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DENR-DEMLR
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DocuSign Envelope ID: 3A1AOF97-5688-4CF7-BD14-37FD3AFE3241
ROY COOPER
Gaynor
EUZABEThf S , WSW
Secretary
BRIAN WRENN NORTH CAROLINA
Urector Envitnnmeit d Quality
June 27, 2021
CERTIFIED MAIL 7020 3160 0000 3277 9030
RETURN RECEIPT REQUESTED
Town of Mooresville
Attention: Randall Hermann, Town Manager
Post Office Box 878
Mooresville, North Carolina 28115-0878
Subject: NOTICE OF DEFICIENCY (NOD-2022-PC-0101)
Town of Mooresville
NPDES MS4 Permit No. NCS000540
Iredell County
Dear Mr. Hermann:
On June 8, 2022, staff from the North Carolina Department of Environmental Quality (DEQ) conducted a compliance
audit of subject National Pollutant Discharge Elimination System (NPDES) Municipal Separate Storm Sewer System
(MS4) Permit. The audit identified minor deficiencies with the specific components of the MS4 permit that were
reviewed, as provided in the attached DEQ MS4 Permit Compliance Audit Report. This report lists and describes the
deficiencies with certain components of the MS4 permit, which constitutes a violation of the Clean Water Act and is
grounds for enforcement action.
In accordance with Part VI of the permit and DEQ policy, a new 5-year MS4 permit will be issued in response to the
audit. As such, the permittee is required to complete the following actions:
1. Respond in writing within thirty (30) calendar days from the date of receipt of this notice to acknowledge
these requirements and the intent to comply.
2. Self -evaluate the permit components that were not reviewed by DEQ for compliance and submit the results
within one hundred twenty (120) calendar days from the date of receipt of this letter. The Part II of the MS4
Phase II Audit Template on the DEQ stormwater web site can be used for this purpose. The specific
sections that should be self -audited include:
a. Section E: Construction Site Runoff Controls;
b. Section F: Post -Construction Site Runoff Controls;
c. Section H: Total Maximum Daily Loads.
3. Develop a Stormwater Management Plan (SWMP) which details specific actions, measurable goals, and
implementation timelines for the stormwater management program over the new 5-year permit term. The
SWMP must be documented utilizing the DEQ Phase II MS4 SWMP Template. The permittee shall submit
the SWMP to DEQ for review and comment within one hundred twenty (120) calendar days from the date of
receipt of this letter.
50 �P"fffl D,. EF Qq:!
ftm- I own
North Carolina Department of Environmental Quality Diviion of Energy, Mineral and Resources
Mooresville Reginal Office (110 East Center Avenue, Suite 301 Mobresville, North Carolina 28115
704.663.1699
DocuSign Envelope ID: 3A1AOF97-5688-4CF7-BD14-37FD3AFE3241
Town of Mooresville
Notice of Deficiency
June 27, 2022
Page 2 of 2
Submit an NPDES MS4 permit application for whichever comes first:
a. At least one hundred eighty (180) days prior to permit expiration, or
b. Within thirty (30) days of receiving written DEQ concurrence that the submitted SWMP documents
a compliant stormwater management program and the MS4 should submit the application including
a signed Final Draft SWMP. A new 5-year NPDES MS4 permit will be public noticed along with the
Draft Final SWMP.
5. Respond to comments on the Draft Final SWMP and submit a signed Final SWMP for DEQ approval and
final permit issuance. The final DEQ-approved SWMP shall become an enforceable component of the
NPDES MS4 permit and an Annual Self -Assessment Template that corresponds to the approved SWMP will
be provided.
Required documentation shall be submitted via e-mail to Jeanette.Powell@ncdenr.gov, or to:
DEQ-DEMLR Stormwater Program
Attention: Jeanette Powell
1612 Mail Service Center
Raleigh, North Carolina 27699-1612
If the MS4 fails to meet the aforementioned requirements and/or submits a significantly noncompliant Draft SWMP,
DEQ may proceed with enforcement. As is stated in Part V, Section A.1(c) of the permit:
Under state law, a daily civil penalty of not more than twenty-five thousand dollars ($25, 000) per violation
may be assessed against any person who violates or fails to act in accordance with the terms, conditions, or
requirements of a permit [North Carolina General Statute 143-215.6A]. Please note that compliance with
the requirements of this NOD and/or issuance of civil or criminal penalties levied by DEQ does not preclude
the EPA from carrying out its own enforcement case against the permittee.
