HomeMy WebLinkAboutNCS000395_Draft SWMP_20221209Stormwater Quality Management Program Plan
Permit No. NCS000395
November 2022 (Version 13.0)
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CENTRAL PIEDMONT C.M,1,,I Y COLLEGE
North Carolina
Prepared by:
Charlotte -Mecklenburg Stormwater Services
Mecklenburg County Water Quality Program
2154 Suttle Avenue
Charlotte, N.C. 28208-5237
Prepared for:
NPDES Phase H Stormwater Permit (NCS000395) for Mecklenburg County; Charlotte -
Mecklenburg Schools; Central Piedmont Community College; and the Towns of Cornelius,
Davidson, Huntersville, Matthews, Mint Hill and Pineville
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
services
Table of Contents
SECTION 1: CERTIFICATION & STORMWATER PLAN REVIEW LOG ........................ 1
1.1
Certification....................................................................................................................1
1.2
Storm Water Quality Management Program Plan Document Review & Update Log... 1
SECTION2: INTRODUCTION.............................................................................................. 3
SECTION 3: MS4 INFORMATION........................................................................................ 4
3.1
Permitted MS4 Area....................................................................................................... 4
3.2
Existing MS4 Mapping.................................................................................................. 5
3.3
Receiving Waters........................................................................................................... 6
3.4
MS4 Interconnections...................................................................................................10
3.5
Total Maximum Daily Loads(TMDLs).......................................................................
10
3.6
Endangered and Threatened Species and Critical Habitat ...........................................
15
3.7
Industrial Facility Discharges.......................................................................................
15
3.8
Non-Stormwater Discharges........................................................................................
17
3.9
Targeted Pollutants and Sources..................................................................................
18
3.10
Targeted Audiences......................................................................................................
19
SECTION 4: STORMWATER MANAGEMENT PROGRAM ADMINISTRATION ........
20
4.1
Program Goal..............................................................................................................
20
4.2
BMP Summary Table..................................................................................................
20
4.3
Organizational Structure..............................................................................................
22
4.4
Standard Operating Procedures (SOPs)......................................................................
24
4.5
Documentation............................................................................................................
24
4.6
Annual Assessments of SWMP and Implementation of Improvements .....................
25
4.7
Program Budget and Funding......................................................................................
30
4.8
Co-Permittees..............................................................................................................
31
4.9
Shared Responsibilities...............................................................................................
32
4.10
Coordination Between Co-Permittees.........................................................................
33
SECTION 5: PUBLIC EDUCATION AND OUTREACH PROGRAM ...............................
34
5.1
Program Goals and Objectives.....................................................................................
34
5.2
BMP Summary Table...................................................................................................
34
5.3
Stormwater Helpline.....................................................................................................
37
5.4
Outreach Program.........................................................................................................
37
5.4.1
Utility Bill Inserts.....................................................................................................
37
5.4.2
Brochures and Environmental Notices.....................................................................
38
5.4.3
Articles and Newsletters...........................................................................................
38
5.4.4
Media Campaign.......................................................................................................
39
5.4.5
Social Media.............................................................................................................
39
5.4.6
Targeted Outreach.....................................................................................................
39
5.4.7
Workshops and Video Taped Messages...................................................................
40
5.4.8
Web Pages.................................................................................................................
40
5.4.9
Educational Presentations and Public Events...........................................................
41
5.4.10
Regional Stormwater Partnership of the Carolinas ...............................................
41
5.5
Reaching Mecklenburg County's Diverse Population .................................................
41
5.6
Communication Plan....................................................................................................
42
5.7
Decision Process...........................................................................................................
42
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Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
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5.8 Program Evaluation......................................................................................................
43
SECTION 6: PUBLIC INVOLVEMENT AND PARTICIPATION PROGRAM .................
44
6.1 Program Goals and Objectives.....................................................................................
44
6.2 BMP Summary Table...................................................................................................
44
6.3 Targeted Audience.......................................................................................................
47
6.4 Mechanisms for Public Involvement and Participation ...............................................
47
6.4.1 Charlotte Mecklenburg Stormwater Advisory Committee (SWAC)........................
48
6.4.2 Public Meetings........................................................................................................
48
6.4.3 Adopt -A -Stream Program.........................................................................................
48
6.4.4 Storm Drain Marking Program.................................................................................
49
6.4.5 Surface Water Clean Up...........................................................................................
49
6.4.6 Volunteer Monitoring...............................................................................................
50
6.4.7 Volunteer Appreciation Campaign...........................................................................
50
6.5 Decision Process...........................................................................................................
50
6.6 Program Evaluation......................................................................................................
51
SECTION 7: ILLICIT DISCHARGE DETECTION AND ELIMINATION PROGRAM ...
52
7.1 Program Goals and Objectives.....................................................................................
52
7.2 BMP Summary Table...................................................................................................
53
7.3 Illicit Discharge Detection & Elimination Manual ......................................................
57
7.4 Storm Sewer System Mapping.....................................................................................
57
7.5 Pollution Control Ordinance........................................................................................
59
7.6 Enforcement.................................................................................................................
61
7.7 Detection and Elimination............................................................................................
62
7.7.1 Identifying Priority Areas.........................................................................................
62
7.7.1.1 Citizen Requests for Service..................................................................
62
7.7.1.2 Routine Water Quality Monitoring Activities ........................................
64
7.7.1.3 Volunteer Activities...............................................................................
67
7.7.1.4 GIS Mapping..........................................................................................
67
7.7.2 Confirming the Presence of an Illicit Discharge.......................................................
68
7.7.2.1 Illicit Discharge Elimination Program(IDEP).......................................
68
7.7.2.2 Short Term Monitoring..........................................................................
69
7.7.2.3 Hot Spot Investigations..........................................................................
69
7.7.2.4 Stream Walks.........................................................................................
70
7.7.2.5 Dry Weather Flow Investigations..........................................................
70
7.7.3 Tracking the Source of an Illicit Discharge..............................................................
70
7.7.3.1 Record Reviews......................................................................................
70
7.7.3.2 Inspections..............................................................................................
71
7.7.3.3 Monitoring..............................................................................................71
7.7.4 Procedures for Removing the Source of the Illicit Discharge ..................................
71
7.7.5 Documentation..........................................................................................................71
7.8 Outreach.......................................................................................................................
72
7.9 Decision Process...........................................................................................................
73
7.10 Program Evaluation......................................................................................................
74
SECTION 8: CONSTRUCTION SITE RUNOFF CONTROL PROGRAM .........................
75
8.1 Program Goals and Objectives.....................................................................................
75
8.2 BMP Summary Table...................................................................................................
75
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Stormwater Quality Management Program Plan - NPDES # NCS000395 -November 2022
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8.3
Erosion Control Ordinance........................................................................................... 77
8.4
Erosion Control Plan Reviews..................................................................................... 78
8.5
Enforcement................................................................................................................. 78
8.6
Inspections.................................................................................................................... 78
8.7
Erosion Control Hotline............................................................................................... 79
8.8
Erosion Control Education........................................................................................... 79
8.9
Government Projects.................................................................................................... 79
8.10
Decision Process........................................................................................................... 79
8.11
Program Evaluation...................................................................................................... 79
SECTION
9: POST -CONSTRUCTION SITE RUNOFF CONTROL PROGRAM .............. 81
9.1
Program Goals and Objectives..................................................................................... 81
9.2
BMP Summary Table................................................................................................... 81
9.3
Post -Construction Stormwater Ordinances.................................................................. 84
9.4
Compliance by Co-Permittees with Post -Construction Ordinance Requirements....... 86
9.5
Requirements for Non -Structural BMPs...................................................................... 87
9.6
Requirements for Structural BMPs.............................................................................. 88
9.7
Natural Resource Protection......................................................................................... 89
9.8
Open Space Protection................................................................................................. 89
9.9
Tree Preservation.......................................................................................................... 89
9.10
Green Infrastructure Practices...................................................................................... 89
9.11
Operation and Maintenance.......................................................................................... 90
9.13
Decision Process........................................................................................................... 92
9.14
Program Evaluation...................................................................................................... 92
SECTION
10: POLLUTION PREVENTION & GOOD HOUSEKEEPING PROGRAM ..... 94
10.1
Program Goals and Objectives..................................................................................... 94
10.2
BMP Summary Table................................................................................................... 94
10.3
Inventory of Municipally Owned or Operated Facilities ............................................. 97
10.4
Training......................................................................................................................
100
10.5
Operation and Maintenance Programs, Spill Prevention, and Spill Response...........
101
10.6
Standard Operating Procedures (SOPs) for Municipal Facility Operations ...............
103
10.7
Minimizing Pollution from Municipally Owned Streets and Parking Lots ...............
103
10.8
Operation and Maintenance Plans for MS4s and SCMs............................................
104
10.9
Evaluation of BMPs for Streets, Roads, Parking Lots, and Storm Sewer Systems ...
105
10.10
Winter Road Maintenance..........................................................................................
105
10.11
Management of Pesticide, Herbicide and Fertilizer Application ...............................
106
10.12
Controlling Pollutants from Vehicle/Equipment Maintenance, Cleaning & Fueling
108
10.13
Waste Disposal...........................................................................................................
109
10.14
Flood Management Projects.......................................................................................
109
10.15
Decision Process.........................................................................................................
109
10.16
Program Evaluation....................................................................................................
110
SECTION
11: TMDL WATER QUALITY RECOVERY PROGRAM ................................
III
11.1
Program Goals and Objectives...................................................................................
111
11.2
BMP Summary Table.................................................................................................
112
11.3
TMDL Pollutants of Concern .....................................................................................
113
11.3.1 Fecal Coliform TMDLs......................................................................................
113
11.3.2 Nutrient TMDL...................................................................................................
114
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Charlotte -Mecklenburg
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Stormwater Quality Management Program Plan —NPDES # NCS000395 —November 2022
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11.3.3 Mercury TMDL..................................................................................................
114
11.4 Watershed Characteristics..........................................................................................
114
11.4.1 Rocky River Watershed......................................................................................
115
11.4.2 Goose Creek Watershed......................................................................................
119
11.4.3 Lake Wylie Watershed........................................................................................
123
11.5 Public Information and Notification...........................................................................
128
11.6 Implementation Team................................................................................................
128
11.7 MS4 Major Stormwater Outfalls in the TMDL Watersheds .....................................
128
11.8 Existing BMP Measures............................................................................................
129
11.8.1 Public Education & Outreach.............................................................................
129
11.8.2 Fats, Oils and Grease Program............................................................................
129
11.8.3 Public Involvement and Participation.................................................................
130
11.8.4 Illicit Discharge Detection and Elimination (IDDE)..........................................
130
11.8.5 Sewer Use Ordinance..........................................................................................
130
11.8.6 Sanitary Sewer System Inspections and Maintenance ........................................
130
11.8.7 SSO Rapid Response..........................................................................................
131
11.8.8 Construction Site Stormwater Runoff Control ...................................................
131
11.8.9 Post -Construction Site Runoff Control...............................................................
131
11.8.10 Pollution Prevention and Good Housekeeping...................................................
132
11.9 Water Quality Monitoring and Data Assessment......................................................
132
11.9.1 Fecal Coliform Monitoring and Data Assessment for the Rocky River .............
132
11.9.2 Fecal Coliform Monitoring and Data Assessment for Goose Creek ..................
133
11.9.3 Chlorophyll -A Monitoring and Data Assessment for Lake Wylie .....................
134
11.9.4 Mercury Monitoring and Data Assessment Statewide ........................................
134
11.9.5 Effectiveness of BMPs Based on Data Analysis ................................................
134
11.10 Additional BMP Measures Implemented through FY2022......................................
134
11.10.1 Additional BMP Measures in the Rocky River Watershed ................................
134
11.10.2 Additional BMP Measures in the Goose Creek Watershed ................................
137
11.10.3 Additional BMP Measures in the Lake Wylie Watershed ..................................
141
11.10.4 Additional BMP Measures Planned for TMDL Watersheds in FY2023 ............
141
11.11 Tracking and Reporting Success...............................................................................
142
11.12 Reporting...................................................................................................................
142
List of Tables:
Table 1: Dates and Staff Responsible for Completion of Annual Reviews of the SWMP............. 2
Table 2: Summary of MS4 Mapping (FY2022)............................................................................. 6
Table 3: Summary of MS4 Receiving Waters................................................................................ 6
Table 4: Approved TMDLs for Mecklenburg County's Phase I and Phase II Jurisdictions ........
11
Table 5: New TMDL Requirements.............................................................................................
13
Table 6: Summary of Federally Listed Species/Habitat Impacted by Surface Water Quality .....
15
Table 7: NPDES Stormwater Permitted Industrial Facilities.......................................................
16
Table 8: Non-Stormwater Discharges...........................................................................................
18
Table 9: Targeted Pollutants, Potential Impacts/Physical Attributes, Pollutant Sources, Audience
andContributing Issues................................................................................................
19
Table 10: BMP Summary Table...................................................................................................
20
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Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
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Table 11: Summary of Responsible Parties.................................................................................. 22
Table 12: Improvements Incorporated into Annual Work Plans .................................................. 26
Table 13: Changes Made to the SWMP Document in November 2022....................................... 28
Table 14: Estimated Cost Breakdown by Jurisdiction/Entity for FY2022................................... 31
Table 15: Co-Permittee Contact Information............................................................................... 31
Table 16: BMP Summary Table for the Public Education and Outreach Program ...................... 35
Table 17: BMP Summary Table for the Public Involvement and Participation Program ............ 44
Table 18: BMP Summary Table for the IDDE Program.............................................................. 53
Table 19: BMP Summary Table for the Construction Site Stormwater Control Program ........... 76
Table 20: BMP Summary Table for the Post -Construction Site Runoff Control Program.......... 82
Table 21: Non -Structural BMPs Required by Post -Construction Ordinances .............................. 87
Table 22: Structural BMPs Contained in the Post -Construction Ordinances ............................... 88
Table 23: BMP Summary Table for the Pollution Prevention/Good Housekeeping Program ..... 94
Table 24: Municipal Operations Owned and/or Operated by the County and Towns .................. 98
Table 25: Municipal Operations Owned and/or Operated by CMS ............................................. 99
Table 26: Municipal Operations Owned and/or Operated by CPCC............................................ 99
Table 27: Municipal Operations that have been Issued Stormwater Permits .............................
100
Table 28: Pounds of Pollutants Removed and Costs for FY2022..............................................
105
Table 29: Annual Treatment Area Thresholds............................................................................
106
Table 30: Limits on Pesticide Applications in the Goose Creek Watershed ..............................
107
Table 31: BMP Summary Table for the TMDL Program...........................................................
112
Table 32: Information Regarding the Rocky River Watershed in Mecklenburg County ...........
115
Table 33: Information Regarding the Goose Creek Watershed in Mecklenburg County...........
119
Table 34: Information Regarding the Lake Wylie Watershed in Mecklenburg County .............
123
Table 35: Number of Outfalls in each TMDL Watershed..........................................................
129
Table 36: Annual Analysis of the Rocky River Watershed for the Monitoring Plan .................
133
List of Figures:
Figure l: Mecklenburg County Phase II MS4 Jurisdictions........................................................... 4
Figure2: MS4 Mapping.................................................................................................................. 5
Figure 3: Surface Waters in Phase II Jurisdictions with Approved TMDLs................................ 14
Figure 4: Utility Bill Insert ........................................................................................................... 38
Figure5: Web Banner................................................................................................................... 39
Figure 6: Targeted Education Mailer............................................................................................ 40
Figure7: Storm Drain Marker...................................................................................................... 49
Figure 8: Screen Shot from Cityworks of Storm Drain Inlets, Outlets, and Receiving Streams.. 58
Figure 9: Phase II Stream Monitoring Sites.................................................................................. 65
Figure 10: Stream Use Support Index (SUSI) Map (April through June 2022) ........................... 66
Figure 11: GIS Map Available Through Cityworks for Prioritizing Areas for Illicit Discharges 68
Figure 12: Notices of Violation Issued from 7-1-2020 through 7-1-2022.................................... 72
Figure 13: Stream Restoration in the Torrence Creek Watershed in Huntersville .....................
109
Figure 14: Location of the Rocky River Watershed in Relation to Mecklenburg County .........
116
Figure 15: TMDL Waters, Outfalls and Monitoring Sites in the Rocky River Watershed in
MecklenburgCounty..................................................................................................
117
Figure 16: Land uses in the Rocky River TMDL Watershed in Mecklenburg County ..............
118
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Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan —NPDES # NCS000395 —November 2022
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Figure 17: Location of the Goose Creek Watershed in Mecklenburg ........................................ 120
Figure 18: TMDL Waters, Outfalls and Monitoring Sites in the Goose Creek Watershed in
MecklenburgCounty.................................................................................................. 121
Figure 19: Land uses in the Goose Creek TMDL Watershed in Mecklenburg County ............. 122
Figure 20: Location of Lake Wylie Watershed in Mecklenburg County ................................... 125
Figure 21: TMDL Waters, Outfalls and Monitoring Sites in the Lake Wylie Watershed in
MecklenburgCounty.................................................................................................. 126
Figure 22: Land uses in the Lake Wylie TMDL Watershed in Mecklenburg County ............... 127
Appendices
Appendix A: BMP Summary Table............................................................................................ 143
Appendix B: Mecklenburg County Phase II Jurisdictions/Entities Organizational Charts ........ 162
Appendix C: Post -Construction Policy for Transportation Projects ........................................... 172
Appendix D: Phase II Municipal Facility Inventory Procedures ................................................ 175
Appendix E: Stormwater Inspection Checklist for Municipal Facilities .................................... 187
Appendix F: Co-Permittee Responsibilities for Compliance with Phase Permit Requirements 192
Acronyms
BMP: Best Management Practice
CMS: Charlotte Mecklenburg Schools
CPCC: Central Piedmont Community College
CMSWS: Charlotte Mecklenburg Stormwater Services — County Water Quality Program
EDMS: Environmental Data Management System
FY: Fiscal Year
GIS: Geographic Information System
GPS: Global Positioning System
IDDE: Illicit Discharge Detection and Elimination
LUESA: Land Use and Environmental Services Agency
MEP: Maximum Extent Practicable
MS4: Municipal Separate Storm Sewer System
NCAC: North Carolina Administrative Code
NCDEQ: North Carolina Department of Environmental Quality
NPDES: National Pollutant Discharge Elimination System
SWAC: Stormwater Advisory Committee
S.W.I.M.: Surface Water Improvement and Management
SWMP: Stormwater Management Program
SCM: Stormwater Control Measure
SWMP Storm Water Quality Management Program Plan (aka Stormwater Plan)
TMDL: Total Maximum Daily Load
TP:
Total Phosphorus
TN:
Total Nitrogen
TSS:
Total Suspended Solids
WLA:
Waste Load Allocation
WQRP:
Water Quality Recovery Program
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SECTION 1:
1.1 Certification
Stormwater Quality Management Program Plan — NPDES # NCS000395 — November 2022
CERTIFICATION & STORMWATER PLAN REVIEW LOG
By my signature below I hereby 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.
I am also aware that the contents of this document shall become an enforceable Section of the
NPDES MS4 Permit, and that both the Division and the Environmental Protection Agency have
NPDES MS4 Permit compliance and enforcement authority.
❑ I am a ranking elected official.
❑ I am a principal executive officer for the permitted MS4.
X I am a duly authorized representative for the permitted MS4 and have attached the
authorization made in writing by a principal executive officer or ranking elected official
which specifies me as (check one):
X A specific individual having overall responsibility for stormwater matters.
❑ A spn-i
position having overall responsibility for stormwater matters.
lwadma
Signature:
bo
Print
Name:
Don Ceccarelli
Title:
Division Director, Storm Water Services
Signed this 6t' day of December 2022.
1.2 Storm Water Quality Management Program Plan Document Review & Update Log
Table 1 below provides the dates and the staff person responsible for completion of the annual
review of the Storm Water Quality Management Program Plan (SWMP) document. The purpose
of this review is to evaluate the performance and effectiveness of the program components
described in the SWMP and modify them as necessary to ensure the discharge of pollutants to
the Municipally Separate Storm Sewer System (MS4) are reduced to the maximum extent
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 — November 2022
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practicable for the protection of water quality, and to satisfy the applicable water quality
requirements of the Clean Water Act. The changes made to develop this most recent version of
the SWMP document are provided in Table 13 located in Section 4.6. Changes made to other
versions are available by contacting Rusty Rozzelle at 980-314-3217 or
rusty.rozzellegmecklenbur- cam. nc. - ov.
