSW) Management Strategy —15A NCAC 2B .0258
❑ Randleman Lake Water Supply Watershed Nutrient Management Strategy-15A NCAC 213.0251
❑ Universal Stormwater Management Program —15A NCAC 2H .1020
Ordinance(s) (check all that apply):
The permittee utilizes the following ordinances and/or regulatory authority to fulfill post construction minimum measure program
requirements throughout the MS4 permitted area (check all that apply):
❑ DEQ model ordinance
❑ MS4 designed post -construction practices that meet or exceed 15A NCAC 02H .1000.
❑ DEQ approved comprehensive watershed plan
❑ DEQ approved ordinance for a deemed -compliant Program (see list above)
Instructions:
For MS4s not implementing a S.L. 2006-246 deemed -compliant program, complete only the Permit Citation section below.
For MS4s implementing a S.L. 2006-246 deemed -compliant program, complete the Session Law 2006-246 section below. If the MS4
does not implement a deemed -compliant program throughout the entire MS4 permitted area, then complete the Permit Citation
section below for the permitted area(s) not covered under the S.L. 2006-246 deemed -compliant program.
Audit Date(s): May 18 — May 19, 2021 Page 11 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
The permittee implements deemed -compliant Program requirements in
accordance with the applicable 15A NCAC rules.
Not
Applicable
---
The permittee implements deemed -compliant Program requirements throughout,
the entire MS4 area (If not, also complete the Permit Citation section below.)
Not
Applicable
The permittee applies deemed -compliant Program requirements to all federal,
state and local government projects within the permitted MS4 area who do not
Not
Applicable
---
have their own NPDES stormwater permit.
The permittee included deemed -compliant Program reporting in their MS4 Annual
Reports.
Not
Applicable
The permittee included deemed -compliant Program implementation in their
Stormwater Management Plan.
Not
Applicable
___
Comments
DEMLR is responsible for implementing Post -construction Site Runoff Controls.
The permittee maintained an ordinance or other regulatory mechanism designed
to meet the objectives of the Post -Construction Site Runoff Controls Stormwater
Not
Applicable
---
Management Program.
If yes, the ordinance applies throughout the corporate limits of the permittee
(Verify permit coverage area listed in Part LD of permit and modify
Not
---
accordingly).
Y)•
Applicable
The permittee has the authority to review designs and proposals for new
development and redevelopment to determine whether adequate stormwater
Yes
---
control measures will be installed, implemented, and maintained.
The permittee has the authority to request information such as stormwater plans,
inspection reports, monitoring results, and other information deemed necessary to
evaluate compliance with the Post -Construction Stormwater Management
Yes
---
Program.
The permittee has the authority to enter private property for the purpose of
inspecting at reasonable times any facilities, equipment, practices, or operations
Yes
---
related to stormwater discharges.
Comments (If the permittee relies upon another entity, specifically note the legal authority that allows that entity to implement
the program within the MS4 area)
At this time, DEMLR is responsible for implementing Post -construction Site Runoff Controls. However, WMS is involved in the
review of designs and proposals and performs inspections and manages maintenance activities. DOD MS4s that do not already
review, approve and enforce post -construction permit applications within their own jurisdictions are required to develop and
implement a Post -Construction program by October 1, 2023.
The permittee utilizes strategies which include SCMs appropriate for the MS4. I Yes I ---
Audit Date(s): May 18 — May 19, 2021 Page 12 of 29
MS4 Permit Audit Report
Fort Bragg, NC`. NPDES Permit No. NCS000331
SCMs comply with 15A NCAC 02H .1000.
Yes I ---
Comments
WMS is involved in the review of designs and proposals. They require permitted SCMs to follow NCAC requirements.
The permittee conducted site plan reviews of all new development and
redeveloped sites that disturb greater than or equal to one acre (including sites
Yes ---
that disturb less than one acre that are part of a larger common plan of
development or sale).
If yes, the site plan reviews addressed how the project applicant meets the I ---
Yes
performance standards.
If yes, the site plan reviews addressed how the project will ensure long-term I ---
Yes
maintenance.
Comments
WMS is involved in the review of designs and proposals. All projects go through review by DPW/WMS before they are submitted to
DEMLR for approval.
Comments
Shown at audit.
The permittee maintained an inventory of projects with post -construction
structural stormwater control measures installed and implemented at new Yes ---
development and redeveloped sites.
The inventory included both public and private sector sites located within the
permittee's corporate limits that are covered by its post -construction ordinance Yes ---
requirements.