Thank you for your attention to this matter. Should you have any questions, please contact Jesse McDonnell at (704)
677-0568 or Jesse. McDonnell@ncdenr.gov, or the MS4 Program Coordinator at Jeanefte.Powell@ncdenr.gov.
Sincerely,
�Doc�uSigeed�� ,by:
42CFABFC5I380459...
Zahid S. Khan, CPM, CPESC, CPSWQ
Regional Engineer
Land Quality Section
Department of Environmental Quality
Enclosures:
DEQ MS4 Program Audit Report (June 27, 2022, Town of Mooresville)
Enclosures: DEQ MS4 Permit Compliance Audit Report
cc: Meltzer, Marissa mmeltzer@mooresvillenc.gov
DEMLR Stormwater Program Supervisor
Jeanette.Powell@ncdenr.gov, DEMLR MS4 Program Coordinator
DEMLR NPDES MS4 Permit Laserfche File
North Carolina Department of Environmental Quality DiviEion of Energy, Mineral and Resources
E Mooresville Reginal Office d10 East Center Avenue, Suite 301 Mo6resville, North Carolina 28115 .
r�smcaaiaaaaa�tyo�b� 704.663.1699
MUNICIPAL SEPARATE STORM SEWER SYSTEM (MS4)
PROGRAM AUDIT REPORT
NPDES PERMIT NO. NCS000540
Mooresville, NORTH CAROLINA
2523 Charlotte Highway
Audit Date: June 81 2022
Report Date: June 27, 2022
North Carolina Department of Environmental Quality
Division of Energy, Mineral & Land Resources Stormwater Program
S12 N. Salisbury Street, 9th floor
1612 Mail Service Center
Raleigh, NC 27699-1612
4 0
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NCS000540_Mooresville MS4 Audit�20220608
TABLE OF CONTENTS
AuditDetails..................................................................................................................................................1
PermitteeInformation..................................................................................................................................2
Listof Supporting Documents.......................................................................................................................3
Program Implementation, Documentation & Assessment...........................................................................4
PublicEducation and Outreach.....................................................................................................................7
Public Involvement and Participation...........................................................................................................8
Illicit Discharge Detection and Elimination (IDDE)........................................................................................9
Pollution Prevention and Good Housekeeping for Municipal Operations..................................................11
Site Visit Evaluation: Municipal Facility No. 1............................................................................................13
Site Visit Evaluation: Municipal Facility No. 2.............................................................................................15
SiteVisit Evaluation: MS4 Outfall No. 1......................................................................................................16
Site Visit Evaluation: MS4 Outfall No. 2......................................................................................................17
AppendixA: Photograph Log............................................................................................................................... 18
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.
1
NCS000540_Mooresville MS4 Audit_20220608 ii
A
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NCS000540_Mooresville MS4 Audit_20220608
Audit ID Number: Audit Date(s):
NCS000540_Mooresville MS4 Audit_20220608 June 8-9, 2022
Minimum Control Measures Evaluated:
® Program Implementation, Documentation & Assessment
IN Public Education & Outreach
® Public Involvement & Participation
® 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
❑ Post -Construction Site Runoff Controls
® Pollution Prevention and Good Housekeeping for Municipal Operations
❑ Total Maximum Daily Loads (TMDIs)
Field Site Visits:
® Municipal Facilities. Number visited: 2
® MS4Outfalis. Number visited: 2
❑ Construction Sites. Number visited: Choose an item.
❑ Post -Construction Stormwater Runoff Controls. Number visited: Choose an item.
❑ Other: Number visited: Choose an item.