Table 1: Dates and Staff Responsible for Completion of Annual Reviews of the SWMP
Version
Review Date
Responsible
Staff
Title
1.0
August 2006
Rusty
Rozzelle
Water Quality
Program
Manager
2.0
November 2009
Rusty
Rozzelle
Water Quality
Program
Manager
3.0
January 2010
Rusty
Rozzelle
Water Quality
Program
Manager
3.1
August 2010
Rusty
Rozzelle
Water Quality
Program
Manager
4.0
June 2012
Rusty
Rozzelle
Water Quality
Program
Manager
4.1
August 2012
Rusty
Rozzelle
Water Quality
Program
Manager
4.2
November 2012
Rusty
Rozzelle
Water Quality
Program
Manager
5.0
March 2014
Rusty
Rozzelle
Water Quality
Program
Manager
6.0
August 2015
Rusty
Rozzelle
Water Quality
Program
Manager
7.0
Aril 2016
Rusty
Rozzelle
Water Quality
Program
Manager
8.0
August 2017
Rusty
Rozzelle
Water Quality
Program
Manager
9.0
October 2018
Rusty
Rozzelle
Water Quality
Program
Manager
10.0
November 2019
Rusty
Rozzelle
Water Quality
Program
Manager
11.0
October 2020
Rusty
Rozzelle
Water Quality
Program
Manager
12.0
March 2021
Rusty
Rozzelle
Water Quality
Program
Manager
12.1
May 2021
Rusty
Rozzelle
Water Quality
Program
Manager
12.2
July 2021
Rusty
Rozzelle
Water Quality
Program
Manager
12.3
October 2021
Rusty
Rozzelle
Water Quality
Program
Manager
13.0
November 2022
Rusty
Rozzelle
Water Quality
Program
Manager
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 — November 2022
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SECTION 2: INTRODUCTION
The purpose of this SWMP is to establish and define the means by which the Mecklenburg
County Phase II jurisdictions/entities will comply with their National Pollutant Discharge
Elimination System (NPDES) Municipal Separate Storm Sewer System (MS4) Permit number
NCS000395 and the applicable provisions of the Clean Water Act to meet the federal standard of
reducing pollutants in stormwater runoff to the maximum extent practicable. The following nine
(9) Mecklenburg County Phase II jurisdictions/entities are covered by this SWMP:
1. Mecklenburg County (unincorporated)
2. Charlotte -Mecklenburg Schools (CMS)
3. Central Piedmont Community College (CPCC)
4. Town of Cornelius
5. Town of Davidson
6. Town of Huntersville
7. Town of Matthews
8. Town of Mint Hill
9. Town of Pineville
This SWMP identifies the specific elements and minimum measures that the Mecklenburg
County Phase II jurisdictions/entities will develop, implement, enforce, evaluate and report to the
North Carolina Department of Environmental Quality (NCDEQ) Division of Energy, Minerals
and Land Resources (DEMLR) in order to comply with the MS4 Permit number NCS000395 as
issued by NCDEQ. This permit covers activities associated with the discharge of stormwater
from the MS4 as owned and operated by the Mecklenburg County Phase II jurisdictions/entities
and located within the corporate limits or areas under their control. This SWMP also includes in
Section 11 the Water Quality Recovery Program developed for compliance with the Permit
requirement for reducing levels of the pollutant of concern in accordance with approved Waste Load
Allocation assigned to stormwater in an approved TMDL.
In preparing this SWMP, the Mecklenburg County Phase II jurisdictions/entities have evaluated
their MS4s and the Permit requirements to develop a comprehensive 5-year SWMP that will
meet the community's needs, address local water quality issues and provide the minimum
measures necessary to comply with the Permit. The SWMP will be evaluated and updated
annually to ensure that the elements and minimum measures it contains continue to adequately
provide for Permit compliance and the community's needs.
Once the SWMP is approved by NCDEQ, all provisions contained and referenced in this SWMP,
along with any approved modifications of the SWMP, are incorporated by reference into the
Permit and become enforceable Sections of the Permit. Any major changes to the approved
SWMP will require resubmittal and approval by NCDEQ and may require a new public
comment period depending on the nature of the changes.
' Charlotte-Mecklenhurg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 — November 2022
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SECTION 3: MS4 INFORMATION
3.1 Permitted MS4 Area
This SWMP includes all regulated activities associated with the discharge of stormwater from
the MS4s throughout the corporate limits of the Towns of Cornelius, Davidson, Huntersville,
Matthews, Mint Hill, and Pineville as well as the unincorporated area of Mecklenburg County
outside these corporate limits and the cooperate limits for the City of Charlotte, which is a Phase
I jurisdiction (NCS000240). This SWMP also applies to properties owned and/or controlled by
Charlotte -Mecklenburg Schools (CMS) and Central Piedmont Community College (CPCC).
Figure 1 below shows the corporate limits of the jurisdictions as of October 2022.
Legend
h rong owrMte
f ' iver OwEb LUS
a Hunlersville
Matmewri
k k Wecklanorp
kDowr 1P'C
�.' W& hOnl Hill
f Yi Pinev+e
.Gar Creek
MaIIardCmek
BarkCreek
i r
Ia Cr l
Stew rt Reedy reek
�1r rylcKee Creek
Rria reek
Clear Creek
Little
� Cr
Gaase Creek
S $ek '1 � Steve nsCreEk
M+cT� Ilan k
Cr k IS
5I k1eC _
F L; r ruti I'
CfEEk
x
•� � �I 11e
r~
{ k
Figure 1: Mecklenburg County Phase II MS4 Jurisdictions
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Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
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3.2 Existing MS4 Mapping
The current MS4 map includes inlets, outlets and receiving streams stored in the County's ESRI
ArcGIS SDE Geodatabase. New inlets and outlets are added to the system as new development/
redevelopment occurs and existing outlet structures are re -inspected at least every 5-years as part
of CMSWS's Stream Walk Program. Inlet and outlet structures are viewable to staff through the
Cityworks and ESRI applications. Figure 2 represents the data available in the system. Table 2
provides a summary of the MS4 inventory by jurisdiction. During FY2022, 38 new inlets and
142 new outfalls were added to the MS4 inventory.
U_
Stream Centerline
Charlotte -Mecklenburg ouffalls
STORM Inlets
1 " = 4 miles Major Roads
0 2 4 8 Miles9-9WATER �-- Boundary
Phase II
I i i i I i i i 1` Services Mecklenburg County Lakes
City of Charlotte Boundary
Figure 2: MS4 Mapping
5
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
services
Table 2: Summary of MS4 Mapping (FY2022)
Jurisdiction
Inlets
All Outfalls
(>12")
Major Outfalls
(>36")
Industrial
Outfalls
Cornelius
6,284
897
32
0
Davidson
3,174
443
44
0
Huntersville
13,446
1,880
133
3
Matthews
6,229
848
39
3
Mint Hill
4,343
1,144
66
1
Pineville
3,685
601
14
0
Mecklenburg (unincorporated)
10,432
2,129
99
4
CMS
5,441
841
27
0
CPCC
343
66
1
0
Total
53,377
8,849
452
11
3.3 Receiving Waters
The Mecklenburg County Phase II jurisdictions/entities are located within the Catawba and
Yadkin Pee -Dee River Basins and discharge directly into receiving waters as listed in Table 3
below. The Applicable water quality classifications, criteria exceeded, and TMDL status listed
below are compiled from the following NCDEQ sources:
• Waterbody Classification Map
• 2018 Final NC Integrated Report
httDs:Hfiles.nc. tiov/ncdea/Water%200uality/Planniniz/TMDL/303d/2018/20181RO72519.
pdf
Table 3: Summary of MS4 Receiving Waters
Receiving Water
Stream Index
Water
Quality
Criteria
TMDL Status
Name
/ AU Number
Classification
Exceeded
CATAWBA
Mountain Island Lake
l l-(114)
S-IV (CA);
Fish Tissue Mercury
Approved Statewide
B
Fish Tissue Mercury
Approved Statewide
PCB Fish Tissue
Pending (303(d) listed)
Lake Wylie
11-(117)
WS-IV (CA)
Advisory
WS-IV (CA);
Fish Tissue Mercury
Approved Statewide
PCB Fish Tissue
Pending (303(d) listed)
Lake Wylie
11-(122)
B
Advisory
Lake Wylie (NC
Fish Tissue Mercury
Approved Statewide
PCB Fish Tissue
Pending (303(d) listed)
Portion)
l l-(123.5)a
WS-V, B
Advisory
Fish Tissue Mercury
Approved Statewide
PCB Fish Tissue
Pending (303(d) listed)
Lake Norman
l l-(75)
WS-IV (CA);
B
Advisory
Temperature
Not Required
Gambles Creek
11-107
WS-IV (CA)
Not Assessed
N/A
rel
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
services
Receiving Water
Stream Index
Water
Criteria
Name
/ AU Number
Quality
Exceeded
TMDL Status
Classification
(Cathey Creek)
Knox Creek
11-108
S-IV (CA);
Not Assessed
N/A
B
Hager Creek
11-109
S-IV (CA);
Not Assessed
N/A
B
Ramsey Creek
11-111
WS-IV
Not Assessed
N/A
Fish Community
Not Required
McDowell Creek
11-115-(1)
C
Fish Tissue Mercury
Approved Statewide
Fish Community
Not Required
McDowell Creek
11-115-(1.5)a
WS-IV
Fish Tissue Mercury
Approved Statewide
Benthos
Not Required
McDowell Creek
11-115-(1.5)b
WS-IV
Fish Tissue Mercury
Approved Statewide
McDowell Creek
11-115-(5)
WS-IV (CA)
Fish Tissue Mercury
Approved Statewide
Caldwell Station
11-115-2-(1)
C
Not Assessed
N/A
Creek
Caldwell Station
11-115-2-(2)
WS-IV
Not Assessed
N/A
Creek
Torrence Creek
11-115-4
WS-IV
Not Assessed
N/A
Gar Creek
11-116-(1)
WS-IV
Fish Tissue Mercury
Approved Statewide
Gar Creek
11-116-(2)
WS-IV (CA)
Not Assessed
N/A
Harwood Lakes and
11-118
WS-IV (CA)
Not Assessed
N/A
Brinkley Twin Lakes
Long Creek
11-120-(2.5)
WS-IV
Fish Tissue Mercury
Approved Statewide
Long Creek
11-120-(7)
WS-IV (CA)
Not Assessed
N/A
Dixon Branch
11-120-1
C
Not Assessed
N/A
Vances Twin Lakes
11-120-1-1
C
Not Assessed
N/A
Swaringer Lake
11-120-2
C
Not Assessed
N/A
McIntyre Creek
11-120-3-(1)
C
Not Assessed
N/A
McIntyre Creek
11-120-3-(2)
WS-IV
Not Assessed
N/A
Gutter Branch
11-120-4-(1)
C
Not Assessed
N/A
Gutter Branch
11-120-4-(2)
WS-IV
Not Assessed
N/A
Gum Branch
11-120-5
WS-IV
Not Assessed
N/A
Thomas Pond
11-120-6
WS-IV
Not Assessed
N/A
Paw Creek
11-124
C
Not Assessed
N/A
Ticer Branch (Tiler
11-124-1
C
Not Assessed
N/A
Branch)
Little Paw Creek
11-125
C
Not Assessed
N/A
(Danga Lake)
Unnamed Tributary to
Little Paw Creek
11-125-1
B
Not Assessed
N/A
(Friday Lake)
Beaverdam Creek
11-126
C
Not Assessed
N/A
Legion Lake and
11-126-1
C
Not Assessed
N/A
Shoaf Lake
Stowe Branch
11-127
C
Not Assessed
N/A
Neal Branch (Armour
11-128
C
Not Assessed
N/A
Creek)
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
services
Receiving Water
Name
Stream Index
/ AU Number
Water
Quality
Classification
Criteria
Exceeded
TMDL Status
Long Cove
11-132
C
Not Assessed
N/A
Porter Branch
11-133
C
Not Assessed
N/A
Studman Branch
11-134
C
Not Assessed
N/A
Torrence Branch
11-136
B
Not Assessed
N/A
Sugar Creek
11-137b
C
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Fish Tissue Mercury
Approved Statewide
Sugar Creek
11-137c
C
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Fish Tissue Mercury
Approved Statewide
Steele Creek
11-137-10
C
Not Assessed
N/A
Walker Branch
11-137-10-1
C
Not Assessed
N/A
Blankmanship Branch
11-137-10-2
C
Not Assessed
N/A
Stewart Creek
11-137-1-2
C
Not Assessed
N/A
Coffey Creek
11-137-4
C
Not Assessed
N/A
Eagle Branch (Watt
Lake, Eagle Lake)
11-137-4-2-(1)
B
Not Assessed
N/A
Eagle Branch
11-137-4-2-(2)
C
Not Assessed
N/A
McCullough Branch
11-137-7
C
Benthos
Pending (303(d) listed)
Fish Tissue Mercury
Approved Statewide
Little Sugar Creek
11-137-8b
C
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Fish Community
TMDL to be developed
for another aquatic
parameter
Fish Tissue Mercury
Approved Statewide
Little Sugar Creek
11-137-8c
C
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Fish Community
TMDL to be developed
for another aquatic
parameter
Fish Tissue Mercury
Approved Statewide
McAlpine Creek
(Waverly Lake)
11-137-9a
C
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Fish Tissue Mercury
Approved Statewide
McAlpine Creek
(Waverly Lake)
11-137-9b
C
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Fish Community
Pending (303(d) listed)
Fish Tissue Mercury
Approved Statewide
McAlpine Creek
(Waverly Lake)
11-137-9c
C
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Fish Community
Pending (303(d) listed)
Fish Tissue Mercury
Approved Statewide
McAlpine Creek
(Waverly Lake)
11-137-9d
C
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Fish Tissue Mercury
Approved Statewide
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
services
Receiving Water
Stream Index
Water
Criteria
Name
/ AU Number
Quality
Exceeded
TMDL Status
Classification
Irvins Creek
11-137-9-2
C
Not Assessed
N/A
(McEwen Lake)
Fourmile Creek
11-137-9-4
C
Not Assessed
N/A
Benthos
Pending (303(d) listed)
McMullen Creek
11-137-9-5
C
Fish Tissue Mercury
Approved Statewide
West Fork
11-138-1
C
Fish Tissue Mercury
Approved Statewide
Twelvemile Creek
Fish Community
Pending (303(d) listed)
Sixmile Creek
11-138-3
C
Fish Tissue Mercury
Approved Statewide
YADKIN PEE-DEE
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Rocky River
13-17a
C
Fish Tissue Mercury
Approved Statewide
Clear Creek
13-17-17a
C
Fish Tissue Mercury
Approved Statewide
Sherman Branch
13-17-17-1
C
Not Assessed
N/A
Wiley Branch
13-17-17-2
C
Not Assessed
N/A
Long Branch
13-17-17-3
C
Not Assessed
N/A
Fecal
Approved, Implemented &
Goose Creek
13-17-18a
C
Meeting Criteria 1
Fish Tissue Mercury
Approved Statewide
Stevens Creek
13-17-18-1
C
Not Assessed
N/A
Benthos
Not Required
Duck Creek
13-17-18-3
C
Fish Tissue Mercury
Approved Statewide
North Fork Crooked
Benthos
Pending (303(d) listed)
Creek
13-17-20-1
C
Fish Tissue Mercury
Approved Statewide
West Branch Rocky
13-17-3
C
Not Assessed
N/A
River
South Prong West
13-17-3-1
C
Fish Tissue Mercury
Approved Statewide
Branch Rocky River
Clarke Creek
13-17-4
C
Fish Community
Pending (303(d) listed)
North Prong Clarke
13-17-4-1
C
Fish Tissue Mercury
Approved Statewide
Creek
South Prong Clarke
13-17-4-2
C
Fish Tissue Mercury
Approved Statewide
Creek
Cane Creek
13-17-4-2-1
C
Not Assessed
N/A
Ferreltown Creek
13-17-4-3
C
Not Assessed
N/A
(Ferreltown Lake)
Ramah Creek
13-17-4-4
C
Fish Tissue Mercury
Approved Statewide
Turbidity
Pending (303(d) listed)
Mallard Creek
13-17-5a
C
Turbidity
TMDL to be developed
Benthos
for another aquatic
Mallard Creek
13-17-5b
C
parameter
Copper
Pending (303(d) listed)
Fish Tissue Mercury
Approved Statewide
Benthos
Pending (303(d) listed)
Stony Creek
13-17-5-5
C
Fish Tissue Mercury
Approved Statewide
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
services
Receiving Water
Name
Stream Index
/ AU Number
Water
Quality
Classification
Criteria
Exceeded
TMDL Status
Back Creek
13-17-7
C
Benthos
Pending (303(d) listed)
Fish Tissue Mercury
Approved Statewide
Fuda Creek
13-17-7-1
C
Not Assessed
N/A
Reedy Creek
13-17-8
C
Not Assessed
N/A
Reedy Creek
13-17-8a
C
Benthos
Pending (303(d) listed)
Fish Tissue Mercury
Approved Statewide
Delta Lake
13-17-8-1
C
Not Assessed
N/A
Crozier Branch
13-17-8-2
C
Not Assessed
N/A
McKee Creek
13-17-8-4
C
Benthos
Pending (303(d) listed)
Fecal
Approved & Implemented
Fish Tissue Mercury
Approved Statewide
Caldwell Creek
13-17-8-5a
C
Fish Community
Pending (303(d) listed)
Fish Tissue Mercury
Approved Statewide
The following definitions apply to Table 3 above. Additional definitions are provided on page vi
of the Table of Contents.
• Stream Index / AU Number: NCDEQ identifies waters by index numbers and assessment
unit numbers (AU#) that are used to track defined stream segments or waterbodies.
• Water Quality Classification (Class): Designations applied to surface water bodies by
NCDEQ that define the best uses to be protected within these waters as required by the Clean
Water Act, including water supply use (WS), recreation activities (B), and aquatic life (C).
• Criteria: Numeric and narrative criteria that establish levels that will ensure the protection of
the designated best use or classification of the water body. Also referred to as a water quality
standard.
• TMDL: Acronym for Total Maximum Daily Load. A TMDL is the calculation of the
maximum amount of a pollutant allowed to enter a waterbody so that the waterbody will
meet and continue to meet water quality standards for that particular pollutant. A
TMDL identifies pollutant reduction targets and allocates load reductions necessary to the
source(s) of the pollutant to restore waterbodies where water quality criteria are exceeded.
3.4 MS4 Interconnections
The MS4s in Mecklenburg County are interconnected and directly exchange stormwater flow
along with the NCDOT MS4. The Phase II MS4 maps do not show the locations of these
interconnections.
3.5 Total Maximum Daily Loads (TMDLs)
All surface waters with approved TMDLs in Mecklenburg County flow through both Phase I and
Phase II jurisdictions except for Goose Creek and the Rocky River, which lie entirely in Phase II.
To ensure effective coordination, the City of Charlotte, which holds a Phase I Permit, and
Mecklenburg County and the Towns, which hold a joint Phase II Permit, have agreed that the
City of Charlotte will serve as the lead jurisdiction for compliance with TMDL requirements
when the majority of the TMDL watershed lies within the Phase I jurisdiction. When most of the
10
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
services
watershed lies within Phase II, Mecklenburg County will serve as the lead. The lead jurisdiction
is responsible for coordinating and implementing all required TMDL compliance efforts and
submitting all the required plans and reports to the State. They are also responsible for
coordinating with the other jurisdictions as necessary to implement compliance efforts. Table 4
identifies the receiving waters for MS4 discharges in Mecklenburg County that have a TMDL
approved by EPA. The table also indicates the jurisdiction responsible for compliance with
TMDL requirements. The source of the data for Table 4 is NCDEQ's Water Resources website
located at: NCDEQ Modeling & Assessment Unit web page. Figure 3 shows the locations of
these receiving waters in relation to the Phase I and Phase II jurisdictions in Mecklenburg
County.
Table 4: Approved TMDLs for Mecklenburg County's Phase I and Phase II Jurisdictions
AU Name
AU
Number
Class
TMDL
Pollutant
IR
Category
EPA
Approved
MS4
WLA?
Lead
Jurisdiction
Irwin Creek
11-137-1
C
DO
1
2/5/1996
No
Charlotte
Fecal Coliform
4t
3/28/2002
No
Charlotte
Turbidity
4i
2/8/2005
Yes
Charlotte
Long Creek
11-120-(0.5)
C
Turbidity
3i
2/8/2005
Yes
Charlotte
Long Creek
11-120-(2.5)
WS-IV
Turbidity
3i
2/8/2005
Yes
Charlotte
Little Sugar
11-137-8a
C
DO
1
2/5/1996
No
Charlotte
Fecal Coliform
4t
3/28/2002
No
Charlotte
Little Sugar
11-137-8b
C
DO
1
2/5/1996
No
Charlotte
Fecal Coliform
4t
3/28/2002
No
Charlotte
Little Sugar
1 1-137-8c
C
DO
1
2/5/1996
No
Charlotte
Fecal Coliform
4t
3/28/2002
No
Charlotte
Turbidity
1 i
2/8/2005
Yes
Charlotte
McAlpine
Creek
11-137-9a
C
DO
1
2/5/1996
No
Charlotte
Fecal Coliform
4t
3/28/2002
No
Charlotte
Turbidity
1 i
2/8/2005
Yes
Charlotte
McAlpine
Creek
11-137-9b
C
DO
1
2/5/1996
No
Charlotte
Fecal Coliform
4t
3/28/2002
No
Charlotte
Turbidity
1 i
2/8/2005
Yes
Charlotte
McAlpine
Creek
11-137-9c
C
DO
1
2/5/96
No
Charlotte
Fecal Coliform
4t
3/28/2002
No
Charlotte
Turbidity
1 i
2/8/2005
Yes
Charlotte
McAlpine
Creek
11-137-9d
C
DO
1
2/5/1996
No
Charlotte
Fecal Coliform
4t
3/28/2002
No
Charlotte
Turbidity
1 i
2/8/2005
Yes
Charlotte
Sugar Creek
11-137b
C
Fecal Coliform
4t
3/28/2002
No
Charlotte
Turbidity
4i
2/8/2005
Yes
Charlotte
Sugar Creek
11-137c
C
Fecal Coliform
4t
3/28/2002
No
Charlotte
Turbidity
4i
2/8/2005
Yes
Charlotte
McKee Creek
13-17-8-4
C
Fecal Coliform
4t
8/1/2003
Yes
Charlotte
Rocky River
13-17a
C
Fecal Coliform
4t
9/19/2002
Yes
Mecklenburg
11
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
services
AU Name
AU
Number
Class
TMDL
Pollutant
IR
Category
EPA
Approved
MS4
WLA?