The permittee provided mechanisms such as recorded deed restrictions and
Not
protective covenants that ensure development activities will maintain the project ---
Applicable
consistent with approved plans.
Comments
DEMLR is responsible for implementing Post -construction Site Runoff Controls.
The permittee implemented or required an operation and maintenance plan for
Yes 2
the long-term operation of the SCMs required by the program.
The operation and maintenance plan required the owner of each SCM to perform I I
Yes 2
and maintain a record of annual inspections of each SCM.
Annual inspection of permitted structural SCMs are required to be performed by a I Yes I 2
qualified professional.
Audit Date(s): May 18 — May 19, 2021 Page 13 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Comments
DEMLR issues the SCM permits, which have 0&M requirements. O&M is included in the SWMP. SCMs with individual permits are
inspected semi-annually. All other SCMs are inspected annually.
The permittee conducted and documented inspections of each project site covered
under performance standards, at least one time during the permit term (Verify this Yes 10,12
is a permit condition in Part II.F.2.g of permit and modify accordingly).
Before issuing a certificate of occupancy or temporary certificate of occupancy, the
permittee conducted a post -construction inspection to verify that the permittee's
performance standards have been met or a bond is in place to guarantee Not
completion (Verify this is a permit condition in Part II.F.2.g of permit and modify Applicable
accordingly.
The permittee developed and implemented a written inspection program for SCMs
installed pursuant to the post -construction program (Verify this is a permit Yes 10,12
condition in Part II.F.2.g of permit and modify accordingly.
The permittee documented and maintained records of inspections. I Yes 1 10,12
The permittee documented and maintained records of enforcement actions. Not
Applicable
Comments
SCMs with individual permits are inspected semi-annually. All other SCMs are inspected annually. Enforcement activities are
handled by DEMLR.
The permittee made available through paper or electronic means, ordinances,
post -construction requirements, design standards checklists, and other materials
appropriate for developers. Not
Note: New materials may be developed by the permittee, or the permittee may use Applicable
materials adopted from other programs and adapted to the permittee's new
development and redevelopment program.
Comments (If the permittee has adopted materials from other programs, indicate here which materials they are using)
DEMLR is responsible for implementing Post -construction Site Runoff Controls.
The permittee tracked the issuance of notices of violation and enforcement
actions.
If yes, the tracking mechanism included the ability to identify chronic violators
for initiation of actions to reduce noncompliance.
Comments
DEMLR is responsible for implementing Post -construction Site Runoff Controls.
Not
Applicable
Not
Applicable
Audit Date(s): May 18 — May 19, 2021 Page 14 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
u+ir o The permittee fully complies with post construction program requirements on its Not _
New Develo men# Applicable
P own publicly funded construction projects. p
Comments
DEMLR is responsible for implementing Post -construction Site Runoff Controls.
Does the MS4 have areas draining to Nutrient Sensitive Waters (NSW) pursuant to I Not
15A NCAC 02H .0150? Applicable
If yes, does the permittee use SCMs that reduce nutrient loading in order to I Not
meet local program requirements. Applicable
If yes, does the permittee also still incorporate the stormwater controls Not
required for the project's density level. Applicable
If yes, does the permittee also require documentation where it is not feasible to Not
use SCMs that reduce nutrient loading. Applicable
Comments (Provide reference for local requirements) I
DEMLR is responsible for implementing Post -construction Site Runoff Controls.
The permittee ensured that the design volumes of SCMs take into account the Not
runoff at build out from all surfaces draining to the system. Applicable
Where "streets" convey stormwater, the permittee designed SCMs to be sized to
Not
treat and control stormwater runoff from all surfaces draining to the SCM including
Applicable
streets, driveways, and other impervious surfaces.
Comments
DEMLR is responsible for implementing Post -construction Site Runoff Controls.
Audit Date(s): May 18 — May 19, 2021 Page 15 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Lee Ward, Bill DeCarmine, Richard Akers, Bruce Langston, Kathryn Fernandez, Chris Lamson
IhG2.a The permittee maintained a current inventory of facilities and operations owned.
��cilitt Inventory.;. and operated by the permittee with the potential for generating polluted Yes 9
stormwater runoff.
Comments (Note number of facilities, typical inventory data and any facilities that are not inventoried that should be)
5,852 facilities are included with the potential to contribute to stormwater pollution. The inventory is maintained using Real
Property System, included in GIS mapping. Industrial facilities are broken down in the SWPPP.
Operation & maintenance Division is separate from DPW/WMS.
Hazardous waste sites are inspected by DPW and the Haz Waste employees.