❑ Other: Number visited: Choose an item.
in r spectorils''Cohauathl?"Audk
Name, Title
Organization
Jesse McDonnell, Senior Environmental Specialist NCDEQ
Zahid Khan, Regional Engineer
NCDEQ
Audit Report Author: Jesse McDonnell
Signature . r /rt A,I
Date:
L12—f7
Audit Report Author: Zahid Khan
Date
S• ��_
6 L1' Ld L i
/
Signature
NC5000540_Mooresville MS4 Audit_20220608 Page 1 of 21
MS4 Permittee Name:
Town of Mooresville
Permit Effective Date:
November 2011
Permit Expiration Date:
August 2021
Mailing Address: Post Office Box 878
Mooresville, North Carolina 28115
Date of Last MS4 I nspection/Audit:
January 15, 2016
Co-permittee(s), if applicable:
Permit Owner of Record:
Randall Hermann, Town Manager
Primary M54 Representatives Participating in Audit
Name, Title ---�
Organization
Marissa Meltzer, Stormwater Program
Specialist
Town of Mooresville
Town of Mooresville
Nick Lynch, Stormwater Maintenance
Supervisor
Waterbodv
Byers Creek
MS4 Receiving Waters
Classification
WS-IV; CA
None Known
Davidson Creek
WS-IV; CA
None Known
McCrary Creek
WS-IV, B; CA
None Known
Reeds Creek
WS-IV, B; CA
None Known
Work Creek
WS-IV, B; CA
None Known
Back Creek
WS-II; HOW
None Known
Dye Creek
C
None Know
Rocky River
C
Benthos Poor
South fork Withrow Creek
C
None Known
West Branch Rocky River
C
None Known
NCS000540 Mooresville MS4 Audit 20220608 Page 2 of 21
a�>f Supporting Documents
1
Stormwater Management Plan 2021(SWMP) Priorto
2
Illicit Discharge Detection and Elimination Program Manual(IDDE)
Prior to
3
Pollution Prevention and Good Housekeeping Manual
Prior to
4
Iredell County Interlocal Agreement for Erosion Control
Prior to
5
2021 Annual Reports
Prior to
6
Town of Mooresville Post Construction and IDDE Ordinance
Prior to
7
Illicit Discharge Tracking Spreadsheet
During
8
Public Education and Outreach/Public Involvement Manual
During
9
Public Education and Outreach Log
During
10
SCM Maintenance Work Orders
During
11
Citizen Involvement Survey and Results
During
12
SCM Inspection Log
During
13
SCM Inventory
During
14
Stormwater Public Hearing Advertisements
During
15
Town of Mooresville Website
https://www.mooresvillenc.gov/500/Stormwater
Prior to
16
Town of Mooresville Annual Budget
During
17
Town of Mooresville Annual Review
During
18
Outfall Maps
During
19
Employee Training
During
20
Municipal Facilities Inventory
During
21
Street Sweeper Data
After
22
Example Facility O&M Plan
After
NCS000540_Mooresville MS4 Audit_20220608 Page 3 of 21
Fill
intervi Marissa Meltzer, Stormwater Program Specialist
Jon Young, Engineering Services Director
Nick Lynch, Stormwater Maintenance Supervisor
;it Citation
.'i The permittee maintained adequate funding and staffing to implement and manage Yes 16
Staffing and
he provisions of the Stormwater Plan and meet all requirements of the permit.
Funding
_
l he Stormwater Plan identifies a specific position(s) responsible for the overall
Yes
1
j
coordination, implementation, and revision to the Plan.
hesponsibilities for all components of the Stormwater Plan aredocumented and
yes
1
assignments provided.
The permittee is current on payment of invoiced administering and compliance Yes BIMS
monitoring fees (see stormwater e-payments on DEMLR MS4 web page).
Comm*position(s)
eeittee has 7 full time stormwater staff. One staff member is dedicated to the administrative portion of the
stormwater program. The permittee intends to hire an additional administrative staff person to assist. The six remaining staff are
field based staff. A crew of five for maintenance along with a supervisor. The permittee has a flat rate stormwater fee of
$3.40/month, resulting in approximately a $3,000,000 annual budget. The stormwater management plan (SWMP) is current, with a
list of responsible positions and responsibilities.
_ ormwater,;i
The permittee evaluated the performance and effectiveness of the program
Plan
components at least annually.
partial
17
Implementation ;
and Evaluation
If yes, the permittee used the results of the evaluation to modify the program
Yes
17
components as necessary to accomplish the intent of the Stormwater Program.
Did the permitted MS4 discharges cause or contribute to non -attainment of an
applicable water quality standard?
No
—
If yes, did the permittee expand or better tailor its BMPs accordingly to address
Not
the non -attainment?