Lead
Jurisdiction
Steele Creek
11-137-10
C
Fecal Coliform
SC TMDL
5/2007
Yes
Charlotte
Lake Wylie
11-122
C
Chlorophyll -a
1
2/5/1996
No
Mecklenburg
Lake Wylie
l l-(123.5)a
C
Chlorophyll -a
1
2/5/1996
No
Mecklenburg
Goose Creek
13-17-18a
C
Fecal Coliform
4t
7/8/2005
Yes
Mecklenburg
Goose Creek
13-17-18b
C
Fecal Coliform
4t
7/8/2005
Yes
Mecklenburg
Definitions applicable to Table 4 above are provided below. Other definitions for the table are provided on page vi
of the Table of Contents.
• AU Number: NCDEQ identifies waters by index numbers and assessment unit numbers (AU#) that are used to
track defined stream segments or waterbodies.
• Class (Water Quality Classification): Designations applied to surface water bodies by NCDEQ that define the
best uses to be protected within these waters as required by the Clean Water Act, including water supply use
(WS), recreation activities (B), and aquatic life (C).
• TMDL: Acronym for Total Maximum Daily Load. A TMDL is the calculation of the maximum amount of a
pollutant allowed to enter a waterbody so that the waterbody will meet and continue to meet water quality
standards for that particular pollutant. A TMDL identifies pollutant reduction targets and allocates load
reductions necessary to the source(s) of the pollutant to restore waterbodies where water quality criteria are
exceeded.
• IR (Integrated Report) Category: Levels of water quality criteria attainment as defined in the NCDEQ
Integrated Report as follows:
0 1: Parameter is meeting criteria.
0 1 is parameter is meeting criteria and there is an approved TMDL in place for a different parameter that
addresses the indicator parameter
0 1t: Parameter is meeting criteria and there is an approved TMDL in place for that parameter. The TMDL
remains in place to ensure that criteria are maintained.
o 3i: Data are insufficient to make an assessment and there is an approved TMDL in place for a different
parameter that addresses the indicator parameter.
o 4i: Parameter is exceeding criteria and there is an approved TMDL in place for a different parameter that
addresses the indicator parameter.
o 4t: Parameter is exceeding criteria and there is an approved TMDL in place for that parameter.
o S.C. TMDL: Waterbody is subject a TMDL in S.C.
The City of Charlotte and Mecklenburg County have developed and are currently implementing
strategies and tailored BMPs within the scope of the six (6) minimum Permit measures for the
TMDL watersheds identified in Table 4 that have a waste load allocation (WLA) assigned to
stormwater. The purpose of these initiatives, which are incorporated into a TMDL Water
Quality Recovery Program (WQRP), is to reduce levels of the pollutant of concern to the MEP in
accordance with approved Waste Load Allocation (WLAs) assigned to stormwater in the
approved TMDL. Section 11 of this document includes the WQRP for those waters where
Mecklenburg County is the lead, including portions of the Rocky River, Lake Wylie and Goose
Creek. The implementation of the BMPs included in this Program are ongoing. Table 5
describes the activities implemented by Mecklenburg County when new TMDLs are approved
for waters within the Phase II jurisdiction. No new TMDLs have been developed for
Mecklenburg County since 2014; therefore, all Mecklenburg County TMDLs have been in effect
more than 36 months and all the requirements in Table 5 will apply. These requirements are
currently being met for all existing TMDLs. The City of Charlotte develops and implements
BMPs for those waters where they are the lead through the implementation of their Phase I
Permit, which includes portions of Irwin, Long, Little Sugar, McAlpine, Sugar, Steele, and
McKee Creeks. Information regarding these BMPs is included in Charlotte's NPDES MS4
12
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
services
TMDL Watershed Plan, which is available through their Phase I contact. These BMPs are
applied within the Phase I jurisdiction of the watershed. For the Phase II jurisdictions, the BMPs
described in Section 11 of this document are applied.
Table 5: New TMDL Requirements
Requirement
Schedule
1. Submit a TMDL annual report to NCDEQ including a description of existing programs,
12 months of the
controls, partnerships, projects, and strategies to address impaired waters and a brief
final EPA approval
explanation as to how the programs, controls, partnerships, projects and strategies
of a TMDL
address impaired waters.
2. Submit a TMDL annual report to NCDEQ including an assessment of whether additional
24 months of the
structural and/or non-structural BMPs are necessary to address impaired waters and a
final EPA approval
brief explanation as to how the programs, controls, partnerships, projects and strategies
of a TMDL
address impaired waters.
3. Submit a TMDL annual report to NCDEQ including a description of activities expected
36 months of the
to occur and when the activities are expected to occur.
final EPA approval
of a TMDL
As stated in the Permit, if subject to an approved TMDL, the Permittee is in compliance with the
TMDL if the permittee complies with the conditions of the Permit, including developing and
implementing appropriate BMPs to reduce non -point source pollutant loading to the MEP. While
improved water quality is the expected outcome, the NPDES MS4 Permit obligation is to reduce
non -point source pollutant loading to the MEP. The MS4 Permittee is not responsible for
attaining the water quality standards (WQS) at the ambient monitoring stations. NCDEQ expects
attaining the WQS will only be achieved through reduction from the MS4, along with reductions
from other nonpoint source contributors.
In January 2022, the State issued its Draft 2022 303(d) list and integrated 305(b) and 303(d)
reports. Charlotte -Mecklenburg Storm Water Services (CMSWS) reviewed these reports and
determined that no new TMDLs have been approved in Mecklenburg County. Since no new
TMDLs have been approved, no changes will be made to the existing Water Quality Recovery
Programs and Strategies.
13
11-022)
Charlotte -Mecklenburg
STORM NPDES # NCS000395 — November 2022
WATER Stormwater Quality Management Program Plan
Services
11-137b
11-IN-10
11-W-Up
-9b
11-1 1 17-C
L . I -Be
A
11437-9d
TMDL Pollubnt, Lead Judedictiom
/V Turbidity —Charlotte
/"'V Fec a I Col if arm — Ch a ri otte
Fecal Col if orm, Turbidity— Ch a rl otte
/V DissGived Oxygen (Do), Fec a I Col if Grm — Ch a rl
/"V DD, Fecal Cal if orm, Tu rbi d ity — Ch a rl otte
/N/ Fecal ColifGrm —County
,^V Total Ph as p h oru 5, 7ota I Nitrogen —County
Mec k! en h u rg County Lakes
Meckienl)urg County Streams
Uty or Char otte Boundary (Ph ase 1)
Meck enbLir-- COUnt,,, Boundary (Phase 11)
N
Figure 3: Surface Waters in Phase 11 Jurisdictions with Approved TMDLs
14
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan —NPDES # NCS000395 —November 2022
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3.6 Endangered and Threatened Species and Critical Habitat
Populations of threatened or endangered species and/or critical habitat are identified within the
regulated MS4 urbanized area as determined by a review of the Endangered and Threatened
Species and Species of Concern by County for North Carolina Map and Listed species believe to
or known to occur in North Carolina map as provided by the U.S. Fish and Wildlife Service. Of
those species listed, Table 6 summarizes the species that may be impacted by the quality of
surface waters within their habitat.
Table 6: Summary of Federally Listed Species/Habitat Impacted by Surface Water Quality
Scientific Name
Common name
Species Group
Federal Listing Status
Haliaeetus leucoce halus
Bald eagle
Vertebrate
BGPA
Etheostoma collis collis
Carolina darter
Vertebrate
FSC
M otis se tentrionalis
Northern lon -eared bat
Vertebrate
T
Villosa vau haniana
Carolina creekshell
Invertebrate
FSC
Lasmi ona decorates
Carolina heels litter
Invertebrate
E
Bombus a cnis
Rus - atched bumble bee
Invertebrate
E
Tsu a caroliniana
Carolina Hemlock
Vascular Plant
ARS
S m h otrichum georgianum
Georgia aster
Vascular Plant
C
Rhus michauxii
Michaux's sumac
Vascular Plant
E
Eurybia mirabilis
Piedmont aster
Vascular Plant
FSC
Helianthus schweinitzii
Schweinitz's sunflower
Vascular Plant
E
Echinacea laevi ata
Smooth coneflower
Vascular Plant
E
Definitions applicable to the Federal Listing Status in Table 6 above are provided below.
• BGPA: Bald and Golden Eagle Protection Act.
• FSC: Federal Species of Concern. FSC is an informal term. It is not defined in the federal Endangered Species
Act. In North Carolina, the Asheville and Raleigh Field Offices of the US Fish and Wildlife Service (Service)
define Federal Species of Concern as those species that appear to be in decline or otherwise in need of
conservation and are under consideration for listing or for which there is insufficient information to support
listing at this time. Subsumed under the term "FSC" are all species petitioned by outside parties and other
selected focal species identified in Service strategic plans, State Wildlife Action Plans, or Natural Heritage
Program Lists.
• T: Threatened. A taxon "likely to become endangered within the foreseeable future throughout all or a
significant portion of its range."
• E: Endangered. A taxon "in danger of extinction throughout all or a significant portion of its range."
• ARS: At Risk Species. Species that are Petitioned, Candidates or Proposed for Listing under the Endangered
Species Act. Consultation under Section 7(a)(2) of the ESA is not required for Candidate or Proposed species;
although a Conference, as described under Section 7(a)(4) of the ESA is recommended for actions affecting
species proposed for listing.
• C = candidate. A taxon under consideration for official listing for which there is sufficient information to
support listing. (Formerly "CV candidate species.)
3.7 Industrial Facility Discharges
The Phase II MS4 jurisdictional areas for Mecklenburg County include the industrial facilities in
Table 7, which hold NPDES Industrial Stormwater Permits as determined from the NCDEQ
Active NPDES Stormwater Permit List and Active Stormwater Permit Map. Inspections of these
facilities are performed when they are suspected as a potential pollution source based on
responses to service requests, results from water quality monitoring, and other general water
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quality activities, including the Illicit Discharge Detection and Elimination Program (IDEP)
described in Section 7.7.2.1.
Table 7: NPDES Stormwater Permitted Industrial Facilities
Permit Number
Owner Name
Facility Name
Address
City
NCGNE1319
3m Company
3M Pineville Warehouse
9504 Rodney St Ste
Pineville
200
NCG060422
Amazon Corn Services LLC -
Amazon Corn Services
12220 Carolina
Pineville
Fulfillment/Sort Ctrs
LLC - CLT6
Logistics Dr
NCGNE0600
Belk Printing Inc
Belk Printing
11240 Rivers Edge
Pineville
Technologies
Rd
NCG160040
Blythe Construction Inc
Blythe Construction,
1021 Sam Newell
Matthews
Inc. -East Plant
Rd
NCG120109
C&D Management Company
North Meck C&D
15300 Holbrooks
Huntersville
LLC/Greenway Waste
Landfill
Rd
Solutions at North Meck LLC
NCGNE1286
Caribou Specialty Materials
Caribou Specialty
10401 Southern
Pineville
Materials
Loop Blvd
NCG110011
Charlotte Water
McDowell Creek
4901 Neck Rd
Huntersville
WWTP
NCG110010
Charlotte Water
McAlpine Creek WWTP
12701 Lancaster
Pineville
Hwy
NCG030596
Controls Southeast Inc
Controls Southeast, Inc
12201 Nations Ford
Pineville
Rd
NCGO80235
D M Bowman Inc
D M Bowman
12801 Mt Holly-
Huntersville
Incorporated
Huntersville Rd
NCS000020
Duke Energy Carolinas LLC
McGuire Nuclear Power
NC Hwy 73
Huntersville
Plant
NCG050430
Essentra Packaging
Essentra Packaging
10500 Industrial Dr
Pineville
NCGNE1160
Fedex Express Corp
FedEx Express - PNVA
626 Eagleton
Pineville
Downs Dr
NCG050218
Fxi Inc
FXI, Inc. — Cornelius
Hwy 115 And
Cornelius
Bailey Rd
NCGNE1404
Gpi Converting LLC
Graphic Packaging
8800 Crump Rd
Pineville
International - Pineville
NCG130106
Greenway Recycling at North
Greenway Recycling at
15330 Holbrooks
Huntersville
Meck LLC
North Meck
Rd
NCG210191
Huntersville Hardwoods Inc
Huntersville Hardwoods
11701 McCord Rd
Huntersville
Incorporated
NCG050139
I ex USA LLC
IPEX USA LLC
10100 Rodney St
Pineville
NCG030727
Kelly Pipe Co LLC
Kelly Pipe
11024 Nations Ford
Pineville
Rd
NCGNE0789
Kings Point Marina Inc
Kings Point Marina
17939 Kings Point
Cornelius
Incorporated
Dr
NCGNE0235
Maclean Curtis LLC
MacLean Curtis LLC
20401 N Zion St
Cornelius
NCG020202
Martin Marietta Materials Inc
Martin Marietta-
1215 Sam Newell
Matthews
Matthews Q
Rd
NCG050253
Mexichem Specialty
Mexichem Specialty
9635 Industrial Dr
Pineville
Compounds Inc
Compounds, Inc.
NCGNE0937
Microban Products Company
Microban Products
11400 Vanstory Dr
Huntersville
Company
NCGO80959
Migway Inc
Migway, Inc.
9349 China Grove
Pineville
Church Rd
NCGNE1407
Oerlikon Am US Inc
Oerlikon Additive
12021 Vanstory Dr
Huntersville
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Permit Number
Owner Name
Facility Name
Address
city
Manufacturing
NCGNE0679
Pactiv LLC
Pactiv LLC NC RMC
12801 Jamesburg Dr
Huntersville
NCG050087
Pol one Corporation
Rutland Group, Inc.
10021 Rodney St
Pineville
NCGNE1479
Prime Now LLC
Amazon.com Services
10622 Bryton
Huntersville
LLC - SNC2
Corporate Center Dr
NCGO80990
Reeves Construction Company
Sloan Construction Co -
18606 Northline Dr
Cornelius
Granite Shop
NCG050373
Reynolds Consumer Products
Reynolds Consumer
14201 Meacham
Huntersville
LLC
Products- Huntersville
Farm Rd
Plant
NCGNE1480
Shm Pyc LLC
Safe Harbor Peninsula
18501 Harbor Light
Cornelius
Yacht Club
Blvd
NCG210367
Soil Supply, Inc.
Soil Supply, Inc.
10219 Hagars Rd
Huntersville
NCG030664
Southwire Company LLC
Southwire Huntersville
12331 Commerce
Huntersville
Plant
Station Dr
NCGNE0147
Stron haven Containers
Stron haven Warehouse
433 E Johns St
Matthews
NCG140323
Thomas Concrete Of Carolina
Thomas Concrete of
11531 McCord Rd
Huntersville
Inc
Carolina, Inc.-
Huntersville Plant
NCG050150
Transcontinental Ac US LLC
Transcontinental
700 Crestdale Rd
Matthews
Matthews
NCGNE1401
Trend Offset Printing Services
Trend Offset Printing
10519 Industrial Dr
Pineville
Inc
Services Inc
NCG240013
Wallace Farm Inc
Wallace Farm Inc
14410 Eastfield Rd
Huntersville
3.8 Non-Stormwater Discharges
The water quality impacts of non-stormwater discharges have been evaluated by the
Mecklenburg County Phase II jurisdictions/entities as summarized in Table 8 below. These
evaluations were based on responses to service requests, results from water quality monitoring
and other general water quality program activities. The unpermitted, non-stormwater flows
listed as incidental in Table 8 have been determined based on this evaluation to be insignificant
contributors of pollutants to the MS4; therefore, according to Part I paragraph H 2 of NPDES
Permit No. NCS000395 these discharges are authorized through the MS4s of the co-permittees.
The street washing discharges included in Table 8 are addressed in more detail under Section
10.7 of this SWMP. Based on the evaluation, individual residential (noncommercial) car
washing was determined to be incidental with no significant impact to water quality provided
washing activities do not occur at designated vehicle wash areas that are connected, directly or
indirectly to the stormwater system or surface waters as is sometimes observed at multi -family
residential complexes. With regard to charity car washing, the evaluation revealed no significant
negative water quality impacts provided washing is not performed by the same organization or at
the same location on a routine basis (more than one time in a thirty -day period). The key to the
designation of these car washing activities as incidental with no significant impact to water
quality is that they are all noncommercial in nature and occur infrequently over a dispersed area.
Car washing activities other than those described above are identified as having significant
impacts to water quality and are prohibited by local surface water pollution control ordinances.
These pollutants are primarily addressed through responses to requests for service and
investigations associated with the Illicit Discharge Elimination Program (IDEP) as described in
Sections 7.7.1.1 and 7.7.2.1 of this document, respectively. NCDEQ has not required that non-
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stormwater flows other than those listed in Table 8 be specifically controlled by the Mecklenburg
County Phase II jurisdictions/ entities. These other non-stormwater flows are considered a
significant impact to water quality and are addressed through the implementation of the
programs described in this SWMP.
Table 8: Non-Stormwater Discharges
Non-Stormwater Discharge
Water Quality Impacts
water line and fire hydrant flushing;
Insignificant
landscape irrigation;
Insignificant
diverted stream flows;
Insignificant
rising round waters;
Insignificant
uncontaminated ground water infiltration;
Insignificant
uncontaminated pumped ground water;
Insignificant
discharges from potable water sources;
Insignificant
foundation drains;
Insignificant
air conditioning condensation;
Insignificant
irrigation water;
Insignificant
springs;
Insignificant
water from crawls ace pumps;
Insignificant
footing drains;
Insignificant
lawn watering;
Insignificant
individual residential and charity car washing
Insignificant 1
flows from riparian habitats and wetlands;
Insignificant
dechlorinated swimming pool discharges;
Insignificant
street wash water; and
Insignificant
flows from firefighting activities
Insignificant
(1) Except for car washing that occurs at designated vehicle wash areas that are connected, directly or indirectly to
the stormwater system or surface waters and recurring charity car washes.
3.9 Targeted Pollutants and Sources
Table 9 provides important information regarding the targeted pollutants for Mecklenburg
County's Phase II jurisdictions/entities, including the various SWMP Programs tailored to
address these pollutants. General data and information obtained from water quality monitoring
and inspection activities as well as responses to service requests were considered in the
development of this table. These same considerations are made each year when this table is
evaluated and modified as necessary as part of the annual review process for the SWMP.
Although additional pollutants not in this table are sometimes targeted by the public education
program, the pollutants in this table are considered the primary target pollutants. A more
detailed description of the targeted audiences and why they were selected is provided in Section
3.10. Additional detail regarding the Public Education and Outreach Program is provided in a
document referred to as the "Umbrella" Plan developed and implemented by CMSWS to
coordinate public education efforts between the Phase I and Phase II jurisdictions in
Mecklenburg County. The Umbrella Plan is updated regularly to meet the changing needs of the
community. A copy of this plan is available upon request to the Environmental Manager for
Mecklenburg County's Water Quality Program.
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Table 9: Targeted Pollutants, Potential Impacts/Physical Attributes, Pollutant Sources, Audience
and Contributing Issues
Targeted
Potential
Impacts/Physical
Likely
Pollutant
Targeted
Issues Contributing to the
SWMPs Addressing Target
Pollutants
Attributes
Sources
Audiences
Pollutant Source
Pollutant(s)/Audience(s)
Bacteria
High levels cause low
Human
Residential &
• Illicit connections to surface
• Public Education & Outreach
(fecal
oxygen which leads to
Waste
Commercial
waters and storm drains.
• Public Involvement & Participation
coliform
fish kills, stressed
• Illegal dumping, spills and leaks.
. IDDE
bacteria is
aquatic life and can
• Discharges from sewer collection
• Construction Site Runoff Control
the
cause negative human
and treatment systems.
. Post -Construction Site Runoff Control
indicator)
health impacts. May
. Pollution Prevention/Good
appear in stream as a
Housekeeping
fungus which is white
• TMDL WQ Restoration Program
and fluffy or may have
normal appearance.
Pet Waste
Residential &
. Failure to collect and properly
• Public Education & Outreach
Sewage odor
Commercial
dispose of pet waste.
• Public Involvement & Participation
sometimes present.
. Discharges from kennels and
IDDE
other commercial pet facilities.
• TMDL WQ Restoration Program
Sediment
Typically measured as
Eroding
Residential &
. Improper erosion control
Public Education & Outreach
Turbidity and can
stream
Commercial
measures at land development
• Public Involvement & Participation
destroy aquatic habitat,
banks,
(with a focus
sites.
• IDDE
smother fish eggs and
erosion from
on the
. Inadequate post -construction
• Construction Site Runoff Control
bottom dwelling
construction
Construction
stormwater controls.
. Pollution Prevention/Good
organisms. Will give
activity
Industry)
. Inadequate buffers and unstable
Housekeeping
water an orange
stream channels.
appearance due to the
soil types in our region.
3.10 Targeted Audiences
Provided below is a description of the targeted audiences selected for the Public Education and
Outreach Program for Mecklenburg County's Phase Il jurisdictions/entities. These audiences
were targeted based on their ability to impact the issues contributing to the likely pollutant
sources described in Table 9. In addition, the targeted audiences were selected based on their
potential for expanding our volunteer programs for protecting and restoring water quality
conditions.