The permittee maintained and implemented an 0&M program for municipally
owned and operated facilities with the potential for generating polluted Yes 16
stormwater runoff.
If yes, the 0&M program specifies the frequency of inspections. I Yes I 16
If yes, the 0&M program specifies the frequency of routine maintenance Yes 16 I
requirements.
If yes, the permittee evaluated the 0&M program annually and updated it as Yes 16
necessary.
Comments
Base -wide O&M Program applies to all facilities. There is a Facility Manager's Handbook with identified responsibilities.
Preventative Maintenance Program through Operations and Maintenance Division. Checklist for storm drain preventative
maintenance including specific tasks. Report form completed to note any deficiencies. Any needed repairs go through Richard
Akers.
The permittee had written spill response procedures for municipal operations. I Yes 1 13
Comments
ECO/ECA Environmental Compliance Guide.
II.G.2.d Streets,` The permittee evaluated existing and new BMPs that reduce polluted stormwater
Roads,'and Public runoff from municipally -owned streets, roads, and public parking lots within its Yes 13,14,15
corporate limits annually.
Audit Date(s): May 18 — May 19, 2021 Page 16 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
If yes, the permittee evaluated the effectiveness of existing and new BMPs
Yes
based on cost and the estimated quantity of pollutants removed.
Comments
Facilities maintain spill kits, which are assessed. If inspectors find any issues, they are reported and corrected immediately.
13,14,15
The permittee maintained and implemented an O&M program for the stormwater 13,14,15,
sewer system including catch basins and conveyance systems that it owns and Yes 16
maintains.
Comments (Briefly describe O&M program)
Storm Drain PM Program, provided during the audit.
ILG.2.
The permittee maintained a current inventory of municipally -owned or operated
13,14,15,
Structural
structural stormwater controls installed for compliance with the permittee's post-
Yes
16
stoe,m,f'w-atei.tonit,ols�l°I
construction ordinance.
Comments (Describe inventory information and number of controls in inventory)
Included in the Storm Drain PM Program and 0&M Program.
11 G 2:h
The permittee maintained and implemented an O&M program for municipally-
13,14,15,
NI O&for Structural;.
owned or maintained structural stormwater controls installed for compliance with
Yes_
16
stormwater Controls ;
the permittee's post -construction ordinance. If yes, then:
The 0&M program specified the frequency of inspections and routine
Yes
13,14,15,
maintenance requirements.
16
The permittee documented inspections of all municipally -owned or maintained
Yes
13,14,15,
structural stormwater controls.
16
The permittee inspected all municipally -owned or maintained structural I Yes 113,14,15, I
stormwater controls in accordance with the schedule developed by permittee. 16
The permittee maintained all municipally -owned or maintained structural Yes 13,14,15,
stormwater controls in accordance with the schedule developed by permittee. 1 1 16
The permittee documented maintenance of all municipally -owned or I Yes 113,14,15,
maintained structural stormwater controls. 16
Comments
Included in the O&M Program, provided during the audit.
I ILG.2.� I The permittee ensured municipal employees are properly trained in pesticide, I I ___ I
Yes
herbicide and fertilizer application management.
Audit Date(s): May 18 — May 19, 2021 Page 17 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
The permittee ensured contractors are properly trained in pesticide, herbicide and
Yes ---
fertilizer application management.
The permittee ensured all permits, certifications, and other measures for
Yes
applicators are followed.
Comments
DPW staff must maintain Federal license for pesticide, herbicide, and fertilizer application. Contractors are state licensed.
The permittee implemented an employee training program for employees involved
in implementing pollution prevention and good housekeeping practices. Yes 13
Comments
ECO/ECA training
1I.4.2k The permittee described and implemented measures that prevent or minimize
llehicl�Q dnd contamination of stormwater runoff from all areas used for vehicle and equipment Yes 13
Equipment Cleaning '', cleaning.
Comments
Central vehicle washing, training provided by Facility Manager. Oil/water separators utilized at motor pools where only light
washing with approved detergents is allowed.
Audit Date(s): May 18 — May 19, 2021 ' Page 18 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Facility Name:
16th MP Motor Pool
Facility Address:
Bldg #2-2428
Name of MS4 inspector(s) evaluated:
Joshua Timm
Date and Time of Site Visit:
May 19, 2021; 9:37am—10:23am
Facility Type (Vehicle Maintenance, Landscaping, etc.):
Vehicle Maintenance
Most Recent MS4 Inspection (List date and name of inspector):
April 2021; Joshua Timm
Name I Title
I Josua Timm; CWOII Jared Leach I IEnv. Compliance Inspector; ECO I
Does the facility have a Stormwater Pollution Prevention Plan (SWPPP) or similar document? Is it facility -specific?