Applicable
Comments: The permittee reviewed the SWMP annually. The permittee used a third -parry consultant to review the program during
a transition where a stormwater program specialist was not employed. There is no documentation of annual review after the
Stormwater program specialist was hired. The results of the review were used to modify the program as needed.
y.3
ping the
The permittee kept the Stormwater Plan up to date.
Yes
1
rmwater Plan
to Date
The permittee notified DEMLR of any updates to the Stormwater Plan.
No
—
Comments: The permittee has updated and maintained the SWMP multiple times during the permit cycle.
NCS000540_Mooresville MS4 Audit_20220608 Page 4 of 21
Program Implementation, Fc'�
II.A.4 Availability The permittee kept an up-to-date version of its Stormwater Plan available to the
of the Stormwater Division and the public online. Yes 15
Plan
The online materials included ordinances, or other regulatory mechanisms, or a list
identifying the ordinances, or other regulatory mechanisms, providing the legal Yes 15
^The
authority necessary to implement and enforce the requirements of the permit.
Comments. permittee maintained an up-to-date version of the SWMP, along with ordinances, available on the website.
Stormwater Plan
Did DEMLR require a modification to the Stormwater Plan?
No
—
Modifications
If yes, did the permittee complete the modifications in accordance with the
Not
established deadline?
Applicable
_
Comments: No modifications were required.
!I.A& Sharing
Responsibility
are any control measures implemented by an entity other than the permittee?
Yes
4
If yes, is there a written agreement in place?
Yes
4
Comments: The permittee has an agreement with Iredell County Erosion Control to conduct erosion and sediment control
inspections within the limits of the Town of Mooresville.
RA7
`
The permittee maintained written procedures for implementing the six minimum
Yes
1, 2, 8
Written
control measures.
Procedures
Written procedures identified specific action steps, schedules, resources and
Yes
1, 2, 8
responsibilities for implementing the six minimum measures.
Comments: The permittee maintained written procedures for the implementation ofthe six minimum control measures.
ill_A
The permittee maintained documentation of all program components including, but
Program
not limited to, inspections, maintenance activities, educational programs,
Yes
1-19
Documentation
implementation of BMPs, enforcement actions etc., on file for a period of five years.
Comments: The permittee has maintained documentation of all program components.
111:8
The permittee submitted annual reports to the Department within twelve months
Annual Report
from the effective date of the permit (See Section 111.8. for the annual reporting
Yes
5
Submittal
period specific to this MS4).
The permittee submitted subsequent annual reports every twelve months from the
Yes
5
scheduled date of the first annual report submittal.
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
Not
of each major component of the Stormwater Plan for the past year and
Reviewed
schedules and plans for the year following each report.
NCS000540 Mooresville MS4 Audit_20220608 Page 5 of 21
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 Reviewed
_
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
Reviewed
Plan.
t
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
Not
Reviewed
Stormwater Plan.
S. An assessment of compliance with the permit, information on the
establishment of appropriate legal authorities, inspections, and enforcement
Not
Reviewed
actions.
Comments: The permittee has completed annual reports for each year of the permit cycle.
IV.B
nual Reporting 1 he Annual Reports document the following:
1. A summary of past year activities, including where applicable, specific
Not
quantities achieved and summaries of enforcement actions.
Applicable
_
2. A description of the effectiveness of each program component.
Not
Reviewed
3. Planned activities and changes for the next reporting period, for each
Not
program component or activity.
Reviewed
4. Fiscal analysis.
Not
"Comments:on
Reviewed
was not reviewed during this audit.
NCS000540_Mooresville MS4 Audit_20220608 Page 6 of 21
t
Marissa Meltzer, Stormwater Program Specialist
Nick Lynch, Stormwater Maintenance Supervisor
Fz
II.B.2.a'„ The permittee defined goals and objectives of the Local Public Education and
Goals and''``" Yes 8
_
Outreach Program based on community wide issues.
Objectives
Comments: The permittee has defined goals and objective of the Public Education and Outreach Program within the manual.
11.B.21) -
The permittee maintained a description of the target pollutants and/or stressors andYes
Target Pollutants <
I
likely sources.
8
Comments: The permittee has a description of target pollutants and stressorswithin the public education and outreach
manual.