Residential Communities: This group has the ability to positively impact both targeted
pollutants identified in Table 9 above. They also have a significant potential to increase
participation in volunteer programs for protecting and restoring water quality conditions. This is
a large, targeted audience composed of many subsets, including but not limited to homeowners,
renters, multi -family communities, pet owners, etc. CMSWS has developed educational
materials for reaching residential groups and will develop and implement outreach initiatives on
an as needed basis to address specific water quality issues as they arise.
Commercial: This group, like the residential group, has a significant potential to positively
impact water quality and has several subsets, including landscapers, grading contractors,
construction industry, building maintenance companies, mobile washers, automotive repair
shops, etc. CMSWS has developed educational messages for reaching these subsets and will
develop and implement outreach initiatives on an as needed basis to address specific water
quality issues as they arise.
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SECTION 4
Stormwater Quality Management Program Plan — NPDES # NCS000395 — November 2022
STORMWATER MANAGEMENT PROGRAM ADMINISTRATION
A program has been developed and is currently being implemented for administering the Phase II
Permit for Mecklenburg County's Phase II jurisdictions/entities for the purpose of ensuring that
all Permit requirements are effectively and efficiently fulfilled by co-permittees in accordance
with the SWMP and that the administration requirements specified in the Permit are being met.
The program is administered by CMSWS's Water Quality Program as described in the following
Sections.
4.1 Program Goal
The goal of Program Administration is to implement, manage and oversee the provisions of the
SWMP to control to the maximum extent practical the discharge of pollutants from the municipal
storm sewer system associated with stormwater runoff and illicit discharges, including spills and
illegal dumping and to ensure that all Phase II Permit requirements are effectively and efficiently
fulfilled.
4.2 BMP Summary Table
CMSWS will manage and report the BMPs described in Table 10 for the administration of the
SWMP.
Table 10: BMP Summary Table
A B I C D
E
County
County Activities
BMP
No.
Work Plan
Description
Schedule for
Annual
Co-Permittee
Code
of BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
Permit Development (Permit Ref. Part III Section B; Part IV B; Part V Section A.11): Performing activities necessary to fulfill the
administrative requirements for compliance with permit requirements, including coordinating with co-permittees, completing the annual
assessment report, applyin z for permit renewal, and updating the Storm Water Management Program Plan as necessary.
#1
PD-1
Permit Develo ment
(Permit
Developing
a. Submit quarterly reports to co-
Quarterly
Completion
Meet and
Development)
and
permittees (referred to as
beginning July I
status
coordinate with
submitting
Statements) including activities
CMSWS as
the annual
performed for Permit compliance,
requested as well
assessment
hours involved, and costs.
as provide data and
report
b. Participate in an NPDES MS4
As scheduled by
Completion
information as
required by
Permit Compliance Audit, as
NCDEQ -
status
requested for
the Phase II
scheduled and performed by EPA
Typically Permit
inclusion in
Permit to
or NCDEQ.
Year 4
reports, audits,
document
Permit
c. Certify the stormwater Permit
Permit Year 5
Date of
compliance
renewal application (Permit
Permit
applications, etc.
with the
renewal application form, Self-
renewal
Phase II
Audit, and Draft SWMP for the
application
Storm Water
next 5-year permit cycle) and
submittal
Management
submit to NCDEQ at least 180
Program.
days prior to Permit expiration.
d. Complete annual assessment of
Annually
Completion
Phase II Permit compliance,
beginning July I
status
including all BMPs and
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A B I C D
E
County
County Activities
BMP
No.
Work Plan
Description
Schedule for
Annual
Co-Permittee
Code
of BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
measurable goals. Summarize the
assessment in an annual report,
including recommendations for
improvement. Provide report to all
Phase II co- ermittees & NCDE .
#2
PD-3
Evaluate Effectiveness of Storm Water Plan
(Evaluate
Evaluate the
a. Implement through the annual
Annually
Completion
Provide data and
Management
effectiveness
Work Plan the recommendations
beginning July 1
status
information as
Plan)
of the Storm
for improvement identified in the
requested for
Water
annual Phase II assessment report
inclusion in
Quality
see PD-1 .
reports, audits, etc.
Management
b. Assess the effectiveness of the
Annually
Completion
as well as
Program Plan
Storm Water Management
beginning July 1
status
implement
and update as
Program Plan at reducing the
recommendations
necessary,
discharge of pollutants to
for improvement
including all
Mecklenburg County surface
as necessary.
written
waters in compliance with Phase II
policies and
Permit requirements. Incorporate
procedures.
the assessments completed by
supervisors of their assigned
Programs. Develop
recommendations for
improvement and schedules for
implementation. Change Work
Plans as well as written policies
and procedures as necessary based
on these recommendations.
Evaluate the effectiveness at
implementing the recommended
improvements from the previous
fiscal year.
c. During the September
Annually
Completion
Supervisors' Meeting, provide a
beginning July 1
status
summary of the annual
assessment, including
recommended improvements.
Based on input received, develop a
process forward, including a
schedule for implementation as
necessary. Facilitate changes to
Work Plans to ensure the schedule
is fulfilled.
d. Incorporate the data and
Annually
Completion
information from the annual
beginning July 1
status
assessment into the annual report
to the State and Towns, including
recommendations for
improvement and associated
schedules for implementation.
Include in report for PD-1.
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4.3 Organizational Structure
The Environmental Manager for CMSWS's Water Quality Program is responsible for
developing, implementing, managing and overseeing the SWMP. The Environmental Manager
reports to the Director of CMSWS who serves as the Stormwater Program Administrator as
delegated by the Mecklenburg County Board of Commissioners by a resolution dated December
17, 2002. Five (5) Environmental Supervisors that report to the Environmental Manager are
responsible for implementing five (5) of the seven (7) components of the SWMP. An
Environmental Supervisor and Lead Project Manager in the Permitting and Compliance Program
who reports to a Senior Project Manager who reports to the Director of CMSWS are responsible
for implementing the other two (2) components of the SWMP. In most cases, staff under the
direction of their Environmental Supervisor are responsible for completing the activities
necessary for implementing the components of the SWMP. Table 11 illustrates the breakdown
of responsibilities. Appendix A provides additional information regarding these responsibilities,
including BMPs and measurable goals. Appendix B provides an organizational chart that shows
where the responsible parties fit into the structure of CMSWS. The procedures, specific tasks,
deadlines and assigned staff for fulfillment of the SWMP are described in an annual Work Plan.
A copy of this Work Plan is available upon request to the CMSWS's Environmental Manager for
Mecklenburg County's Water Quality Program. Each co-permittee is responsible for compliance
with Permit requirements for the operation and maintenance of facilities, MS4s, stormwater
control measures (SCMs), streets, and parking lots that they own and/or maintain. Operation and
Maintenance (O&M) Plans have been developed and implemented and are available upon
request. Co-permittee contact information is provided in Table 16.
Table 11: Summary of Responsible Parties
Description
Responsible
Position
Staff
Name
Department
Phone
Number
Email
SWMP Administration and Man a ement
1. Stormwater Program
Director,
Don
CMSWS
980-314-3209
Don.ceccarelli(&mecknc.gov
Administration
CMSWS
Ceccarelli
2. SWMP Management
Environmental
Rusty
CMSWS
980-314-3217
Rusty.rozzelle(&mecknc.gov
Manager
Rozzelle
SWMP Components
1. Public Education &
Environmental
David
CMSWS
980-314-3218
David.caldwell(&mecknc.gov
Outreach
Supervisor
Caldwell
2. Public Involvement
Environmental
David
CMSWS
980-314-3218
David.caldwell(&mecknc.gov
& Participation
Supervisor
Caldwell
Environmental
Ryan
CMSWS
980-314-3219
Ryan. spidelgmecknc.gov
Supervisor
Spidel
3. Illicit Discharge
Detection &
Elimination (includes
Spill Response)
(IDDE Program
Activities, MS4
Mapping & Spill
Response)
Environmental
Olivia
980-314-3213
Olivia.edwards@mecknc.gov
Supervisor
Edwards
(Monitoring)
4. Construction Site
Lead Project
Tom
CMSWS
980-314-3203
Tom.hodge(&mecknc.gov
Runoff Control (1)
Manager
Hodge
(Permitting)
Environmental
Core
980-314-3221
Core ridd mecknc. ov
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Description
Responsible
Position
Staff
Name
Department
Phone
Number
Email
Supervisor
Priddy
(Inspections)
5. Post -Construction
Environmental
Rusty
CMSWS
980-314-3217
Rusty.rozzelle@mecknc.gov
Site Runoff Control
Manager
Rozzelle
(1)
Administrator
Lead Project
Tom
980-314-3203
Tom.hodge@mecknc.gov
Manager
Hodge
(Permitting)
Environmental
Corey
980-314-3221
Corey_priddy@mecknc.gov
Supervisor
Priddy
(Inspections)
6. Pollution
Environmental
Richard
CMSWS
980-314-3215
Richard.farmeramecknc.gov
Prevention/Good
Supervisor
Farmer
Housekeeping for
Municipal
Operations 2
7. Municipal Facilities
Environmental
Richard
CMSWS
980-314-3215
Richard.farmeramecknc.gov
Operation &
Supervisor
Farmer
Maintenance
Program 2
8. Spill Response
Environmental
Richard
CMSWS
980-314-3215
Richard.farmer@mecknc.gov
Program 2
Supervisor
Farmer
9. MS4 Operation &
Environmental
Richard
CMSWS
980-314-3215
Richard.farmerkmecknc.gov
Maintenance
Supervisor
Farmer
Program 2
10. Municipal SCM
Environmental
Corey
CMSWS
980-314-3221
Corey_priddy(&mecknc.gov
Operation &
Supervisor
Priddy
Maintenance
Program 2
11. Pesticide, Herbicide
Environmental
Richard
CMSWS
980-314-3215
Richard.farmerg_mecknc.gov
& Fertilizer
Supervisor
Farmer
Management
Program 2
12. Vehicle &
Environmental
Richard
CMSWS
980-314-3215
Richard.farmer@mecknc.gov
Equipment Cleaning
Supervisor
Farmer
Program 2
13. Pavement
Environmental
Richard
CMSWS
980-314-3215
Richard.farmer@mecknc.gov
Management
Supervisor
Farmer
Program 2
14. Total Maximum
Environmental
Richard
CMSWS
980-314-3215
Richard.farmerkmecknc.gov
Daily Load TMDL
Supervisor
Farmer
(1) In the Town of Huntersville and its ETJ, Town staff are responsible for plan reviews and issuing land
development permits as well as conducting inspections during construction to ensure compliance with Permit
requirements. Kevin Fox, Public Works Director, is the responsible party for the Town of Huntersville (see
Table 16 for contact information). CMSWS serves as the administrator of Huntersville's Post -Construction
Ordinance.
(2) CMSWS is responsible for implementing the BMPs described in the summary tables contained in this document
unless otherwise indicated as well as coordinating with County staff regarding operation and maintenance of
County owned facilities and operations. Co-permittees are responsible for Permit compliance at the facilities
that they own and/or operate with guidance from CMSWS. Table 16 provides the contact names for the
responsible co-permittees.
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4.4 Standard Operating Procedures (SOPS)
Written Standard Operating Procedures (SOPS) and Standard Administrative Procedures (SAPS)
are developed to identify specific action steps, schedules, resources, and responsibilities for
implementing the six (6) minimum measures for controlling pollution sources. Written
procedures can be free standing, or where appropriate, integrated into the SWMP. They adhere
to a standard format and include an approval page and revision history. SOPS are also available
for inclusion in SWPPPs for facilities and are made available to staff for dissemination as
appropriate for vehicle washing, fueling, etc. These SOPS also follow a standard format but do
not typically include an approval page or revision history.
4.5 Documentation
The following summarizes CMSWS's documentation of Phase II Permit compliance activities.
1. The specific actions and deadlines implemented by CMSWS in the execution of the
BMPs and measurable goals for compliance with Permit requirements is maintained in an
annual Work Plan.
2. Annual Work Plans are maintained in a database referred to as Time Pro. Time Pro is
also used to track staff time toward completion of Work Plan assignments.
3. The Cityworks database maintains documentation of the completion of Work Plan
activities except for water quality monitoring activities that are documented in the Water
Quality Database.
4. The LAN folder at \\hmcfs0l\attachments\WQ serves as the backup destination for
Cityworks documentation generated by the Water Quality Program.
5. The LAN folder at G:\Water Quality\WQ Xfer\WQ\Phase II Permit maintains annual
reports, co-permittee information, Permit applications, Permit audits, Phase II Permits,
presentations, State correspondence, SWMPs, TMDL documentation, and other
information relating to the Phase II Permit.
6. The Environmental Data Management System (EDMS) serves as the reporting
mechanism for data relating to services requests and notices of violation, including repeat
offenders as required by the Permit.
7. The Emerald System maintains documentation of stormwater drainage service requests.
8. The Electronic Plan Review (EPM) system maintains documentation of plan and plat
reviews for compliance with Erosion Control and Post -Construction Programs.
9. Co-permittees are responsible for maintaining documentation for compliance activities
that are their responsibility as described in Appendix F.
CMSWS's staff are required to documentation all activities performed for compliance with
Phase II Permit requirements as summarized above. The annual Work Plan maintained in Time
Pro informs staff of their assigned activities and deadlines and provides them with tools for
tracking the completion of assignments. It is the responsibility of the lead staff for each activity
as identified in the Work Plan to complete the necessary documentation. Procedures have been
developed for the proper completion of this documentation and are available to staff in the Water
Quality Program Policies and Procedure Manual. Cityworks is the primary mechanism used to
document the completion of Work Plan activities except for water quality monitoring activities,
which are documented in the Water Quality Database. The Cityworks Server Attachments folder
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on the LAN at \\hmcfs0 I \attachments\WQ that corresponds to the current fiscal year is the back-
up destination for most documentation. The Activity Report in Cityworks is used for
maintaining documentation for most activities. Some of these activities have templates in
Cityworks for more effective documentation, including responses to service requests, issuance of
notices of violation and various routine inspections (i.e., erosion control, industrial and municipal
facilities and BMPs). CMSWS's staff are required to provide the information described below
for all completed activities. A template in Word format is used by staff to capture this
information.
• Specific date(s) when work was performed.
• Names of individual(s) that performed the work.
• Description of the work that was performed.
• Description of how the work was performed.
• Locations/areas where the work was performed.
• Persons or groups contacted for completion of the work.
• Description of all compliance activities, including notices of violation issued, fines, etc.
• Specific outcomes resulting from the completion of the assigned task.
4.6 Annual Assessments of SWMP and Implementation of Improvements
Three (3) separate annual assessment occur at different times during the fiscal year as follows:
1. In August of every year, an annual report is submitted to the State in the format they
provide.
2. In October of every year, a written annual assessment is performed of the BMPs included
in the SWMP by supervisors and lead staff working with the program manager.
Meetings and other efforts are conducted as necessary to maximize the effectiveness of
the assessment that at a minimum includes the following:
• Description of activities performed for compliance with the SWMP as described
in the annual Work Plan.
• Summary of data and information collected as a result of these activities
throughout the year along with an assessment of what the data indicates in light of
the SWMP.
• Description of program evaluations completed and results, including whether
program components and BMPs specified in the Storm Water Plan were
effectively and efficiently fulfilled toward achieving program goals and whether
permit requirements were met or exceeded.
• Assessment of progress toward achieving measurable goals and identified
measures of success.
• Status of implementation of the SWMP and whether NPDES Permit requirements
have been fulfilled.
• Status of implementation of Water Quality Recovery Programs for approved
TMDLs.
• Proposed changes to the SWMP.
• Improvements identified to improve individual program effectiveness, including
the desired result, responsible staff, and time frame for implementation.
Improvements are incorporated into annual Work Plans for implementation.
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• Status of implementation of improvements identified in the previous annual
assessment.
3. In November of every year, an assessment is completed of the SWMP document that
includes the following:
• Incorporation of the proposed changes from the completion of the annual
assessment the previous month as described in #2 above.
• Documentation of any necessary changes to programs or practices.
• Assessment of compliance with the Permit requirements
The three (3) above -described assessments are submitted to DEQ annually upon completion. In
addition, the assessments result in the identification of improvements/modifications to specific
work activities that are considered by lead staff, supervisors, and the program manager. The
annual Work Plans contained in Time Pro are modified as agreed upon to incorporate these
improvements/modifications into day-to-day work activities. The annual Work Plans in Time
Pro contain additional detail and more finite deadlines compared to what is provided in the
SWMP.
The FY2023 assessment of the BMPs included in the SWMP was completed in October 2022 by
supervisors and lead staff working with the program manager. The list of improvements
incorporated into the annual Work Plans contained in Time Pro as a result of this assessment are
provided in Table 12 below. The FY2023 assessment of the SWMP document was completed in
November 2022 by supervisors and lead staff working with the program manager. Changes
made to the SWMP document to improve its overall effectiveness are described in Table 13
below. Assessments of the SWMP document completed for previous fiscal years is provided in
Table 1.
Table 12: Improvements Incorporated into Annual Work Plans
#
Identified Improvement
Desired Result
Program
Responsible
Element
Staff
Public Education & Outreach
1
Redesign the current water quality school
Improve effectiveness
PE-10
Ashley Smith
education material for younger ages to be
of school age training
more engaging and relevant to the school
materials.
curriculum.
2
Modify school education worksheets to
Improve effectiveness
PE-10
Ashley Smith
include Spanish.
of school age training
materials.
3
Implement the Safe Swim Communication
Better inform
PE-10
Ashley Smith
Campaign to provide education to lake users
swimmers of health
regarding Best Management Practices
issues related to
related to swimming in lakes.
swimming in lakes.
4
Implement the public education components
Increase volunteer
PE-10
Ashley Smith
of the Underserved Communities Reach
activity.
Plan.
5
Develop video to educate residents on built-
Improve compliance
PE-10
Ashley Smith
upon area (BUA) requirements for
with BUA.
protection of water quality.
Public Involvement & Participation
6 Finalize the new design of the Adopt a I Enhance effectiveness PI-2 Taylor Mebane
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#
Identified Improvement
Desired Result
Program
Responsible
Element
Staff
Stream sign.
of si na e.
7
Implement the Public Involvement
Increase volunteer
PE-10
Taylor Mebane
components of the Underserved
activity in underserved
Communities Reach Plan, including
communities.
researching potential events in underserved
communities such as stream clean ups, storm
drain marking events and tree plantings.
8
Expand the Adopt a Drain program into
Increase volunteer
SBP
Ashley Smith
another Phase II town.
activity.
Involvement
9
Investigate a Plogging event for Creek
Increase volunteer
PE-I(16)
Taylor Mebane
Week.
activity.
10
Investigate a new public involvement
Increase volunteer
PE-10
Ashley Smith
competition for students.
activity.
Illicit Dischar a Detection & Elimination
11
Install cameras at all of the Phase 2
Help confirm possible
ID-4.10(c)
Iva Barnes
CMANN sites.
pollution issues
detected by the
CMANN equipment.
12
Use water quality modeling to identify
Identify and eliminate
ID-4.7-CO(f)
Robert Sowah
problem areas for monitoring and follow up.
pollution sources.
13
Review and update the CMANN fecal
Identify and eliminate
ID-4.7-CO(c)
Robert Sowah
prediction model.
pollution sources.
14
Update stormwater inventory attribute
Ensure we have
ID-1(c)
Ryan Spidel
information for inventory collected by GIS
accurate inventory data.
staff.
Construction Site Storm Water Runoff Control
15
Evaluate the usage of drones for site
Improve inspection
N/A
Corey Priddy
inspections.
effectiveness.
16
Complete #4 from last fiscal year: Approval
Reduce offsite
N/A
Corey Priddy
of changes in the Erosion Control Ordinance
sediment.
and updates to the Enhanced Measures.
17
Develop a plan for cross -training with the
Improve inspection
N/A
Corey Priddy
City of Charlotte and the Town of
effectiveness.
Huntersville.
18
Look into creating interactive hands-on
Improve training.
N/A
Corey Priddy
training components to CMCSI. Will need to
have buy in from the City of Charlotte and
the Town of Huntersville.
Post -Construction
Site Runoff Control
19
Continue # 3 from last fiscal year, and work
Improve inspection
N/A
Corey Priddy
with field staff to check for 3rd party
effectiveness.
inspections and issue NOV's if they are not
being submitted.
20
Work with the Towns to determine if
Improve inspection
N/A
Corey Priddy
Watershed Ordinances can be changed so
effectiveness.
that the BMPs would only have to be
inspected every 3 to 5 years. (Water Quality
would work on this task with help from
Permitting and Compliance).
21
Determine if an Environmental Specialist
Improve inspection
N/A
Corey Priddy
III, or similar position, is needed to manage
effectiveness.
the BMP inspection program. Currently, the
program takes a significant amount of time
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#
Identified Improvement
Desired Result
Program
Responsible
Element
Staff
for the Environmental Supervisor to
perform, taking time away from other
needed job duties. Since the number of
BMPs increases every year, resource
allocation needs to be periodically
examined.
Pollution Prevention & Good House Keeping Pro ram
22
Ensure that permitted facilities are in
Ensure compliance.
PP-2
Richard Farmer
compliance with updated NPDES permit
requirements.