Yes, site -specific spill prevention plan
What type of stormwater training do facility employees receive? How often?
ECO/ECA Training; 20-hour initial, 8-hour annual refresher
What type of stormwater training does the MS4 inspector receive? How often?
ECO/ECA Training, 40-hour Hazwoper, RCRA; annually.
Did the MS4 inspector appear knowledgeable about Permit requirements for pollution prevention and good housekeeping?
Yes, relayed knowledge about visual inspections of drains, proper fluid management/storage, etc.
Did the MS4 inspector appear knowledgeable about stormwater pollution prevention and good housekeeping?
Yes
Does the MS4 inspector's process include the use of a checklist or other standardized form?
Yes, Form 2919
Does the MS4 inspector's process include taking photos?
Yes, if on -going issues; generally no photos due to security reasons
Does the MS4 inspector's process include reviewing the facility's SWPPP (or similar document)?
Yes
Audit Date(s): May 18 — May 19, 2021 Page 19 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Audit Date(s): May 18 — May 19, 2021 Page 20 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Facility Name:
Simmons Airfield (Hangers)
Facility Address:
Simmons Army Airfield
Name of MS4 inspector(s) evaluated:
Bruce Langston
Date and Time of Site Visit:
May 19, 2021; 10:40am—11:16am
Facility Type (Vehicle Maintenance, Landscaping, etc.):
Airfield Activities
Most Recent MS4 Inspection (Date and Entity):
February 2020
Name I Title
Doug Smith, Katie Gibbons, Jimmy Saunders
Does the facility have a Stormwater Pollution Prevention Plan
Yes, site -specific spill prevention plan
Env. Compliance Inspectors, ECO
PPP) or similar document? Is it facility -specific?
What type of stormwater training do facility employees receive? How often?
ECO/ECA Training; 20-hour initial, 8-hour annual refresher
What type of stormwater training does the MS4 inspector receive? How often?
ECO/ECA Training, 40-hour Hazwoper, RCRA; annually ,
Did the MS4 inspector appear knowledgeable about Permit requirements for pollution prevention and good housekeeping?
Yes, relayed knowledge about spill prevention, materials management, etc.
Did the MS4 inspector appear knowledgeable about stormwater pollution prevention and good housekeeping?
Yes
Does the MS4 inspector's process include the use of a checklist or other standardized form?
Yes, Form 2919, wash rack checklist
Does the MS4 inspector's process include taking photos?
Yes, if on -going issues; generally, no photos due to security reasons
Does the MS4 inspector's process include reviewing the facility's SWPPP (or similar document)?
Yes, spill plan reviewed/updated annually
Audit Date(s): May 18 — May 19, 2021 Page 21 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Audit Date(s): May 18 — May 19, 2021 Page 22 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Outfall ID Number:
Combined outfalls 20, 21 & 76
Outfall Location:
Adjacent to trail off Gruber Road
Receiving Water:
Little Cross Creek
Most Recent Outfall Inspection/Screening (Date):
November 2020
Days Since Last Rainfall: Inches:
May 12, 2021 0.10"
Name of MS4 Inspector(s) evaluated:
Bill DeCarmine
Date and Time of Site Visit:
May 19, 2021; 1:36pm—1:54pm
Outfall Description (Pipe Material/Diameter, Culvert, etc.):
54" RCP & 18" RCP
Is Flow Present? If So, Describe (Color, Approximate Flow Rate,
Sheen, Odor, Floatables/Debris, etc.):
No flow at time of site visit
What type of stormwater training does the MS4 inspector receive? How often?
ECO/ECA Training; annually
Did the MS4 inspector appear knowledgeable about illicit discharge indicators and investigations?
Yes, relayed knowledge regarding oil sheen, odor, etc.
Does the inspector's process include the use of a checklist or other standardized form?
Yes
Does the inspector's process include taking photos?
Only if issues are observed
Did the MS4 inspector miss any obvious potential illicit discharge indicators or maintenance issues? If so, what were they?
No
Audit Date(s): May 18 — May 19, 2021 Page 23 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Did the outfall inspection result in any work orders or maintenance requests? If so, for what issue(s)?
No
Will a follow-up outfall inspection be conducted? If so, for what reason?
No
Staff with DDC-4C (contract employees) conduct visual checks monthly and notify WMS staff for follow-up if issues are observed.