II.B.2.c
The permittee identified, assessed annually and updated the description of the target
Target Audiences
audiences likely to have significant storm water impacts and why they were selected.
Partial
8
Comments: The permittee has updated the target audiences once during the permit cycle. The permittee does not have
documentation of annual reviews.
11.B.2.d Residential IThe
permittee described issues, such as pollutants, the likely sources of those
and Industrial/
pollutants, potential impacts, and the physical attributes of Stormwater runoff in
Yes
8
Commercial Issues
their education/outreach program.
Comments: The permittee described pollutants and their sources within the Public Education and Outreach manual.
II.B.2'e
promoted and maintained an internet web site designed to convey the
Informational
TThegaermitmtecie
ram's ssage.
Yes
15
Web Site
Comments: The permittee maintained a stormwater webpage to convey the programs message.
11.8.2.f
The permittee distributed stormwater educational material to appropriate target
Public Education
Yes
9
Materials
groups.
Comments: The permittee distributed and documented educational material to appropriate target groups.
II.B.2.e
The permittee promoted and maintained a stormwater hotline/helpline for the
Hotline/Help Line
purpose of public education and outreach.
Yes
15
Comments: The permittee has maintained a stormwater hotline online and within educational materials that have been distributed.
II.B.2.h
The permittee's outreach program, including those elements implemented locally or
Public Education
through a cooperative agreement, included a combination of approaches designed to
Yes
9
and Outreach
reach the target audiences.
Program
For each media, event or activity, including those elements implemented locally or
through a cooperative agreement the permittee estimated and recorded the extent
Yes
9
of exposure.
Comments: The permittee has distributed and documented all educational material over multiple media outlets.
NCS000540_Mooresville MS4 Audit_20220608 Page 7 of 21
-22
Mariss;ee Stormwater Program Specialist
Nick Lywater Maintenance Supervisor
dolt Clta4
i 2.a Volunf`
immunity The pecluded and promoted volunteer opportunities designed to promote yes 9,15
olvement ongoinarticipation.
gram
Comments: The permittee hasaonteer program for storm drain marking and adopt a drain. The permittee is investigating the
creation of an adopt a stream program.
II.C.2.b
Mechanism for
The permittee provided and promoted a mechanism for public involvement that
Partial
11,14
Public
provides for input on stormwater issues and the stormwater program.
volvement
Comments: The permittee had one public hearing for stormwater during the permit cycle. There was also an electronic survey
distributed for citizens to comment.
II.C.2.c
The permittee promoted and maintained a hotline/helpline forthe purpose of public
Yes
15
Hotline/Help Line
involvement and participation.
Comments: The permittee maintained a stormwater hotline for public involvement.
NC5000540_Mooresville MS4 Audit_20220608 Page 8 of 21
i11 fDischarge Detection and Elimination (IDDE)'
Staff Interviewed:
Marissa Meltzer, Stormwater Program Specialist
(Name, Title,
Nick Lynch, Stormwater Maintenance Supervisor
Role)
' ermit"citatr'on
Mat-
lLD.2.a
IDDE Program -
The permittee maintained a written IDDE Program. Yes
2
If yes, the written program includes provisions for program assessment and
Yes
evaluation and integrating program.
2
Comments: The permittee has maintained a written Illicit Discharge Detection and Elimination (IDDE) program.'
The permittee maintained an IDDE ordinance or other regulatory mechanism(s) that
ILDI.2.b
provides the legal authority to prohibit illicit connections and discharges to the MS4.
Yes
6
Legal Authorities
If yes, the ordinance applies throughout the corporate limits of the permittee.
(Permit Part I.D]
Yes
6
Comments: The permittee has maintained an IDDE ordinance with the legal authority to prohibit illicit discharges or connections.
This ordinance applies throughout the corporate limits.
!l.D.2.d
The permittee maintained a current map showing major outfalls and receiving
Storm Sewer
T7Ye18
System Map
streams.
Comments: The permittee has maintained a map of major outfalls and receiving streams.
II.D.2.d
e permittee maintained a program for conducting dry weather flow field
Dry Weather 70owT
in accordance with written procedures.
Yes
2
Programobservations
Comments: The permittee maintained a dry weather flow program within its IDDE manual.
II.D.2.e
The permittee maintained written procedures for conducting investigations of
Investigation
identified illicit discharges.