Total Maximum Daily Loads (TMDLs)
23
Routine monitoring will continue to be
Identify and eliminate
IW-4(g)
Tim Besier
performed in the TMDL watersheds by
sources of elevated
CMSWS. Exceedances of established water
fecal coliform bacteria
quality watch and action levels will be
identified and follow up actions conducted
as necessary for the identification and
elimination of pollution sources
24
By December 30, 2022, CMSWS will
Identify and eliminate
IW-2(c)
John Thao
complete a review of Health Department
sources of elevated
records to determine where failed septic
fecal coliform bacteria
systems have been identified in both the
Rocky River and Goose Creek TMDL
watersheds. Follow up inspections and
monitoring will be performed as necessary
to ensure the elimination of sources of fecal
coliform bacteria associated with failed
septic systems thereby addressing impaired
waters.
25
By March 31, 2023, major outfalls will be
Identify and eliminate
IW-2(e)
John Thao
inspected in the Rocky River TMDL
sources of elevated
watershed. Dry weather flows will be
fecal coliform bacteria
identified and pollution sources eliminated
thereby addressing impaired waters.
26
Construction activities associated with the
Improve stream
N/A
Tim Trautman
restoration of an additional 5,000-foot
stability and aquatic
section of West Branch Rocky River are
habitat
expected to begin in late FY2023 or early
FY2024. Historically, West Branch Rocky
River has been severely degraded by storm
water flows that erode the stream banks.
The restoration project will stabilize the
stream banks to reduce erosion and improve
water quality.
27
Conduct targeted surface water sampling in
Identify and eliminate
IW-2(m)
John Thao
headwater areas of the Goose Creek
sources of elevated
watershed to further delineate sources of
fecal coliform bacteria
fecal coliform to the system.
Table 13: Chanizes Made to the SWMP Document in November 2022
Section & Page # from
October 2021 Version
Description of the Modification
Section 2, page 2
Change authorized representative from Dave Canaan to Don Ceccarelli.
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Section & Page # from
Description of the Modification
October 2021 Version
Section 2, page 2
Added a table identifying the dates when annual reviews of the SWMP were
completed and responsible staff.
Section 3, page 3
Replaced Figure 1 with a map that more clearly delineates the different Phase
II jurisdictions.
Section 3.3, page 3
Added definitions at the bottom of Table 2.
Section 3.4, page 10
Added definitions at the bottom of Table 3.
Section 3.5, page 9
Updated Table 3 with most current TMDL information.
Section 3.5, page 13
Replaced Figure 3 with an image that defined DO, TP, and TN.
Section 3.7, page 15
Replaced Table 6 with updated list of facilities with NPDES Industrial
Permits.
Section 4, pages 18, 19, and 20
Updated the BMP summary table for Program Administration so that it would
be consistent with the text in the annual Work Plan in Time Pro.
Section 4.4, pages 22 and 23
Changed to differentiate between SOPS and SAPS for the SWMP that include
an approval page and revision history and SOPS for inclusion in SWPPP that
do not include these.
Section 4.6, page 25, and Table
Updated annual assessment process and changed Table 12 to include SWMP
12
changes made in FY2022.
Section 5.4.1, page 36
Replaced Figure 4 with a utility bill insert from October 2022.
Section 5.4.3, page 38
Rewrote this section around articles and newsletters instead of print ads
Section 5.4.5, page 39
Replaced Figure 5 with a web Banner for 2022.
Section 5.6 on pages 42 and 43
Change the measure of success for increasing awareness for the Public
Education Program from 50% to 60% and removed the measure for increasing
extent of exposure.
Section 5.4.8, page 30
Changed the pollution prevention video locations from the website to You
Tube.
Section 5.5, page 41
Added the Underserved Communities Reach Plan developed in FY2023 to the
information regarding efforts to reach our diverse community.
Section 6.2, pages 45 and 45
Updated the BMP summary table for Public Involvement and Participation so
that it would be consistent with the text in the annual Work Plan in Time Pro.
Section 6.4.6, page 50
Updated the volunteer monitoring information to include the Streamside
Snapshot are a third volunteer option available to participants.
Section 6.6, page 51
Changed the measure of success for increasing the number of volunteers for
the Public Involvement Program to an increase from the average for the past 3
ears.
Section 7.2, page 52, Table 18,
Added # trained as an annual reporting metric for "c" under #21 and "a" under
numbers 21, 24, 25 and 26
#24, 25 and 26.
Section 7.7.1, page 62
Added "total number and location of Notice of Violations issued" as a means
of identifying riori areas with a high likelihood of illicit discharges.
Section 7.7.1, page 62 and
Changed time for responding to Category 1 service requests from within 4
hours to as soon as possible upon receipt. Also changed Category 2 from a 4-
hour to a 2-hour response.
Section 7.7.1.2, page 63
Changed samples for fixed interval monitoring collected on the second
Tuesday and Thursday of each month to just the second Tuesday. Also,
eliminated 1 monthly sampling during base flow to identify illicit discharges.
Section 7.7.1.2, page 65
Replaced Figure 10 with the newest SUSI map for the 41 quarter of FY2022.
Section 7.7.5, page 73
Updated Figure 12 to include NOVs issued from 7-1-2020 to 6-30-2022.
Section 7.8, page 73
Updated the last paragraph in this Section to describe IDDE municipal staff
training completed for Permit term ending February 16, 2022.
Section 7.10, page 74
Changed the measure of success for increasing pollution problems identified
for the IDDE Program to an increase from the average for the past 3 years.
Also, changed the measure of success for repeat violators to a decrease from
the average of the last 3 years.
Sections 8.4 and 8.5, page 78
Expanded references to include erosion control ordinances for the Towns.
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Section & Page # from
Description of the Modification
October 2021 Version
Section 8.8, page 78
Removed reference to CMCSI being conducted twice a year.
Section 8.11, page 80
Changed the measure of success for Construction Site Runoff Control Program
to documenting inspection activities instead of documenting activities for
completion of Work Plan program activities.
Section 9.6, page 87
Added BMPs installed for compliance with Huntersville's LID Ordinance
prior to June 30, 2007 are not subject to these requirements.
Section 9.11, page 90, #9
Changed the length of Maintenance Bond from not less than 2 years from the
BMP approval date of the Storm Water Administrator to as -built approval
date.
Section 9.11, page 92
Added #11 to include actions taken to ensure maintenance of low -density
projects.
Section 9.13, page 93
Changed the measure of success for the Post -Construction Runoff Control
Program to documenting inspection activities instead of documenting activities
for completion of Work Plan program activities.
Section 10.3, page 98
Changed the number of properties owned by co-permittees in CMSW's
inventory from 3,052 to 3,208.
Section 10.3, page 99, Table 24
Changed job titles from Sr. Environmental Specialist to Solid Waste Facility
Manager.
Section 10.3, page 100, Table
In the footnote to the table, changed the date for discontinuing operations at
27
the Old Compost Central & Recycling Center from late 2021 to the spring of
2023.
Section 10.4, page 103
Change the effective date for when CMS owns 176 schools from January 1,
2021 to January 1, 2022.
Section 10.8, page 105
In the second bullet, changes 8.6 to 10.7.
Section 10.9, page 105
Updated for FY2022 numbers.
Section 10.16, page 111
Changed the measure of success for Pollution Prevention and Good
Housekeeping to a decrease from the average for the past 3 years.
Section 10.16, page 111
Changed the measure of success for improving compliance for the Pollution
Prevention and Good Housekeeping Program to a decrease from the average
for the past 3 years.
Section 11.91, page 134
Updated Table 36 with new data.
Section 11.10, page 137 and
Added the BMP measures implemented in the TMDL watersheds during
141
FY2022.
Appendix A, page 144
Updated the BMP Summary Table
Appendix B
Updated the organizational chart for CMSWS.
Appendix E, pages 187 through
Replaced old municipal facility inspection form with the new one.
190
4.7 Program Budget and Funding
For FY2023, the total estimated budget for compliance with Phase II Permit requirements in
Mecklenburg County is estimated at $1,849,596.67. A total of $1,191,632.54 or 64% of the total
budget is associated with plan reviews, permitting and inspections for compliance with erosion
control and post -construction ordinance requirements, which includes components 4 and 5 from
Table 11 for both Mecklenburg County and the Town of Huntersville. Funding for these
services is provided through land development fees. A total of $657,964.16 is associated with
work performed by CMSWS for compliance with the other components of the SWMP, including
1, 2, 3, 6, and 7 in Table 11. Funding for these services is shared among all co-permittees as
indicated in Table 14 based on methodology described in the Mecklenburg County Water
Quality Program Funding Strategy, which is available from the Environmental Manager upon
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request. Funding from the Towns and County for these services is provided by stormwater fees,
which represents approximately 32% of the total Phase II budget for FY2022. For CMS and
CPCC, funding is provided through their general budgets since they do not receive revenue from
storm water fees, which represents approximately 3% of the total Phase II budget.
Table 14: Estimated Cost Breakdown by Jurisdiction/Entity for FY2022
Jurisdiction/Entity
FY20 Budget
CMS
$36,958.98
CPCC
$13,045.21
Town of Cornelius
63,172.34
Town of Davidson
$27,305.85
Town of Huntersville
$163,788.80
Town of Matthews
$76,558.35
Mecklenburg County
$165,238.99
Town of Mint Hill
$76,056.07
Town of Pineville
$35,839.57
TOTAL
$657,964.16
4.8 Co-Permittees
A total of nine (9) jurisdictions/entities are covered as co-permittees under the NPDES MS4
Permit number NCS000395 for Mecklenburg County. Section 4.9 describes the responsibilities
for Permit compliance that are shared by all co-permittees. Table 15 summarizes contact
information for each co-permittee. Interlocal agreements have been entered into between
CMSWS and the co-permittees, which are available from the Environmental Manager upon
request.
Table 15: Co-Permittee Contact Information
Co-
Permittee
Name/Title
Phone
Mailing Address
Email
Cornelius
Andrew Grant,
704-892-6031
Cornelius Town Hall, PO
agrant@comelius.org
Town Manager
Box 399, Cornelius, NC
28031
Cornelius
Tyler Beardsley,
704-892-6031
Cornelius Town Hall, PO
teardsley@comelius.org
Asst. Town
Box 399, Cornelius, NC
Manager/Public
28031
Works Director
Cornelius
Wayne Herron,
704-892-6031
Cornelius Town Hall, PO
wherron@comelius.org
Deputy Town
Box 399, Cornelius, NC
Manager
28031
Cornelius
Ricky Overcash,
704-895-5212
Cornelius Town Hall, PO
rvercash@comelius.org
Public Works
Box 399, Cornelius, NC
Supervisor
28031
Davidson
Jamie Justice,
704-940-9618
Davidson Town Hall, PO
jjustice@townofdavidson.org
Town Manager
Box 579, Davidson, NC
28036
Davidson
Jesse Bouk, Public
704-892-7591
Davidson Town Hall, PO
jbouk@townofdavidson.org
Works Director
Box 579, Davidson, NC
28036
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Co-
Permittee
Name/Title
Phone
Mailing Address
Email
Huntersville
Anthony Roberts,
704-875-6541
Huntersville Town Hall, PO
aroberts@huntersville.org
Town Manager
Box 664 Huntersville, NC
28270
Huntersville
Kevin Fox, Public
704-766-2220
Huntersville Town Hall, PO
kfox@huntersville.org
Works Director
Box 664 Huntersville, NC
28270
Matthews
Hazen Blodgett,
704-708-1230
Matthews Town Hall, 232
hblodgett@matthewsnc.com
Town Manager
Matthews Station Street,
Matthews, NC 28105-6713
Matthews
C.J. O'Neill,
704-708-1242
1600 Tank Town Rd.,
cjoneill@matthewsnc.gov
Public Works
Matthews, NC 28105
Director
Meek. Co.
W. Don
980-314-3209
2145 Suttle Avenue,
don.ceccarelli@mecklenburg
Ceccarelli,
Charlotte, NC 28208-5237
countync.gov
Director of
Stormwater
Services
Meek. Co.
Rusty Rozzelle,
980-314-3217
2145 Suttle Avenue,
rusty.rozzelle@mecklenburg
W.Q. Program
Charlotte, NC 28208-5237
countync.gov
Manager
Mint Hill
Brian L. Welch,
704-545-9726
Mint Hill Town Hall, 4430
bwelch@admin.minthill.com
Town Manager
Mint Hill Village Ln., Mint
Hill, NC 28227
Mint Hill
Steve Frey, Town
704-545-9726
Mint Hill Town Hall, 4430
sfrey@admin.minthill.com
Engineer & Public
Mint Hill Village Ln., Mint
Works Director
Hill, NC 28227
Pineville
Ryan Spitzer
704-889-2291
Pineville Town Hall, PO Box
rspitzer@pinevillenc.gov
Town Manager
249, Pineville, NC 28134
Pineville
Chip Hill, Public
704-889-7467
Pineville Town Hall, PO Box
chill@pinevillenc.gov
Works Director
249, Pineville, NC 28134
CMS
Jeff Mitchell,
980-343-8632
3301 Stafford Drive,
jefferyg.mitchell9cros.kl2.nc.
us
Manager Env.
(0); 980-215-
Charlotte, NC 28208
Services &
3291 (M)
Stewardship
CMS
Isiah Glover, EHS
(980) 301-
3301 Stafford Drive,
isiahl.glover@cros.kl2.nc.us
Specialist
3012 (M)
Charlotte, NC 28208
CPCC
Vicki Saville,
704-330-6316
CPCC-Central Campus, PO
vicki.Saville@cpcc.edu
Assoc. V.P.
704-330-6166
Box 35009 Charlotte, NC
Facilities
28235-5009
4.9 Shared Responsibilities
As specified in the Phase II Permit, each co-permittee is responsible for compliance with the
terms and conditions of the Permit for stormwater activities and Permit requirements applicable
to their jurisdictional area. The Permit further specifies that the State can administer and enforce
the Permit requirements with respect to individual co-permittees found in non-compliance with
the Permit. The Stormwater Management Program Interlocal Agreements entered into between
Mecklenburg County and all the co-permittees provides further clarification by stating that each
co-permittee is responsible for taking the actions necessary within their respective jurisdictions/
entities as described by CMSWS staff to ensure compliance with Permit requirements. For
example, CMSWS staff is responsible for inspecting municipal facilities under the Pollution
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Prevention and Good Housekeeping Program and providing written notification to the
responsible jurisdiction/entity regarding inspection results, including all deficiencies. The
jurisdiction/entity and not CMSWS is responsible for implementing the actions necessary to
correct all deficiencies. Each co-permittee is responsible for performing all activities related to
the maintenance and repair of their property and infrastructure for compliance with Permit
requirements, including facility maintenance as well as inlet, pipe, parking lot, and street
cleaning. A list of co-permittee responsibilities for Phase II Permit compliance is provided in
Appendix F. A description of co-permittee responsibilities for each Permit requirement is also
provided in Appendix A
4.10 Coordination Between Co-Permittees
Proper coordination between all co-permittees is essential for ensuring success at fulfilling
Permit requirements. CMSWS undertakes specific actions for proper coordination as described
below.
1. A Funding Strategy is developed by CMSWS describing the methodology to be used to
equitably share costs associated with compliance with Phase II Permit requirements.
2. By April 30th of every year, CMSWS prepares a draft Work Plan and submits to all co-
permittees for review and comment. This Work Plan describes what activities CMSWS
will perform during the next fiscal year to comply with Permit requirements and includes
a list of co-permittee responsibilities as described in Appendix F. The Work Plan also
includes a budget for each co-permittee based on the Funding Strategy developed in #1
above. Comments are received and addressed, and a final, approved Work Plan is
completed and distributed to all co-permittees by June 30 of every year.
3. Quarterly reports are submitted to all co-permittees (referred to as Statements) listing the
activities performed for Permit compliance, time involved and associated costs.
4. Meetings are held with co-permittees as necessary, which are oftentimes virtual, to
provide updates regarding Work Plan implementation and Permit compliance as well as
to give co-permittees an opportunity to ask questions.
5. Inspections are conducted annually at the public works facilities owned and operated by
the co-permittees to ensure compliance with Permit requirements. As part of these
inspections, information is obtained from the co-permittees regarding the activities being
performed for MS4 operation and maintenance as well as street and parking lot cleaning.
Annual inspections are also performed by CMSWS of SCMs owned and/or operated by
co-permittees for compliance with post -construction ordinance requirements. The co-
permittee is also made of their responsibilities for Phase II Permit compliance, and a copy
of Appendix F is provided.
6. By November 30th of every year, a detailed annual report is provided to all co-permittees
describing the specific Permit compliance activities completed and a status of the
measures of success.
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SECTION 5: PUBLIC EDUCATION AND OUTREACH PROGRAM
A Public Education and Outreach Program has been developed and is currently being
implemented for Mecklenburg County's Phase II jurisdictions/entities to inform the community
of the physical attributes of stormwater runoff, including the pollutants typically contained in
runoff and their likely sources, as well as the impacts of these pollutants on surface water quality.
The Program also describes the steps that the public can take to reduce pollutants in stormwater
runoff and protect water quality. The program is administered by CMSWS's Water Quality
Program as described in the following Sections.
5.1 Program Goals and Objectives
CMSWS's establishes its goals and objectives for its Public Education and Outreach Program,
which are evaluated and updated annually as necessary, based on the actions necessary to
effectively address the targeted pollutants and pollutant sources identified in Table 9. The
current goals of the Public Education and Outreach Program are as follows:
1. Change public behaviors to reduce sources of water pollution and improve water quality.
2. Promote participation in activities aimed at restoring water quality conditions.
The current objectives of the Public Education and Outreach Program are as follows:
a. Develop, distribute and advertise public educational and outreach messages to the
community and conduct outreach activities to inform the public of the negative impacts
that stormwater discharges have on water quality by promoting the following concepts:
• All storm drains flow directly to creeks and lakes without treatment.
• Storm drains are only for rain.
• Anything other than rain that enters a storm drain becomes stormwater pollution.
• Buffers around lakes and streams act to filter pollutants and are important for
protecting water quality.
b. Develop, distribute and advertise public educational and outreach messages to inform the
public of the steps they can take to reduce the negative impacts from stormwater
discharges and restore water quality conditions by promoting the following concepts:
• Do not pour anything down a storm drain or in a creek or lake.
• Volunteer to mark storm drains, adopt streams and participate in the annual Big
Spring Clean event.
• Report pollution to 311.
• Maintain a vegetated buffer around lakes and streams.
5.2 BMP Summary Table
Table 16 describes the BMPs implemented as part of the Public Education and Outreach
Program.
M
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Table 16: BMP Summary Table for the Public Education and Outreach Projzram
A B I C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
Public Education and Outreach (Permit Ref. Part II Section A.4, 5 and 7; Part II Section B.; Part II Section C.2.c; Part II Section D.2.i;
Part 11 Section E.3): Distributing educational materials to the community or conducting equivalent outreach activities about the impacts
of storm water discharges on water bodies and the steps that the public can take to reduce pollutants in storm water runoff. (Note: SOPS
are the same for Phases I and 11. Documentation for revising these SOPS and performing training is contained under the Phase I program
element.).
#3
PE- 10(a)
Planning and Coordination
(Education
Coordinate with
a. Coordinate with Charlotte
Annually
Completion
Work with
and
Charlotte Storm
Storm Water and the co-
beginning July 1
status
CMSWS to
Outreach)
Water Services and
permittees.
ensure an
the co-permittees to
b. Identify and implement
Annually
Completion
effective
review work plan
ongoing coordination
beginning July 1
status
outreach.
element scope,
measures between Charlotte
direction,
Storm Water and the co -
procedures, and
permittees.
c. Review SOPS annually and
Annually
Completion
necessary steps to
coordinate efforts.
revise as necessary.
beginning July 1
status
d. Review target pollutants and
Annually
Completion
audiences as well as
beginning July 1
status
residential/commercial issues
and revise as necessary.
#4
PE-10(b)
Educational Materials
(Education
Develop and
a. Evaluate available brochures
Annually
Completion
Inform CMSWS
and
distribute
and update or develop new
beginning July 1
status
if new brochures
Outreach)
educational
ones as necessary.
are needed to
materials to target
b. Make brochures available to
Annually
Completion
meet a special
audiences.
staff for distribution.
beginning July 1
status
need. Ensure
brochures are
c. Provide brochures to Town
Annually
Completion
Halls and other locations
beginning July 1
status
maintained in a
within the Towns as necessary
location
for distribution.
available to the
public.
d. Maintain a record of the
Annually
Completion
extent of exposure.
beginning July 1
status; extent
of ex osure
#5
PE-10(c)
Newsletters
(Education
Develop and send
a. Develop newsletter articles
Annually
Completion
Ensure
and
newsletter articles to
and make available to Town
beginning July 1
status
educational
Outreach)
Pineville for
for distribution.
materials are
distribution at a
b. Maintain record of extent of
Annually
Completion
included in
minimum of
exposure.
beginning July 1
status; extent
newsletters
quarterly.
of exposure
and/or other
regular
communications.
#6
PE-10(d)
Public Education Media Campaign
(Education
Develop and
a. Develop and implement a
Annually
Completion
Ensure
and
implement public
media campaign, including
beginning July 1
status
availability of
Outreach)
education media
television, radio, print ads,
information to
campaign.
utility bill inserts, etc.
public as
b. Develop and implement social
Annually
Completion
requested by
media posts.
beginning July 1
status
CMSWS.