Audit Date(s): May 18 — May 19, 2021 Page 24 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Site Name:
M012 (311 ESC COF)
Site Address:
Intersection of Lane & Transportation Drive
Name of MS4 Inspector(s) evaluated:
Bill DeCarmine
Date and Time of Site Visit:
May 19, 2021; 2:OOpm — 2:22pm
SCM Type:
Infiltration Basin (grassed bottom)
Most Recent MS4 Inspection (Include Date and Entity):
Approximately 6 months ago
Most Recent MS4 Enforcement Activity (Include Date):
NA
Titl
Barron Felt I Chief, DPW Env. Compliance Branch
Leeward I Chief, DPW Water Management Section
Does the site have an operation and maintenance plan?
Yes, base -wide 0&M Plan
Does the site have records of annual inspections? Are they performed by a qualified individual?
Yes
What type of stormwater training does the MS4 inspector receive? How often?
NSCU BMP Inspections & Maintenance Certification, annual re -certification
Did the MS4 inspector appear knowledgeable about MS4 requirements for post -construction site runoff controls?
Yes
Did the MS4 inspector appear knowledgeable about post -construction BMPs (general purpose/function, components, 0&M
requirements, etc.)?
Yes
Does the MS4 inspector's process include the use of a checklist or other standardized form? What format?
Yes
Does the MS4 inspector's process include taking photos?
As needed if issues are observed
Audit Date(s): May 18 — May 19, 2021 Page 25 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Does the MS4 inspector's process include reviewing the site's operation and maintenance plan and reco
Yes
Does the MS4 inspector's process include walking the entire site and inspecting all points of discharge?
Yes
IDid the MS4 inspector miss any obvious operation and maintenance deficiencies? If so, explain:
No
Does the MS4 inspector's process include presenting the inspection findings to the site contact in writing?
Yes
What, if any, enforcement actions (verbal warnings, NOV, etc.) did the inspection result in?
NA
If compliance issues were identified, what timeline for correction/follow-up was provided?
NA
SCM in need of mowing and trash removal, which is scheduled for near term.
annual inspections
Audit Date(s): May 18 — May 19, 2021 Page 26 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Site Name:
8016
Site Address:
Souter Street parking lot
Name of MS41
Bill DeCarmine
s) evaluated:
Date and Time of Site Visit:
May 19, 2021; 2:35pm — 2:45pm
SCM Type:
Wet Pond
Most Recent MS4 Inspection (Include Date and Entity):
February 2021
Most Recent MS4 Enforcement Activity (Include Date):
NA
Barron Felt I Chief, DPW Env. Compliance Branch
Lee Ward I Chief, DPW Water Management Section
Does the site have an operation and maintenance plan?
Yes, base -wide 0&M Plan
Does the site have records of annual inspections? Are they performed by a qualified individual?
Yes
What type of stormwater training does the MS4 inspector receive? How often?
NCSU BMP Inspections & Maintenance Certification, annual re -certification
Did the MS4 inspector appear knowledgeable about MS4 requirements for post -construction site runoff controls?
Yes
Did the MS4 inspector appear knowledgeable about post -construction BMPs (general purpose/function, components, C&M
requirements, etc.)?
Yes
Does the MS4 inspector's process include the use of a checklist or other standardized form? What format?
Yes
Does the MS4 inspector's process include taking photos?
As needed if issues are observed
Audit Date(s): May 18 — May 19, 2021 Page 27 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
Does the MS4 inspector's process include reviewing the site's operation and maintenance plan and records of annual inspections?
Yes
Does the MS4 inspector's process include walking the entire site and inspecting all points of discharge?
Yes
Did the MS4 inspector miss any obvious operation and maintenance deficiencies? If so, explain:
No
Does the MS4 inspector's process include presenting the inspection findings to the site contact in writing?
Yes
What, if any, enforcement actions (verbal warnings, NOV, etc.) did the inspection result in?
NA
Pond in need of minor maintenance with respect to tree growth around edge of pond and algae in forebay. M54 inspector
acknowledged maintenance needs.
Audit Date(s): May 18 — May 19, 2021 Page 28 of 29
MS4 Permit Audit Report
Fort Bragg, NC: NPDES Permit No. NCS000331
APPENDIX A: SUPPORTING DOCUMENTS
SUPPORTING DOCUMENTATION IS ON FILE IN
THE NCDEQ PUBLIC LASERFICHE PORTAL
Audit Date(s): May 18 — May 19, 2021 Page 29 of 29