Yes
2
Procedures
Comments: The permittee maintained written procedures for conducting IDDE related investigations within the IDDE manual.
ILD.2.f -
For each case of an illicit discharge or potential illicit discharge, the permittee documented and tracked the
Track and
following:
Document,
°Investigations -
1. The dates) the illicit discharge was observed
Yes
7
7
2. The results of the investigation
Yes
7
3. Any follow-up of the investigation
Yes
7
4. The date the investigation was closed
Yes
Comments: The permittee maintained an IDDE tracking spreadsheet and database to track investigations of IDDE.
NCS000540_Mooresville MS4 Audit_20220608 Page 9 of 21
Illicit Dischavp Dote -don one; Ehwdnaklo a gIDDEI—._.._.
_
_ _
!ice mp oyee The permittee implemented and documented a training program forappropriate
Training municipal staff who, as part of their normal job responsibilities, may come into Yes 19
'+ ;=' contact with or otherwise observe an illicit discharge or illicit connection.
Comments: T'ne permittee has maintained training documentation for all staff with ID DE and Pollution Prevention and Good
Housekeeping. Trainings are conducted annually online.
The permittee informed public employees of hazards associated with illegal
19
Public Education
discharges and improper disposal of waste.
Yes
I
The permittee informed businesses of hazards associated with illegal discharges and
yes
9
improper disposal of waste.
7
The permittee informed the general public of hazards associated with illegal
yes
9
discharges and improper disposal of waste.
Comments: The permittee informed public employees of hazards during the annual IDDE training. The general public and
businesses are informed through educational materials that have been distributed.
II.D.2.i
The permittee promoted, publicized, and facilitated a reporting mechanism for the
Yes
15
Public Reporting
Public to report illicit discharges.
P g
Mechanism
The permittee promoted, publicized, and facilitated a reporting mechanism for staff
Yes
19
m report illicit discharges.
The permittee established and implemented response procedures for citizen
yes
2
requests/reports.
Comments: The permittee maintained a reporting mechanism for the general publicto report through the website or by phone. The
permittee trained staff to report any situations that may be IDDE related to the stormwater program specialist. There is a written
response procedures when reports are obtained.
1LD3.
The permittee implemented a mechanism to track the issuance of notices of violation
Yes
7
Enforcement
and enforcement actions administered by the permittee.
If yes, the mechanism includes the ability to identify chronic violators for
Yes
7
initiation of actions to reduce noncompliance.
Comments: The permittee tracks all IDDE investigations through Survey123. This provides the ability to track violators and locations
of incidents within the corporate limits.
NC5000540 Mooresville MS4 Audit 20220608 Page 10 Of 21
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'
ution Preven
The permittee maintained and implemented an 0&M program for municipally -
for Structural owned or maintained structural stormwater controls installed for compliance with
yes
3
water Controls the permittee's post -construction ordinance. If yes, then:
[2.
The O&M program specified the frequency of inspections and routine
3
Yes
maintenance requirements.
The permittee documented inspections of all municipally -owned or maintained
13
structural stormwater controls.
Yes
The permittee inspected all municipally -owned or maintained structural
stormwater controls in accordance with the schedule developed by permittee.
yes
12
The permittee maintained all municipally -owned or maintained structural
yes
13
stormwater controls in accordance with the schedule developed by permittee.
The permittee documented maintenance of all municipally -owned or
10
maintained structural stormwater controls.
Yes
Comments: The permittee maintained an O&M plan for municipally owned and operated SCMs. The 0&M plan consists of
",pecticfrequency, maintenance documented, and inspection documentation.
,pe
-
II.G.2.h
The permittee ensured municipal employees are properly trained in pesticide,
Pesticide, Herbicide
herbicide and fertilizer application management.
No
—
and Fertilizer
Application
The permittee ensured contractors are properly trained in pesticide, herbicide and
Management
fertilizer application management.
No
---
The permittee ensured all permits, certifications, and other measures for
applicators are followed.
No
--
Comments: No documentation of pesticide certifications.
II.G.2.i
The permittee implemented an employee training program for employees involved
Staff Training
in implementing
p g pollution prevention and good housekeeping practices.
Yes
19
Comments: The oermittee conducted annual PPGH training for all municipal staff.