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A B I C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
c. Maintain website, including
Annually
Completion
Maintain link to
information regarding current
beginning July 1
status
CMSWS
water quality conditions,
website.
stormwater pollutants and
how to minimize them,
municipal stormwater
projects, volunteer
opportunities, etc. Ensure co-
permittee links to website are
maintained.
d. Maintain record of extent of
Annually
Completion
exposure.
beginning July 1
status; extent
of exposure
#7
PE-10(e)
Schools
(Education
Conduct
a. Develop age -specific
Annually
Completion
None.
and
presentations for
educational information for
beginning July 1
status
Outreach)
students/teachers.
use in schools and for
presentations to school age
children.
b. Present information in
Annually
Completion
appropriate format.
beginning July 1
status
c. Maintain record of extent of
Annually
Completion
exposure.
beginning July 1
status; extent
of exposure
#8
PE-10(f)
Commercial Outreach
(Education
Conduct outreach
a. Develop and implement
Annually
Completion
None.
and
program for
outreach program.
beginning July 1
status
Outreach)
commercial
b. Update commercial sector
Annually
Completion
facilities.
BMP flyers as necessary.
beginning July 1
status
c. Maintain record of extent of
Annually
Completion
exposure.
beginning July 1
status; extent
of ex osure
#9
PE-9
Evaluate Effectiveness of the Public Education and Outreach Program
(Evaluate
Evaluate
a. Evaluate program
Annually
Completion
Notify CMSWS
Education)
effectiveness of the
effectiveness at meeting
beginning July 1
status
of actions
Public Education
established goals and
necessary to
and Outreach
objectives.
improve the
Program.
b. Measure program success
Annually
Completion
effectiveness of
using established criteria.
beginning July 1
status; criteria
the program.
measure
c. Recommend improvements as
Annually
Completion
necessary. Include the
beginning July 1
status
recommendations in the
report for PD-1.
d. Implement improvements in
Annually
Completion
the next fiscal year.
I beginning July 1
I status
#10
PE- 10(g)
Annual Report
(Education
Complete annual
a. Complete annual report
Annually
Completion
None.
and
reports.
detailing activities completed
beginning July 1
status
Outreach)
and summarizing findings.
we
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A B I C D
E
County
County Activities
BMP
No.
Work Plan
Description of
Schedule for
Annual
Co-Permittee
Code
BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
b. Include the annual report in
Annually
Completion
PD-1.
beginning July 1
status; extent
of exposure;
criteria
measure
5.3 Stormwater Helpline
Charlotte -Mecklenburg maintains a phone helpline at 311 from 7 a.m. to 7 p.m. Monday through
Friday except recognized holidays. This stormwater helpline receives citizen requests for service
that are forwarded to CMSWS for response, provides general water quality information, and
promotes public involvement and participation through established volunteer programs. To
ensure effectiveness, CMSWS has provided the staff at 311 with a "key word" index that is used
to trigger select responses to water quality related questions and requests. These key words are
reviewed and updated annually as necessary and provided to 311 for implementation. For
example, if a caller uses the key word "Stream Cleanup" 311 staff has been provided with a
select response that refers the caller to the appropriate staff contact at CMSWS for more
information. Various media, including television, radio, print ads, brochures, social media, etc.,
are used to promote 311 as the number to contact to report suspected pollution problems and
sign-up for volunteer programs. 311 has been in use since September 8, 2008 and has proven to
be an effective helpline service, resulting in CMSWS receiving an average of over 100 reports of
potential water quality problems annually in the Phase II jurisdictions and an additional 600
reports in Charlotte's Phase I jurisdiction as well as numerous requests to participate in volunteer
programs. CMSWS maintains a 24-hour a day, 7 days a week response status for all water
quality problems, spills, emergencies, etc. by working in close cooperation with 311 as well as
the Charlotte -Mecklenburg Fire and Police Departments, including all the Towns. Emergency
spill response services are available through 911. Residents can also request services through the
Storm Water Services webpage online and through the use of the mobile CLT Plus app at the
following link: https://charlottenc.-o�ges/CLTplus.aspx.
5.4 Outreach Program
The outreach strategy for the Mecklenburg County Phase II jurisdictions/entities includes the
mechanisms described in this Section, which are estimated to result in over 6,600,000 contacts
for the protection and restoration of water quality conditions in the Charlotte -Mecklenburg area
during the five (5) year Permit term. Contacts outside the Phase II jurisdictions are included in
this calculation, which is unavoidable due to the fact that the program is administered
countywide. For each media, event or activity included in the outreach program, the extent of
exposure is estimated and recorded.
5.4.1 Utility Bill Inserts
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Utility Bill Inserts (UBIs) with educational stormwater topics are placed inside utility bills
(water, sewer, and stormwater) eight (8) times per year and issued to 185,004 customers
throughout Mecklenburg County. This outreach mechanism involves the development and
placement of an insert into this utility bill that results in the stormwater/water quality message
being delivered to over 2,200,000 customers in Charlotte -Mecklenburg during the five (5) year
Permit term. These inserts reach the entire target audience described in Section 3.10 with
general water quality messages such as how to report suspected pollution problems and measures
for reducing stormwater pollution, as well as messages associated with targeted pollutant sources
and volunteer opportunities. Figure 4 is the utility bill insert distributed in October 2022.
Figure 4: Utility Bill Insert
5.4.2 Brochures and Environmental Notices
This outreach mechanism involves the development and distribution of printed brochures,
Environmental Notices, and Newsletters to select members of the targeted audience described in
Section 3.10, including but not limited to adults, homeowners, pet owners, non-English speaking
residents, businesses, and industries. This outreach includes general water quality messages
regarding pollution prevention, reporting and regulatory compliance as well as messages
associated with specific pollution sources from Table 9 and information regarding water quality
volunteer opportunities. Printed brochures are distributed during responses to citizen requests
for service, inspections and at event displays. Environmental Notices containing specific
information for protection of water quality and compliance with water quality regulations are
typically distributed during responses to citizen requests for service and inspections for
identifying and eliminating pollution sources. For those jurisdictions that do not utilize social
media as described in Section 5.4.5, newsletter articles are sent to residents to inform them of the
measures they should take to eliminate pollution sources. The printed brochures and
Environmental Notices are anticipated to reach a minimum of 100,000 residents in Charlotte -
Mecklenburg during the five (5) year Permit term.
5.4.3 Articles and Newsletters
4D.
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This outreach mechanism involves the development and publication of articles in local
newspapers, newsletters, and online sources available to residents in the Phase II jurisdictions.
These sources include but are not limited to the Charlotte Observer, The Recycler, Hola
magazine, Axios Charlotte, and Charlotte Five. All of these sources reach the target audience
which is described in Section 3.10. The articles seek to educate residents about the impacts of
stormwater discharges on water bodies and the steps they can take to reduce pollution,
participate in volunteer programs and events, sign up for swim advisories, as well as report
suspected pollution problems. The ads are anticipated to reach a minimum of 100,000 residents
in Charlotte -Mecklenburg during the five (5) year Permit term.
5.4.4 Media Campaign
This outreach mechanism involves the use of radio and television ads to reach the entire targeted
audience described in Section 3.10 with messages regarding the measures that can be taken to
reduce stormwater pollution as well as messages associated with specific pollutant sources. This
outreach mechanism is also used to promote participation in water quality volunteer activities.
TV and radio ads run throughout the fiscal year with a very wide circulation. The estimated
annual extent of exposure from these ads generally totals greater than 6,000,000.
5.4.5 Social Media
This outreach method includes, but is not limited to, Facebook, Twitter, Instagram, and Web
Banners to engage citizens in activities for protecting and restoring water quality conditions in
Mecklenburg County. Posts include a variety of stormwater-related topics. Figure 5 is a Web
Banner that was posted on numerous high -profile websites starting in FY2022 to all CMSWS
volunteer programs. The estimated annual extent of exposure from social media generally totals
greater than 10,000,000.
Figure 5: Web Banner
5.4.6 Targeted Outreach
Targeted educational outreach efforts are initiated when responses to service requests,
monitoring results or other program activities reveal pollution sources isolated to specific target
areas. Educational brochures and/or door hangers are the outreach mechanisms of choice in such
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situations; however, a very targeted social media campaign could also be conducted. For
example, if elevated fecal coliform levels were detected as a result of water quality monitoring
activities and field investigations revealed a large concentration of dogs registered in homes
upstream, then a door-to-door educational campaign would be conducted in the area to promote
the proper disposal of dog waste, including the distribution of various educational materials.
Targeted outreach is also performed on a watershed level based on specific issues such as
TMDLs or a specific pollutant of concern. Figure 6 is an example of a targeted education mailer
used in the Reedy Creek Watershed.
Figure 6: Targeted Education Mailer
5.4.7 Workshops and Video Taped Messages
This outreach mechanism involves the use of workshops and/or video taped messages to reach a
wide segment of the targeted audience described in Section 3.10. At least two (2) workshops
and/or video taped messages will be provided during the five (5) year Permit term reaching an
estimated 1,500 persons. To date, several pollution prevention video taped messages have been
developed and are available on YouTube. In 2015, CMSWS developed a video entitled "Water
Pollution: What to Do?" that describes sources of water pollution, the importance of clean water
to the community and the impacts of water pollution as well as how to detect and report illicit
discharges. Each of the Phase II jurisdictions/entities is responsible for ensuring that its staff
watches this video if, as part of their normal job responsibilities, they may come into contact
with or otherwise observe an illicit discharge or illicit connection to the storm sewer. This video
is available on the County's MeckEdu website. During the five (5) year Permit term, over 1,000
media contacts are anticipated through the use of videos.
5.4.8 Web Pages
This outreach mechanism involves the use of web pages focused on specific water quality topics
maintained on the CMSWS website located at http://stormwater.channeck.org. Web pages
describe the specific actions necessary to prevent water pollution and instructions for reporting
suspected pollution sources. The web pages also target specific business sectors with best
.O
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management practices relating to pollution prevention. In addition, the web pages include a
description of all the volunteer programs with instructions on how to register for participation.
Web pages are also available that describe water quality monitoring activities in Mecklenburg
County and general water quality conditions. This website is promoted through utility bill
inserts, print ads, brochures, Environmental Notices, Newsletters, media campaigns, social media
post, workshops, and by displays on giveaway materials. The website also appears on all emails
generated by staff with CMSWS as well as appears on their business cards. The stormwater
website is also available through a link on the websites maintained by Mecklenburg County and
the other co-permittees. Annual pageviews for CMSWS's website generally total greater than
300,000.
5.4.9 Educational Presentations and Public Events
This outreach mechanism involves the combination of educational presentations, displays,
educational materials, handouts, and/or promotional items to reach a very select segment of the
targeted audience described in Section 3.10, including adults, dog owners, civic groups, students,
landscapers, realtors, and land developers. The messages focus on controlling one or more of the
pollutant sources in Table 9 as well as promoting volunteerism. These activities occur
throughout the year. Each year CMSWS generally conducts between 30 and 40 educational
presentations covering stormwater pollution prevention and reporting and attends 10 to 20 events
reaching a total of over 4,000 attendees. In addition, CMSWS has develop age -specific
educational information for use in schools and for presentations to school age children. During
the five (5) year Permit term, it is estimated that over 200 presentations and events will be
conducted/attended by CMSWS reaching over 20,000 residents.
5.4.10 Regional Stormwater Partnership of the Carolinas
CMSWS is a member and active participate in the Regional Stormwater Partnership of the
Carolinas (RSPC). The RSPC is a non-profit organization whose mission is to work together to
educate and bring awareness of stormwater issues and their impact on water quality throughout
the Charlotte region. The partnership not only promotes a strong network of stormwater
professionals, but it allows multiple municipalities to share various resources, especially in the
area of public education and outreach.
5.5 Reaching Mecklenburg County's Diverse Population
Mecklenburg County is recognized as having one of the most diverse populations in the State.
This diversity is taken into careful consideration when developing and implementing all
activities involved in the Public Education and Outreach and Public Involvement and
Participation Programs. For example, CMSWS is careful to ensure that all media outlets and
educational materials are designed to reach a broad range of languages. In addition, CMSWS
partnered with the Regional Stormwater Partnership of the Carolinas and Johnson C. Smith
University on a WRRI grant which involved improving public education/outreach and public
involvement in three (3) low-income communities in west Charlotte. This is an area identified
for needing additional outreach and involvement. Plans are underway to continue to engage the
citizens in these communities. In FY2023, an Underserved Communities Reach Plan was
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developed using data from the 2020 Census. This plan conducted a thorough review of all public
education and public participation programs in relation to underserved communities and outlined
recommendations for improvement. This plan will be updated annually and will guide our
education and outreach programs in underserved communities.
5.6 Communication Plan
Beginning in FY2021, a Communication Plan was developed and implemented in the Phase II
jurisdictions. The purpose of this Plan is to describe the methodology and tools that will be used
to promote public education and involvement as well as to communicate information regarding
spills and other incidents responded to by CMSWS such as fuel spills, sewage discharges, fish
kills and other impacts to surface waters. The Plan establishes four (4) tiers of communication,
including Tier I — Major Environmental Incident with Immediate Public Health Concern; Tier II
— Environmental Incident with Potential Public Health Concern; Tier III - Environmental
Incident with Little to No Public Health Concern; and Tier IV - Stormwater Public Education
and Public Involvement Message. The Plan describes each of these tiers and provides examples
of incidents/situations where the tier would apply. The Plan provides a description of the step-
by-step process to be followed to communicate the necessary information under each of the tiers.
The Plan also describes the guidelines and communication tools to be used with the public
(external) and with key staff (internal) to ensure clear, factual and transparent communication in
all situations. The Plan is maintained in CMSWS's shared folder as follows and is available
upon request to the Environmental Manager: G:\Water Quality\WQ—Xfer\WQ\Communication
Plan.
5.7 Decision Process
The targeted audience for the Public Education Program for the Mecklenburg County Phase II
jurisdictions/entities include a wide range of age, ethnic and economic groups. These groups
rely on varying mechanisms for receiving information; therefore, a multifaceted educational
program was designed to achieve effective communication. The individual BMPs identified in
Table 16 reflect this approach as do the measurable goals associated with each BMP. Emails,
utility bill inserts, Environmental Notices, brochures, Newsletters, and newspaper ads use the
printed word to disseminate information and focus on specific pollutants as well as general water
quality issues. This information can be distributed to a broad audience via mailings as well as
handed out to individuals when responding to citizen requests for service, conducting
inspections, or attending public events. Web pages provide a variety of specific information to a
broad audience including the general public, commercial and industrial facilities. Workshops
and presentations focus on a relatively small audience but are an effective tool for addressing
specific pollution sources and gaining volunteer participation. Television, radio, and social
media campaigns broaden the approach to a wide audience and typically convey a more general
pollution prevention message. The staff responsible for conducting this public education
program for the Mecklenburg County Phase II jurisdictions/entities as identified in Table 11
were selected for their expertise in the development and implementation of a multifaceted public
outreach campaign.
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5.8 Program Evaluation
The measurable goals for each BMP are described in Table 9. The overall success of the Public
Education and Outreach Program is evaluated through the successful achievement of these
measurable goals as reported with each NPDES MS4 annual assessment report. At a minimum,
the following metrics are included in this annual report:
• Number of public events attended.
• Number of presentations conducted.
• Number and type of social media posts.
• Results from public opinion surveys.
• Results from using mass media channels of communication, including reach and
frequency.
Other measures of success for the Public Education and Outreach Program are described below.
• Documentation of Stormwater Program Activities — As a baseline measure of success,
CMSWS staff will document the completion of Work Plan activities annually that
demonstrate achievement of each of the measurable goals for the BMPs associated with
this program. All activities will be documented within CMSWS's Cityworks database.
• Increasing Awareness — Stormwater Public Opinion Surveys are conducted annually of
the general public to measure their awareness of water quality issues as well as their level
of concern/interest. The measure of success for the Public Education and Outreach
Program is a minimum of 60% of survey respondents indicating they are aware that water
flowing into storm drains goes directly to creeks and lakes.
On an annual basis, CMSWS staff will evaluate the BMPs for this program and assess progress
toward achieving the measurable goals from Table 16 and the measures of success described
above. Recommendations for improvement will be made as necessary. During the following
fiscal year, program activities and BMPs will be modified as necessary based on the results of
this evaluation in order to ensure that the specific goals and objectives of the Public Education
and Outreach Program and SWMP are being effectively and efficiently fulfilled. Staff will also
evaluate the continued relevance of Table 9 and the effectiveness of the targeted audience.
43
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SECTION 6:
Stormwater Quality Management Program Plan — NPDES # NCS000395 — November 2022
PUBLIC INVOLVEMENT AND PARTICIPATION PROGRAM
A Public Involvement and Participation Program has been developed and is currently being
implemented for Mecklenburg County's Phase II jurisdictions/entities to comply with the State
and local public notice requirements and to engage the community in program development and
implementation. The program is administered by CMSWS's Water Quality Program as
described in the following Sections.
6.1 Program Goals and Objectives
CMSWS establishes its goals and objectives for its Public Involvement and Participation
Program, which are evaluated and updated annually as necessary, based on the actions necessary
to effectively address the targeted pollutants and pollutant sources identified in Table 9. The
current goal of the Public Involvement and Participation Program is to create opportunities for
the public to participate in Phase II program development and implementation, as well as to get
involved in activities aimed at protecting and restoring water quality conditions. The current
objectives of the program are as follows:
1. Make a minimum of one (1) presentation annually to the Charlotte -Mecklenburg
Stormwater Advisory Committee (SWAC) to describe the activities performed to comply
with Phase II Permit requirements and receive feedback. All SWAC meetings are open
to the public. A minimum of one (1) of these presentations during the five (5) year
Permit term will be advertised for public comment.
2. Develop and implement volunteer programs to involve the public in activities aimed at
protecting and restoring water quality conditions.
6.2 BMP Summary Table
Table 17 describes the BMPs implemented as part of the Public Involvement and Participation
Program.
Table 17: BMP Summary Table for the Public Involvement and Participation Program
A B I C D
E
County
County Activities
BMP
No.
Work Plan
Description
Schedule for
Annual
Co-Permittee
Code
of BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
Public Involvement & Participation (Permit Ref. Part II Section C.2.a, b; Part II Section A.4, 5 and 7; Part II Section 13.2.h): Developing
and implementing a program to provide opportunities for the public, including major economic and ethnic groups, to participate in efforts
to protect and restore surface water quality. (Note: SOPs are the same for Phases I and 11. Documentation for revising these SOPS and
performing training is contained under the Phase I program element.
#11
PI-1
Phase 11 Public Meeting
(Public
Meet with the
a. Conduct a minimum of one (1)
Annually
Completion
None
Meetings)
Storm Water
meeting annually before SWAC.
beginning July 1
status
Advisory
Provide information regarding
Committee
activities performed to comply
(SWAC) and
with Phase II requirements.
co-permittees
Promote opportunity to receive
to provide
public input during the meeting.
and promote
Receive input from the public
a mechanism
regarding storm water issues and
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A B C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description
of BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
for public
the program.
involvement
b. Update the Storm Water Quality
Annually
Completion
that allows
Management Program Plan and
beginning July 1
status
for input on
implement as necessary based on
stormwater
the comments received.
issues and the
c. Complete an annual report and
Annually
Completion
stormwater
provide to the Towns describing
beginning July 1
status; #
program.
activities completed under this
attending
task, including a summary of the
meeting
findings and recommendations
from the annual program
assessment. Include in report for
PD-1.
#12
PI-2
Ado t-A-Stream
(Volunteer
Implementing
a. Review SOPS annually and revise
Annually
Completion
Work with
AAS)
an Adopt -A-
as necessary.
beginning July 1
status
CMSWS to
b. Implement program activities
Annually
Completion
Stream
maximize
Program that
coordinating closely with
beginning July 1
status
volunteer
involves the
volunteers.
participation.
adoption of
Assist with trash
c. Maintain data regarding program
Annually
Completion
stream
activities.
beginning July 1
status; #
removal as
sections by
volunteers
requested.
the general
d. Follow up on reported pollution
Annually
Completion
public,
problems to ensure compliance.
beginning July 1
status; #
businesses
problems
and
resolved
institutions.
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
# 13
PI-3
Storm Drain Marker
(Volunteer
Implementing
a. Review SOPS annually and revise
Annually
Completion
Work with
SDM)
a Storm
as necessary.
beginning July 1
status
CMSWS to
b. Implement program activities
Annually beginning
Completion
Drain Marker
maximize
Program that
coordinating closely with
July 1
status
volunteer
involves the
volunteers.
participation.
placement by
Receive and
c. Maintain data regarding program
Annually beginning
Completion
volunteers of
activities.
July 1
status; #
respond as
markers on
volunteers
necessary to
storm drain
d. Follow up on reported pollution
Annually
Completion
reported
inlets with
problems to ensure compliance.
beginning July 1
status; #
problems with
the message
problems
the storm sewer
"Do Not
resolved
system.
Dump —
e. Complete annual report detailing
Annually
Completion
Drains To
activities completed and
beginning July 1
status
Creek."
summarizing findings. Include in
report for PD-1.
#14
PE-I(4)
Annual Spring Cleanup
(Volunteer
Conduct
a. Review SOPS annually and revise
Annually
Completion
Work with
Big Spring
annual
as necessary.
beginning July 1
status
CMSWS to
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A B C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description
of BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
Clean)
cleanup event
b. Implement program activities
Annually
Completion
maximize
that involves
coordinating closely with
beginning July 1
status
volunteer
removing
volunteers.
participation.
c. Maintain data regarding program
Annually
Completion
trash and
Assist with trash
debris from
activities.
beginning July 1
status; #
removal as
surface
volunteers
requested.
waters and
d. Follow up on reported pollution
Annually
Completion
identifying
problems to ensure compliance.
beginning July 1
status; #
pollution
problems
sources.
resolved
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#15
VM
Volunteer Monitorin
(Volunteer
Implement
a. Review SOPS annually and revise
Annually
Completion
Work with
Monit)
volunteer
as necessary.
beginning July 1
status
CMSWS to
monitoring
b. Implement program activities
Annually
Completion
maximize
program that
coordinating closely with
beginning July 1
status
volunteer
involves the
volunteers.
participation.
monitoring of
c. Maintain data regarding program
Annually
Completion
stream
activities.
beginning July 1
status; #
conditions by
volunteers
volunteers.
d.Follow up on reported pollution
Annually
Completion
problems to ensure compliance.
beginning July 1
status; #
problems
resolved
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#16
PE-I(13)
Public Involvement Media Campaign
(Educate
Develop and
a. Coordinate with Charlotte Storm
Annually
Completion
Work with
Media
implement a
Water Services and co-permittees
beginning July 1
status
CMSWS to
Campaign)
public
to develop and implement an
maximize
involvement
effective strategy to promote and
volunteer
media
increase volunteerism.
participation
campaign to
b. Work with the Media Buy vendor
Annually
Completion
through media
educate and
and Creative Services vendor to
beginning July 1
status
campaign.
solicit
develop and implement a media
volunteers for
campaign per the strategy in "a"
public
including television, radio and
involvement
other media outlets.
c. Implement the social media
Annually
Completion
programs.
strategy created in "b" above by
beginning July 1
status; extent
reviewing topics, content and
of exposure
social posts created by vendor.
Schedule and post to Facebook,
Twitter and Instagram. Monitor
social media traffic and respond
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A B C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description
of BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
as necessary.
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#17
PE-I(14)
Volunteer Appreciation
(Volunteer
Conduct
a. Update SOPS as necessary.
Annually
Completion
None.
Recognition)
annual
beginning July 1
status
volunteer
b. Implement program activities.
Annually
Completion
appreciation
beginning July 1
status; #
campaign to
volunteers
recognize
recognized
c. Complete annual report detailing
Annually
Completion
volunteer
efforts for
activities completed and
beginning July 1
status
protecting
summarizing findings. Include in
water quality.
report for PD-1.
#18
PI-6
Evaluate Effectiveness of the Public Involvement and
Partici ation Program
(Evaluate
Evaluate
a. Evaluate program effectiveness at
Annually
Completion
None.
Involvement)
effectiveness
meeting established goals and
beginning July 1
status
of Public
objectives.
b.Measure program success using
Annually
Completion
Involvement
and
established criteria.
beginning July 1
status; criteria
Participation
measure
Program.
c. Recommend improvements as
Annually
Completion
necessary. Include the
beginning July 1
status
recommendations in the report for
PD-1.
d.Implement improvements in the
Annually
Completion
next fiscal year.
beginning July 1
status
6.3 Targeted Audience
The targeted audience for the Public Involvement and Participation Program includes all age,
ethnic and economic groups in Mecklenburg County as described in Section 3.10. Participation
in the Program will be promoted through the Public Education and Outreach Program described
in Section 5. Volunteer opportunities will be made available to all stakeholder groups, including
commercial and industrial facilities, environmental groups, homeowners' associations, civic
groups, educational organizations, and interested citizens.
6.4 Mechanisms for Public Involvement and Participation
The Mecklenburg County Phase II jurisdictions/entities utilize the Charlotte Mecklenburg
Stormwater Advisory Committee (SWAC) to provide and promote a mechanism for public
involvement, including receiving input on stormwater issues and the development and
implementation of the SWMP. The public is also actively involved in ongoing efforts to restore
water quality conditions through volunteer participation in a variety of events, including Adopt -
A -Stream, Storm Drain Marking, Volunteer Monitoring, and The Big Spring Clean. The
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following Sections provide additional information concerning these mechanisms for public
involvement and participation.
6.4.1 Charlotte Mecklenburg Stormwater Advisory Committee (SWAC)
The City of Charlotte, Mecklenburg County and the six (6) Towns established SWAC as its local
stormwater management panel in 1994 with the development of their stormwater utility
(Charlotte -Mecklenburg Stormwater Services). SWAC reviews stormwater management
policies and long-range plans and budgets to make recommendations or offer comments to
elected officials. The advisory committee also hears appeals and decides on water quality
penalties, service charges, credits, and adjustments. SWAC members are appointed by the
Mecklenburg Board of County Commissioners, Charlotte City Council, Charlotte Mayor and
Town Boards. SWAC includes representation from all the Phase II jurisdictions in Mecklenburg
County. All SWAC meetings are open to the public. Effective January 1, 2003, SWAC began
serving as the mechanism for obtaining public involvement in development and implementation
of the Phase II Permit in Mecklenburg County. In addition, meetings are held with co-permittees
at a minimum of twice a year (oftentimes these meetings are virtual) to provide updates
regarding Work Plan implementation and Permit compliance as well as to give co-permittees an
opportunity to ask questions.
6.4.2 Public Meetings
Public meetings are the mechanism used to comply with the State and local public notice
requirements and to engage the community in program development and implementation. Public
meetings are held before SWAC each year in the spring to obtain support for the upcoming
budget submittal. The meetings include a presentation of the activities performed to fulfill
Permit requirements and a request for comments. An advertised public meeting is held before
SWAC prior to the submittal of the Permit renewal application every five (5) years. The purpose
of this meeting is to provide the public with an opportunity to review and provide comments
regarding the Permit application and SWMP. On July 15, 2021, a public meeting was held prior
to the submittal of the application for the Permit term ending February 16, 2027. This public
meeting was advertised in the Charlotte Observer on June 22 and July 1, 2021. During the
meeting, a presentation was given by CMSWS staff describing the measures implemented to
control stormwater pollutant sources in the Phase II jurisdictions/entities and the various
activities performed to fulfill Phase II Permit requirements as described in the SWMP. Staff
informed SWAC that no substantial changes were planned for the new Permit or SWMP. No
member of the general public provided comments. A vote by SWAC members at the end of the
meeting indicated support of the SWMP and submittal of the Permit application.
6.4.3 Adopt -A -Stream Program
Mecklenburg County developed a countywide Adopt -A -Stream Program as part of the
Surface Water Improvement and Management (S.W.I.M.) initiative beginning in 1998. This
program was significantly expanded with the implementation of the Phase I and Phase II
Stormwater Programs by the City of Charlotte and Mecklenburg County, respectfully. The
Adopt -A -Stream Program engages volunteers in removing trash and locating pollutant sources in
Mecklenburg County streams. Adoption groups include Boy/Girl Scout troops, environmental
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interest groups, homeowners' associations, schools, families, garden clubs, businesses,
industries, etc. Training is offered to Adopt -A -Stream groups upon request. The purpose of this
training is to familiarize the volunteers with methods for detecting common water quality
problems, proper stream walk techniques, and important safety measures. Typically, volunteer
groups will adopt a one (1) mile long stream segment. Groups walk their assigned stream
segment at least twice a year. The groups are also encouraged to clean their stream segment
during The Big Spring Clean event. The groups keep records of their Adopt -A -Stream activities.
These records are submitted to CMSWS following the completion of stream cleanup activities.
All records are input by staff into the Volunteer Database, which is maintained as part of EDMS.
CMSWS follows up on identified pollution problems to ensure that they are eliminated, and
water quality is restored as well as coordinates the proper disposal of all trash and debris
removed from streams by adoption groups.
6.4.4 Storm Drain Marking Program
Mecklenburg County developed a countywide Storm Drain Marking Program as part of the
S.W.I.M. initiative beginning in 1998. This program was significantly expanded with the
implementation of the Phase I and Phase II Stormwater Programs by the City of Charlotte and
Mecklenburg County, respectfully. The Storm Drain Marking Program uses volunteers to place
CharloNa-UwWonburg
J '.4 STORM To Report Pollution
.WATER CALL 311
�� Services N
decals on storm drains with the message
"Do Not Dump — Drains to Creek" (see
Figure 7). Volunteer groups include
Boy/Girl Scout troops, environmental
interest groups, homeowners'
associations, schools, garden clubs,
families, businesses, industries, etc.
NO ECHE BASURA — DESCARGA AL ARROYO Typically, volunteer groups will select
_ several streets within a neighborhood for
� marking. CMSWS provides the groups
Figure 7: Storm Drain Marker with decals, adhesive, safety vests,
gloves, and information forms.
Following the completion of storm drain marking activities, the groups submit a completed
information form to CMSWS that includes the street names and number of drains that were
marked as well as information concerning the condition of storm drains and whether any
pollutants were detected. All information is input by staff into the Volunteer Database, which is
maintained as part of EDMS. CMSWS follows up to ensure the elimination of illegal dumping
activities and maintains records of storm drains that have been marked.
6.4.5 Surface Water Clean Up
From 1993 through 2014, CMSWS held an annual surface water cleanup day working in
cooperation with N.C. Big Sweep. In March 2015, N. C. Big Sweep was dissolved as a non-
profit organization. CMSWS now sponsors an annual clean up event called The Big Spring
Clean. The purpose of the event is to use volunteers to remove trash and debris from streams
and lakes. During the event, Adopt -A -Stream groups are encouraged to clean up their assigned
stream segments and additional volunteers are used to expand the effort to include un-adopted
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stream segments. The event has typically been held on the Saturday following the end of Creek
Week. The event is advertised, and volunteers are solicited through the various media outlets
previously listed. Records are kept concerning the number of volunteers and tons of trash and
recycling removed. The event is coordinated county -wide by CMSWS.
6.4.6 Volunteer Monitoring
CMSWS maintains a volunteer monitoring program to assess general water quality conditions in
streams located in the Phase II jurisdictions. There are three (3) types of volunteer monitoring
programs available. The traditional program includes the use of chemical test kits which can be
checked out and used to collect data on stream quality that is submitted to CMSWS for review
and follow up. The second program which is called Streamside Visual Assessment involves
visually assessing streams and completing a field data sheet to document current conditions. The
third program is called Streamside Snapshot which encourages volunteers to submit photos of
the stream at select sites which are identified with signs. This program has also been expanded
to lake coves where volunteers can submit pictures of a cove to report potential algae blooms.
Data is used to identify potential water quality problems that are referred to staff for follow up
action.
6.4.7 Volunteer Appreciation Campaign
An annual appreciation campaign is held to acknowledge the achievements of volunteers toward
restoring the quality and usability of Mecklenburg County's surface water resources. The
campaign includes a variety of methods to recognize volunteers. For example, volunteer groups
of the year are selected and recognized via social media and provided prizes. Special events for
volunteers may also be held as part of the campaign.
6.5 Decision Process
Mecklenburg County's Public Involvement and Participation Program focuses on the use of
multiple mechanisms for getting the public involved in efforts to restore the quality of
Mecklenburg County's surface water resources as well as to comply with the State and local
public notice requirements and to engage the community in program development and
implementation. The rationale for the development of such a program is that multiple
approaches are needed in order to involve all age, ethnic and economic groups in Mecklenburg
County. Some individuals will prefer more passive involvement through participation in public
meetings whereas others may elect to become more actively involved through participation in the
Adopt -A -Stream, Storm Drain Marking and Volunteer Monitoring Programs. The Adopt -A -
Stream Program is more physically challenging and is popular among the age group ranging
from 15 to 50 years of age. The Storm Drain Marking Program appeals to volunteers who are
not interested in walking streams but who are willing to place markers on storm drains in their
neighborhoods. This is particularly popular among volunteers greater than 50 years of age.
Volunteer Monitoring is typically performed by schools whereas tree planting events and The
Big Spring Clean appeal to all age groups and is a popular volunteer event for families and large
groups. The individual BMPs identified in Table 17 reflect this approach as do the measurable
goals associated with each BMP.
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6.6 Program Evaluation
The measurable goals for each BMP are described in Table 17. The overall success of the Public
Involvement and Participation Program is evaluated through the successful achievement of these
measurable goals as reported with each NPDES MS4 annual assessment report. At a minimum,
the following metrics are included in this annual report:
• Public meetings held and number attending.
• Volunteer programs conducted and number participating.
Volunteer recognition activities conducted and number attending.
Other measures of success for the Public Involvement and Participation Program are described
below.
• Documentation of Stormwater Program Activities — As a baseline measure of success,
staff will document completion of Work Plan activities that demonstrate successful
fulfillment of the BMPs associated with this program. All activities will be documented
within CMSWS's Cityworks database and Environmental Data Management System
(EDMS).
• Increasing Number of Volunteers — CMSWS estimates and records participation in all its
volunteer programs. This information will be compiled and tracked as a measure of
program effectiveness. Data is maintained in a Volunteer Database, which is a
component of as well as Excel spreadsheets. Data is included in each annual report for
this Phase II Permit. The indicator of success is an increase in the number of volunteers
compared to the average of the three (3) previous fiscal years, including (but not limited
to) Adopt -A -Stream, Storm Drain Marking, Tree Maintenance, Streamside Chemical,
Streamside Snapshot, Creek ReLeaf, Volunteer Monitoring, Big Spring Clean, 2nd
Saturday, Volun. Thursday, and Scoop the Poop.
On an annual basis, CMSWS staff will evaluate the BMPs assigned to this program and assess
progress toward achieving the measurable goals from Table 17 and the measures of success
described above. Recommendations for improvement will be made as necessary. During the
following fiscal year, program activities and BMPs will be modified as necessary based on the
results of this evaluation in order to ensure that the specific goals and objectives of the Public
Involvement and Participation Program and SWMP are being effectively and efficiently fulfilled.
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SECTION 7: ILLICIT DISCHARGE DETECTION AND ELIMINATION PROGRAM
An Illicit Discharge Detection and Elimination (IDDE) Program has been developed and is
currently being implemented in Mecklenburg County's Phase II jurisdictions/entities for the
purpose of detecting and eliminating illicit discharges into the MS4. The program is
administered by CMSWS's Water Quality Program as described in the following Sections.
7.1 Program Goals and Objectives
CMSWS's establishes its goals and objectives for its IDDE Program, which are evaluated and
updated annually as necessary, based on the actions necessary to effectively address the targeted
pollutants and pollutant sources identified in Table 9. The current goal of the IDDE Program is
to detect and eliminate illicit discharges into the MS4, which are defined in 40 CFR
122.26(b)(2)) as discharges that are not composed entirely of stormwater except discharges
pursuant to a NPDES Permit (other than the NPDES Permit for discharges from the municipal
separate storm sewer) and discharges resulting from firefighting activities as well as incidental
non-stormwater discharges or flows that are not significant contributors of pollutants as
described in Section 7.7 of this document. The details regarding this program are described in
CMSWS's "Illicit Discharge Detection and Elimination Manual" available at the following
website: http:Hstormwater.charmeck.org (select "Regulations", select "Mecklenburg County",
select "Manuals & Guidelines", select "Illicit Discharge Detection & Elimination Policies and
Procedures"). The objectives of the program are as follows:
I. Develop, implement and enforce a program to detect and eliminate illicit discharges into
the MS4, including appropriate policies, procedures, form letters and enforcement
guidance.
2. Maintain a storm sewer system map, showing the location of all major outfalls and the
names and location of all waters of the United States that receive discharges from those
outfalls.
3. Prohibit, through ordinances, or other regulatory mechanisms, non-stormwater discharges
except incidental non-stormwater discharges or flows that are not significant contributors
of pollutants as described in Section 7.7 and implement appropriate enforcement
procedures and actions.
4. Implement a plan to detect and address non-stormwater discharges, including illegal
dumping, to the MS4.
5. Inform public employees, businesses, and the general public of hazards associated with
illegal discharges and improper disposal of waste.
6. Address the following categories of non-stormwater discharges or flows (i.e., illicit
discharges) only if identified as significant contributors of pollutants to the MS4: water
line flushing, landscape irrigation, diverted stream flows, rising ground waters,
uncontaminated ground water infiltration, uncontaminated pumped ground water,
discharges from potable water sources, foundation drains, air conditioning condensation,
irrigation water, springs, water from crawl space pumps, footing drains, lawn watering,
individual residential car washing, flows from riparian habitats and wetlands,
dechlorinated swimming pool discharges, and street wash water (discharges or flows
from firefighting activities are excluded from the effective prohibition against non-
stormwater and need only be addressed where they are identified as significant sources of
pollutants to waters of the United States).
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7.2 BMP Summary Table
Table 18 describes the BMPs implemented as part of the IDDE Program.
Table 18: BMP Summary Table for the IDDE Program
A B C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
Illicit Discharge Detection and Elimination (IDDE) (Permit Ref. Part II Section A.4, 5 and 7; Part II Section B.2.g; Part II Section C.2.c;
Part II Section A.4, 5 and 7; Part II Section D;): Develop and implement a program to detect and eliminate illicit discharges to the MS4.
(Note: The IDDE Manual and SOPS are the same for Phases I and II. Documentation for revising these documents and performing training is
contained under the Phase I program element.
#19
ID-1
Storm Sewer System Maps
(Storm
Maintain a
a. Receive from GIS a list of the
Annually
Completion
Receive and
Sewer
current map
newly collected storm sewer
beginning July 1
status
respond as
Mapping)
showing major
system features.
necessary to
b. Field evaluate GIS data and input
Annually
Completion
outfalls and
reported problems
receiving
additional attribute information
beginning July 1
status
with the storm
streams.
into ArcGIS Collector.
sewer system.
c. Complete inspections of new
Annually
Completion
outfalls using the Cityworks
beginning July 1
status
Mobile App. Identify and
eliminate pollution sources.
d. Document the date of inspection,
Annually
Completion
condition of the outfall, dry
beginning July 1
status; # inlets;
weather flows, and any other
outfalls; dry
potential illicit discharges as well
weather flows
as the date and results of any
follow up actions.
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
re ort for PD-1.
#20
ID-2
Screening for Non-Stormwater Flows
(Outfall
Maintain a
a. Identify and investigate areas
Annually
Completion
Receive and
Inspection)
program for
where there is a high potential for
beginning July 1
status
respond as
conducting dry
illicit discharges in accordance
necessary to
weather flow
with procedures contained in the
reported problems
field
IDDE Manual (outfalls are also
with the storm
observations in
inspected for ID-1 and ID-8).
sewer system.
b. Complete follow up actions as
Annually
Completion
accordance
with written
necessary to ensure the
beginning July 1
status
procedures.
elimination of identified
pollution sources.
c. Document nature of
Annually
Completion
investigation, names, dates,
beginning July 1
status;
locations, follow up actions,
problems
violations, and final resolution.
resolved
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#21
ID-3
Maintain an IDDE Program
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A B I C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
(NOV &
Maintain a
a. Review and revise IDDE
Once during 5-
Completion
Work with
Enforcement)
written IDDE
Manual.
year permit term
status
CMSWS to
Program,
b. Review and revise SOPS and
Annually
Completion
update and adopt
adequate legal
ordinances as necessary.
beginning July 1
status
ordinances as
authorities
c. Perform annual IDDE training
Annually
Completion
necessary.
including
for staff.
beginning July 1
status; #
ordinances,
trained
and written
d. Conduct investigations and
Annually
Completion
procedures for
document nature of investigation,
beginning July 1
status
conducting
names, dates, locations, follow up
investigations
actions, violations, and final
of Illicit
resolution.
discharges.
e. Prepare and issue NOVs and
Annually
Completion
initiate enforcement actions in
beginning July 1
status; #
accordance with SOPS. Follow
NOVs; #
up to ensure compliance and
enforcements
document. Maintain system to
track NOVs for identifying
chronic violators.
f. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#22
ID-4.1; ID-
Water Quality
onitoring Program
4.3; ID-4.4;
Maintain a
a. Review SOPS annually and
Annually
Completion
Receive and
ID-4.10
monitoring
revise as necessary. Perform
beginning July 1
status
respond as
(Monit
program to
staff training.
necessary to
b. Perform monitoring activities.
Annually
Completion
Oversight;
assess water
reported problems
Monit Fixed
quality
beginning July 1
status
with the storm
Interval;
conditions for
sewer system.
c. Analyze data and initiate follow
Annually
Completion
Monit Bugs;
identification
up actions as necessary to identify
beginning July 1
status
Monit Fish;
and
and eliminate pollution sources.
Monit
elimination of
d. Document nature of investigation,
Annually
Completion
CMANN)
illicit
names, dates, locations, follow up
beginning July 1
status;
discharges and
actions, violations, and final
summary of
other pollution
resolution.
data collected
e. Complete annual report detailing
Annually
Completion
sources.
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#23
ID-5
Pollution Prevention Education
(Educate
Develop and
a. Ensure that messages are
Annually
Completion
Ensure employees
Prevention)
implement a
incorporated into the general
beginning July 1
status
are properly
public
water quality media campaign.
trained.
b. Conduct presentations for public
Annually
Completion
outreach
program to
employees, businesses and the
beginning July 1
status
inform public
general public regarding the
employees,
environmental threat of illicit
businesses and
discharges and how they are
the general
identified and reported.
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A B I C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
public of illicit
c. Provide training to appropriate
Once during 5-
Completion
discharges and
municipal staff, who, as part of
year permit term
status; #
improper
their normal job responsibilities,
trained
waste disposal
may come into contact with or
and how they
otherwise observe an illicit
threaten the
discharge or illicit connection to
environment
the storm sewers stem.
as well as
d. Review and update 311
Annually
Completion
provide
Keywords annually and
beginning July 1
status
instructions
coordinate with 311 staff as
concerning
necessary to ensure their
proper
continued effectiveness as a
reporting.
stormwater helpline for reporting
illicit discharges and as a
mechanism for public education
and involvement.