II.G.2.i
The permittee described and implemented measures that prevent or minimize
Vehicle and
contamination of stormwater runoff from all areas used for vehicle and equipment
Yes
22
Equipment Cleaning_
cleaning.
Comments: All vehicle and equipment washing is conducted at the wash bay at the operations center. The standard operating
procedures are within the SWPPP or similar document at each facility.
NCS000540_Mooresville MS4 Audit_20220608 Page 12 of 21
Facility Name:
Date and Time of Site Visit:
Town of Mooresville Operation Center
June 8, 2022, at 2:50pm
Facility Address:
Facility Type (Vehicle Maintenance, Landscaping, etc.):
2523 Charlotte Highway
Vehicle Maintenance and storage
Name of MS4 inspector(s) evaluated: Most Recent MS4 Inspection (List date and name of inspector):
Nick Lynch May 17, 2022
Marissa Meltzer
Name(s) and Title(s) of Facility Representative(s) Present During the Site Visit:
Name Title
Marissa Meltzer Stormwater Program Specialist
observations
Facility Documentation/Training
Does the facility have a Stormwater Pollution Prevention Plan (SWPPP) or similar document? Is it facility -specific?
Yes, the facility has a SWPPP.
What type of stormwater training do facility employees receive? Now often?
Facility staff receive annual IDDE and PPGH training.
Inspector Training/Knowledge
What type of stormwater training does the MS4 inspector receive? How often?
The inspectors are SCM Inspector Certified and Qualified Stormwater Professionals. These certifications expire every three years.
Did the MS4 inspector appear knowledgeable about Permit requirements for pollution prevention and good housekeeping?
Yes.
Did the MS4 inspector appear knowledgeable about stormwater pollution prevention and good housekeeping?
Yes.
Inspection Procedures
Does the MS4 inspector's process include the use of a checklist or other standardized form?
Yes.
Does the MS4 inspector's process include taking photos?
Yes.
Does the MS4 inspector's process include reviewing the facility's SWPPP (or similar document)?
Yes.
Does the MS4 inspector's process include walking the entire facility and inspecting all points of discharge?
Yes.
Did the MS4 inspector miss any obvious areas of concern? If so, explain:
No.
Does the MS4 inspector's process include presenting the inspection findings to the facility contact?
Yes.
Inspection Results
Did the facility inspection result in any corrective actions to be implemented? If so, for what issue(s)?
Yes, a follow up of discolored water in a catch basin north of the garage will be investigated.
NCS000540_Mooresville M54 Audit_20220608 Page 13 of 21
NCS000540_Mooresville MS4 Audit_20220608 Page 14 of 21
Facility Name: Date and Time of Site Visit:
Mooresville Golf Course June 8, 2022, at 3:55pm
Facility Address:
Facility Type (Vehicle Maintenance, landscaping, etc.):
Golf Course Drive
Landscaping and Golf Cart Washing
Name of M54 inspector(s) evaluated:
Most Recent M54 Inspection (Date and Entity):
Nick Lynch
June 27, 2022
Marissa Meltzer
Name(s) and Title(s) of Facility Representative(s) Present During the Site Visit:
Name Title
tllty Documentation/Training _- - -- --
Does the facility have a Stormwater Pollution Prevention Plan (SWPPP) or similar document? Is it facility -specific?
Yes, the permittee has a SWPPP or similar document at the facility.
What type of stormwater training do facility employees receive? How often?
Facility staff receive annual IDDE and PPGH training.
Inspector Training/Knowledge
What type of stormwater training does the MS4 inspector receive? How often?
The inspectors are SCM Inspector Certified and Qualified Stormwater Professionals. These certifications expire everythree years.
Did the MS4 inspector appear knowledgeable about Permit requirements for pollution prevention and good housekeeping?
Yes.
Did the MS4 inspector appear knowledgeable about stormwater pollution prevention and good housekeeping?
Yes.
Inspection Procedures
Does the MS4 inspector's process include the use of a checklist or other standardized form?
Yes.
Does the MS4 inspector's process include taking photos?
No.
Does the MS4 inspector's process include reviewing the facility's SWPPP (or similar document)?
Yes.
Does the MS4 inspector's process include walking the entire facility and inspecting all points of discharge?
Yes.
Did the MS4 inspector miss any obvious areas of concern? If so, explain:
No.
Does the MS4 inspector's process include presenting the inspection findings to the facility contact?
Yes. _
--
ection Results
Did the facility inspection result in any corrective actions to be implemented? If so, for what issue(s)?
No.
If compliance corrective actions were identified, what timeline for correction/follow-up was provided?
Not Applicable.
NCS000540 Mooresville M54 Audit 20220608 Page 15 of 21
Outfall ID Number: Date and Time of Site Visit:
CN-698-DC June 9, 2022, at 11:25am
Outfall Location:
Outfall Description (Pipe Material/Diameter, Culvert, etc.):
Willow Valley Cemetery
72" CMP
Receiving Water:
Is Flow Present? If So, Describe (Color, Approximate Flow Rate,
Dye Creek
Sheen, Odor, Floatables/Debris, etc.):
This outfall is stream. Flow was present. Flow is clean and clear.
Most Recent Outfall Inspection/Screening (Date):
October 8, 2021
Days Since Last Rainfall:
Inches:
Seven or more days
0
Name of MS4 Inspector(s) evaluated:
Scott, Town of Mooresville
Observat.
Inspector Training/Knowriedge
What type of stormwater training does the MS4 inspector receive? How often?
The MS4 inspector receives training from the Stormwater Maintenance Supervisor.
Did the M54 inspector appear knowledgeable about illicit discharge indicators and investigations?
Yes.
Inspection Procedures
Does the inspector's process include the use of a checklist or other standardized form?
Yes.
Does the inspector's process include taking photos?
Yes.
Did the MS4 inspector miss any obvious potential illicit discharge indicators or maintenance issues? If so, what were they?
No.
inspection Results
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?
Yes, periodic reinspection.
NCS000540_Mooresville MS4 Audit_20220608 Page 16 of 21
Outfall ID Number:
Date and Time of Site Visit:
CN-1572-DC
June 9, 2022, at 11:45am
Outfall Location:
Outfall Description (Pipe Material/Diameter, Culvert, etc.):
48" RCP
Receiving Water:
Is Flow Present? If So, Describe (Color, Approximate Flow Rate,
Reed Creek
Sheen, Odor, Floatables/Debris, etc.):
Yes, slight flow is present. Flow is clean and clear. Some woody
vegetation and sediment accumulation obstructs the flow of
discharge from the pipe.
Most Recent Outfall Inspection/Screening (Date):
June 1, 2022
Days Since Last Rainfall:
Inches:
Seven or more days
0
Name of M54 Inspector(s):
Scott, Town of Mooresville
What type of stormwater training does the MS4 inspector receive? How often?
The M54 inspector receives training from the Stormwater Maintenance Supervisor.
Did the MS4 inspector appear knowledgeable about illicit discharge indicators and investigations?
Yes.
Inspectiori Procedures '-
Does the inspector's process include the use of a checklist or other standardized form? Obtain copy.
Yes.
Does the inspector's process include taking photos?
Yes.
Did the M54 inspector miss any obvious potential illicit discharge indicators or maintenance issues? If so, what were they?
No.
Inspection Results
Did the outfall inspection result in any work orders or maintenance requests? If so,forwhat issue(s)?
Yes, the outfall needs to have woody vegetation and sediment removed. The outfall discharges into a post -construction BMP that
needs to be maintained by the property owner.
Will a follow-up outfall inspection be conducted? If so, for what reason?
Yes, reinspection of BMP and outfall once repairs are complete.
NCS000540_Mooresville MS4 Audit_20220608 Page 17 of 21
APPENDIX A: Photograph Log
Photograph 1: Overview of Mooresville Operations Center.
Photograph 2: Additional overview of Mooresville Operation Center.
NCS000540_Mooresville MS4 Audit 20220608 Page 18 of 21
Photograph 3: View of bulk brine, salt, gravel, and soil storage at the Operation Center
Photograph 4: View of bulk soil stockpile with storm drain below.
NCS000540_Mooresville M54 Audit 20220608 Page 19 of 21
___________
Photograph 5: Overview of Golf Course cart wash area with recirculated pump to capture all
run off.
Photograph 6: View of used grease trap and recirculating pump container at the Golf Course.
NCS000540 Mooresville MS4 Audit 20220608
Page 20 of 21