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#24
ID-6
Follow up Ins ections and Responding to Citizen Requests and Emergencies
(Follow up
Respond to
a. Review SOPS annually and
Annually
Completion
Receive and
Insp., CRS
citizen
revise as necessary. Perform staff
beginning July 1
status; #
respond as
and ER)
requests for
training.
trained
necessary to
b. Maintain the duty roster for the
Annually
Completion
service and
reported problems
emergency
Emergency Response Program.
beginning July 1
status
with the storm
situations as
Ensure SOPS are followed, and
sewer system.
well as
necessary equipment rovided.
conduct follow
c. Receive and respond to citizen
Annually
Completion
up inspections
requests for service and
beginning July 1
status
as necessary to
emergency responses. Identify
identify and
and eliminate pollution sources.
eliminate
d. Document nature of
Annually
Completion
pollution
investigation, names, dates,
beginning July 1
status; #
problems.
locations, follow up actions,
service
violations, and final resolution.
requests; #
problems
resolved
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#25
ID-8
Stream Walk/Outfall Inventory & Inspection/DryInspection/Dry Weather Flow Analysis
(Stream
Inspect creeks
a. Review SOPS annually and revise
Annually
Completion
Receive and
Walk)
for the purpose
as necessary. Perform staff
beginning July 1
status; #
respond as
of identifying
training.
trained
necessary to
b. Perform stream walk activities in
Annually
Completion
and
reported problems
eliminating
accordance with established
beginning July 1
status
with the storm
illicit
SOPS. Document the dates and
sewer system.
discharges and
results of stream walk activities.
collecting
c. Analyze data and initiate follow
Annually
Completion
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A B I C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
outfall and
up actions as necessary to
beginning July 1
status; # miles
stream channel
identify and eliminate pollution
walked; #
data as well as
sources.
problems
conducting dry
resolved
d. Complete annual report detailing
Annually
Completion
weather flow
field
activities completed and
beginning July 1
status
observations in
summarizing findings. Include in
accordance
report for PD-1.
with written
procedures.
#26
ID-9
Illicit Discharge Elimination Program IDEP
(IDEP)
Investigate
a. Review SOPS annually and
Annually
Completion
None
select
revise as necessary. Perform staff
beginning July 1
status; #
locations on a
training.
trained
regular,
b. Perform IDEP activities and
Annually
Completion
recurring
follow up as necessary to
beginning July 1
status
schedule for
identify and eliminate pollution
the
sources.
identification
c. Document nature of
Annually
Completion
and
investigation, names, dates,
beginning July 1
status; #
elimination
locations, follow up actions,
investigations; #
illicit
violations, and final resolution.
problems
discharges and
resolved
other pollution
d. Complete annual report detailing
Annually
Completion
problems.
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#27
ID-U
Used Oil Inspection
(Used Oil
Conduct
a. Conduct inspections and follow
Annually
Completion
None
Inspection)
inspections of
up as necessary to identify and
beginning July 1
status
vehicle
eliminate pollution sources in
maintenance
accordance with the procedures
facilities to
contained in the IDDE Manual.
ensure the
b. Document nature of
Annually
Completion
proper
investigation, names, dates,
beginning July 1
status; #
implementatio
locations, follow up actions,
investigations; #
n of good
violations, and final resolution.
problems
housekeeping
resolved
c. Complete annual report detailing
Annually
Completion
measures to
prevent the
activities completed and
beginning July 1
status
discharge of
summarizing findings. Include in
pollutants.
report for PD-1.
#28
ID-10
Evaluate Effectiveness of the IDDE Program
(Evaluate
Evaluate
a. Evaluate program effectiveness at
Annually
Completion
None.
IDDE)
effectiveness
meeting established goals and
beginning July 1
status
of the IDDE
objectives.
b. Measure program success using
Annually
Completion
Program.
established criteria.
beginning July 1
status; criteria
measure
c. Recommend improvements as
Annually
Completion
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A B I C D
E
County
County Activities
BMP
No.
Work Plan
Description of
Schedule for
Annual
Co-Permittee
Code
BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
necessary. Include
beginning July 1
status
recommendations in report for
PD-1.
d. Implement improvements in the
Annually
Completion
next fiscal year.
beginning July 1
status
7.3 Illicit Discharge Detection & Elimination Manual
CMSWS maintains a written document describing its IDDE Program that is referred to as the
IDDE Manual. All written procedures and forms for the execution of the IDDE Program are
contained in this document, including links to Standard Operating Procedures (SOPS) that
include detailed implementation procedures. The Manual is reviewed and updated every five (5)
years whereas the more detailed SOPS are reviewed and updated annually. The IDDE Manual
includes information regarding the following:
• Legal authority, including right of entry.
• Coordination with other agencies.
• Identification of priority areas likely to have illicit discharges.
• Methods used to identify illicit discharges and connections.
• Written procedures for conducting investigations of identified illicit discharges and
connections.
• Written procedures for conducting dry weather flow field observations.
• Tracking illicit discharges and connections to a source.
• Eliminating sources of illicit discharges and connections.
• Sanitary sewer failures.
• Documentation.
• Employee training.
• Provisions for program assessment and evaluation.
7.4 Storm Sewer System Mapping
On August 31, 2006, CMSWS completed the storm sewer maps for all the Phase II jurisdictions
in Mecklenburg County. These maps show the locations of inlets, outlets and receiving waters
as well as identify the corresponding six -square mile drainage areas. As part of this mapping
program, CMSWS also identified dry weather flows to the storm sewer system and initiated the
measures necessary to eliminate pollution sources. The source of information for the
development of these storm sewer maps was 2002 digital aerial photography (1 foot per pixel
resolution .tif images, compressed 50:1 into .sid format) provided by Mecklenburg County
Mapping/GIS Services. The aerial photography was loaded into Hewlett-Packard iPAQ
handheld computers that were equipped with both ESRI Arc Pad 6.0.3 GIS software and Trimble
GPS Correct. This mapping software package was configured to store important information
relevant to the storm sewer system and the water quality conditions observed. A Trimble
Pathfinder Pocket GPS unit was connected to the handheld computer in order to geo-reference all
data collected. CMSWS staff conducted field inspections to locate all storm sewer system inlets,
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outlets and receiving streams using the aerial photos loaded into the handheld computer as a
reference. Once located, a geo-referenced position for the inlets and outlets was determined
using the Trimble GPS unit. Other field data was also collected during the inspections including
the general condition of the storm drain, the name of the receiving stream and whether dry
weather flow or other potential pollution problems were observed. If such problems were
detected, the following additional information was collected:
• Estimated flow rate.
• Odors.
• Coloration.
All observed dry weather flows were sampled for fecal coliform bacteria, surfactants, fluoride,
and oil and grease. Follow up field investigations were performed to identify and eliminate all
pollution sources. All follow up activities were documented in a report maintained in CMSWS's
computer database. Following the field inspections, the digital data was downloaded by
CMSWS staff and stored in an ESRI shapefile format (with attributes). CMSWS staff post -
processed the data to include the corresponding six -mile sub -basin identification number as an
added attribute. After the inventory was completed, storm sewer system maps were created for
use in the implementation of the IDDE Program. Staff with CMSWS conduct field
investigations to identify dry weather flows to the storm sewer system during responses to citizen
requests for service and while conducting stream walks and various inspection activities. The
necessary follow up actions are performed to identify and eliminate pollution sources as
described in Section 7.7. All data is maintained in a GIS database and is available for use by
staff in the identification and elimination of illicit discharges through the Cityworks database
(see Figure 8).
► Retrofits
va u"`! a ° V` ;'Amb Ad ► Facility Inspections
' 7 i ► Mitigation Projects
► Phase I Outtalls
► Phase II Outfalls
—Phase II Storm Water Inventory
Inlet
s< / Outtall
n • t I
_ jai ? • MajorOutfall
<. ►Tree Planting Sites
r
►BMP
+r
►BMP Project
► Six Mile Basin
►Town Boundaries
.......... -
'' Y 7� i ► Watershed Boundaries
xi 4_ �� r 1 ► Charlotte Water
r
► City Stormwater
1 v!
r Annotation
e r 1 / y ► TOD0100V Basemao
Figure 8: Screen Shot from Cityworks of Storm Drain Inlets, Outlets, and Receiving Streams
The storm sewer system map is updated daily by Mecklenburg County's GIS Department in
order to capture inlets and outlets added by new development. This is completed as part of their
ongoing process to update the impervious area coverage that is included in the stormwater billing
process. GIS staff use "Nearmap Aerial Imagery" to locate the new inlets and outlets. These
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STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
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high -resolution, aerial maps are widely used by both the public and private sector to rapidly
identify features on the ground with a very high degree of accuracy. Mecklenburg County
collects aerial imagery twice a year during "leaf off' conditions, which is typically in February
and October. EagleView Pictometry is used to enhance images that are difficult to identify due
to shadows and other distortions. This patented high -resolution aerial image capture process
uses low -flying airplanes to photograph locations on the ground, depicting up to 12 oblique
perspectives (shot from a 40-degree angle) as well as an orthogonal (overhead) view to produce a
360-degree view making objects easier to recognize and interpret. Once the inlets and outlets are
identified, a new point is created in ESRI's ArcGIS, including an object ID number, date
collected, feature type (inlet or outlet), and collection method. GIS provides CMSWS with a list
of the newly collected storm sewer system features twice a year based on their analysis of new
aerial imagery. Outfall features are validated by CMSWS's staff during the fall Stream Walk
activities. Staff collect additional attribute information using the ArcGIS Collector application,
including the outfall type (major or minor, FES, endwall, exposed pipe, etc.), outfall shape,
outfall material, endwall material, and the diameter of the outfall. Staff also record the condition
of the outfall, dry weather flows, and any other potential illicit discharges. Follow up actions are
completed as necessary to ensure the elimination of identified pollution sources. SOPS have
been developed for the storm sewer system mapping process, including follow up for potential
pollution sources, and are available upon request.
7.5 Pollution Control Ordinance
In April 2004, the Town of Davidson adopted a "Surface Water Pollution Control Ordinance"
that prohibits illicit discharges, illicit connections and improper disposal to surface waters and
storm sewers within their corporate limits as authorized by North Carolina General Statute
(NCGS) 160A-174. On May 5, 2004, Mecklenburg County adopted the same ordinance for the
unincorporated areas of the county as authorized by NCGS 153A-121. A separate ordinance was
adopted for the Town of Davidson because they have jurisdiction in Iredell County where the
County Attorney indicated that Mecklenburg County's ordinance would not be applicable. On
June 8, 2004, the Town of Pineville adopted a resolution allowing Mecklenburg County to
enforce its ordinance within their corporate limits as authorized by NCGS 153A-122. On June
21, 2004, the Towns of Cornelius and Huntersville adopted the same resolution followed by the
Town of Mint Hill on June 24, 2004. The Town of Matthews had adopted a separate Stormwater
Pollution Control Ordinance on November 27, 2000. CMSWS has been delegated the authority
to enforce these ordinances in cooperation with the respective jurisdictions. This regulatory
mechanism was chosen for prohibiting illicit discharges to storm sewers and surface waters in
the Phase II area due to the success of a similar ordinance in effect in the Phase I area in the City
of Charlotte since November 25, 1995. These ordinances prohibit illicit discharges, illicit
connections and improper disposal to the storm drain system except for the incidental non-
stormwater flows that do not significantly impact water quality described in Section 3.8.
CMSWS reviews the above -described surface water pollution control ordinances each fiscal year
and modifies them as necessary to ensure that adequate legal authority is maintained to prohibit
illicit connections and discharges, and to properly enforce the provisions of the IDDE Program.
Changes were made to the Town of Matthews' and Mecklenburg County's ordinances effective
February 12, 2018 and May 21, 2020, respectively. Enforcement procedures and Notice of
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Violation shells, etc. were changed to correspond to the new ordinance requirements. A list of
the major changes is provided below.
1. All Sections: Various wording changes were made throughout the document without
changing the regulatory requirements or overall intent of the ordinance.
2. Definitions: Definitions were added and changed as necessary in Section 4 to support
ordinance revisions.
3. Prohibitions, Accidental Discharge(s): Accidental discharges were added as a violation
of the ordinance.
4. Prohibitions, Use of High PAH Pavement Products Prohibited: The use of pavement
products with greater than 0.1 % polycyclic aromatic hydrocarbons (PAH) by weight on
an asphalt or concrete surface was added as a violation of the ordinance.
5. Prohibitions, Obstruction: Obstructing, hampering, or interfering with county personnel
carrying out official duties authorized by this ordinance was added as a violation.
6. Prohibitions, Allowable Incidental Discharges of Non -Storm Water: The following
allowable discharges were added: diverted stream flows; and flows from riparian
habitats and wetlands. Swimming pool and hot tub discharges continue to be allowed
provided they do not contain chlorine, bromine, salt, or any other treatment chemicals.
Backwash discharges from swimming pools and hot tubs and saltwater pool discharges
are identified as prohibited in the revisions. Single-family and charity vehicle washing
continues to be allowed; however, designated vehicle wash areas at multi -family
residential complexes are identified as prohibited in the revisions if they connect,
directly or indirectly, to the stormwater system or the waters of the state. In addition, the
revisions specify that charity vehicle washing performed by the same organization or at
the same location on a routine basis (more than one time in a thirty -day period) is not
allowed.
7. Powers and Authority for Inspection, Search Warrants: The revisions added a provision
for obtaining a search warrant to conduct inspections to the extent permitted by law.
8. Enforcement and Penalties, Remedies Not Limited: The revisions add a provision that
the remedies provided in the ordinance are not exclusive and may be combined with any
other remedies authorized by law.
9. Enforcement and Penalties, Notice of Violation: The revisions add a provision that any
person who violates the ordinance, or allows a direct or indirect, act or acts which
causes a violation of the ordinance will be issued a written notice of violation. The
specific content of the notice is also described as well as how it will be served.
10. Enforcement and Penalties, Civil Penalties(c): The revisions clarify that a civil penalty
may be assessed for the time period from the date the violation first occurs until the date
that the violation ceases as verified by staff. The revisions also indicate that penalties
may be assessed concurrent with a notice of violation when staff are hampered or
obstructed from carrying out official duties; a repeat or continuing violation has
occurred; and/or there is a willful or intentional violation of the ordinance. In addition,
the revisions add the following factors for inclusion in determining the amount of a civil
penalty: knowledge of the requirements by the violator and/or reasonable opportunity or
obligation to obtain such knowledge; and technical and economic reasonableness of
reducing or eliminating the violation.
11. Enforcement and Penalties, Compliance Agreement(gh The revisions add a provision
for the use of a Compliance Agreement as a remedy to obtain compliance.
12. Enforcement and Penalties, Compliance Order(f): The revisions add a provision for the
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use of a Compliance Order to obtain compliance.
13. Enforcement and Penalties, Cease and Desist Order(): The revisions add a provision
for the use of a Cease and Desist Order to obtain compliance.
14. Enforcement and Penalties, Withholdingof f Inspections, Permits, or Other Approvals(h):
The revisions add a provision for withholding inspections, permits, and other approvals
as a means for obtaining compliance.
15. Enforcement and Penalties, Abatement by the County: The revisions include specific
information regarding the process for abatement of violations by the County when the
violator fails to comply.
16. Enforcement and Penalties, Emergencies: The revisions include provisions for
immediate cessation and abatement of violations when there is an immediate threat to
public health, safety or the environment.
17. Enforcement Remedies and Penalties, Injunctive Relief. The revisions include a
provision for obtaining injunctive relief through the courts as an added compliance
measure.
On August 25, 2020, changes were made to the Town of Davidson's ordinance to ban the use of
pavement products with greater than 0.1 % polycyclic aromatic hydrocarbons (PAH) by weight,
which is the same as the ban in Mecklenburg County's and Matthews' ordinances described in
#4 above. On January 26, 2021, the other 16 changes listed above were made to Davidson's
ordinances. Enforcement procedures and Notice of Violation shells, etc. were changed to
correspond to the new ordinance requirements.
During the week of April 26, 2021, the State audited Mecklenburg County's Phase II Permit.
During this audit, it was determined that the Town of Mint Hill had annexed area in Union
County since the original adoption of Mecklenburg County's Surface Water Pollution Control
Ordinance and Mint Hill's resolution in 2004, which raised the question as to whether a
separate ordinance was necessary for Mint Hill as was done for Davidson in 2004. The County
Attorney in 2004 who decided that a separate ordinance was necessary for Davidson has since
retired. The new County Attorney, Tyrone Wade, was consulted. In an email dated April 29,
2021, Mr. Wade concluded that the resolution adopted by Mint Hill in 2004 granted authority to
Mecklenburg County to enforce its ordinance "within the Town corporate limits" with no
differentiation as to which County these corporate limits are located. Therefore, Mr. Wade
concluded that a separate ordinance was not necessary because Mecklenburg County's
ordinance was enforceable in the corporate limits of Mint Hill in Union County by way of the
Town's resolution. The same determination was made by Kevin Bringewatt, Mint Hill's
attorney. This information was provided to the State auditor who was accepting of the
determination.
Copies of the above ordinances are available on the following website:
hitp:Hstonnwater.charmeck.org (select "Regulations", select jurisdiction, select "Stormwater
Pollution Control").
7.6 Enforcement
Enforcement guidance and procedures were developed and became effective at the same time as
the ordinances described in Section 7.5. These procedures include guidelines on when a notice
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of violation is to be issued and the proper sections of the ordinance to cite. The procedures also
provide guidance on the assessment of penalties. All appeals to the ordinances are heard by
SWAC except in the Town of Matthews where appeals are heard by their Environmental
Committee. Further information regarding the implementation of the ordinances and
enforcement actions is contained in CMSWS's IDDE Manual available at the following website:
hgp:Hstormwater.charmeck.org (select "Regulations", select "Mecklenburg County", select
"Manuals & Guidelines", select "Illicit Discharge Detection & Elimination Policies and
Procedures").
7.7 Detection and Elimination
CMSWS's IDDE Manual describes the actions taken to identify and eliminate illicit discharges,
which includes the following four (4) primary steps:
1. Identify priority areas likely to have illicit discharges.
2. Confirm the presence of an illicit discharge.
3. Track the discharge to its source.
4. Eliminate the source.
The following subsections briefly describe these four (4) components of the IDDE Program.
More detailed information is provided in CMSWS's IDDE Manual.
7.7.1 Identifying Priority Areas
Priority areas with a higher likelihood of illicit discharges are typically identified through:
1. Citizen requests for service regarding potential water quality problems.
2. Total number and location of Notice of Violations issued.
3. Routine water quality monitoring activities.
4. Volunteer activities.
5. GIS mapping.
7.7.1.1 Citizen Requests for Service
CMSWS has an ongoing public education campaign focusing on illicit discharges and
connections for the purpose of increasing public awareness and reports from citizens of
suspected problems. This campaign informs residents how to identify illicit discharges and
connections, how they negatively impact their quality of life and what they can do to eliminate
them, including proper reporting to the 311 stormwater helpline. A broad range of media outlets
have been utilized in this campaign, including television, radio and print. Efforts have been
highly successful as indicated by the increase in the number of reports received from citizens
regarding suspected illicit discharges. CMSWS considers its responses to these citizen reports or
service requests to be of the utmost importance not only from a customer service standpoint, but
also because this is how most illicit discharges and connections are identified. All staff members
receive annual training regarding responses to service requests and proper customer service.
All service requests are forwarded to Supervisors immediately following receipt. To ensure an
effective and efficient response, Supervisors place all service requests into one of the following
three (3) categories based on the type of response required:
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Category 1: Health / Safety Threat
Category 2: Spill / Illegal Discharge / Water Quality Violation
Category 3: Request for Assistance / Information (non -emergency)
Category 1 service requests are considered a threat to the health and safety of the public and are
given the highest priority. They are always responded to as soon as possible upon receipt and
often include involvement by a Supervisor working closely with field staff. Examples of
Category 1 service requests are as follows:
1. Sewage or other pollutant discharge to a known swimming area.
2. Sewage or other pollutant discharge to a playground or other areas where people could
easily come in contact with pollutants.
3. Discharge of pollutant near a drinking water intake.
Category 2 service requests include spills, illegal discharges and water quality violations and are
also considered to be a high priority. They are responded to within two (2) hours of receipt since
they may easily progress to a Category 1. Examples of Category 2 service requests are as
follows:
1. Any active discharge of pollutants such as sewage and fuel spills.
2. Numerous dead fish in creek.
3. Someone currently in the act of violating a water quality regulation.
4. Request from Fire or Police to respond.
Category 3 service requests include requests for assistance and information that are non -
emergency in nature and do not require immediate attention. These service requests are
responded to as soon as possible, but never any later than two (2) workdays from the receipt of
the request. Examples of Category 3 service requests are as follows:
1. Disturbance has occurred in a stream buffer.
2. Request for water quality data.
3. Someone has routinely dumped oil on ground.
4. XYZ Company may be disposing of waste illegally.
For all responses to citizen requests for service, staff ensure that all pollution sources are
eliminated, negatively impacted areas are restored, and the necessary actions taken to prevent
recurrence, including the distribution of educational information. If violations of water quality
ordinances are observed, a notice of violation will be issued (approximately within two business
days) and a compliance deadline will also be established. Staff follow up to ensure compliance
by this deadline. In many cases, the violator is required to submit written notification of the
actions undertaken to achieve compliance and prevent recurrence. Responses to citizen requests
for service are overseen by Supervisors and documented in Cityworks. All documentation is
reviewed and approved by Supervisors prior to closing.
More information regarding responses to citizen requests for service is provided in the Illicit
Discharge Detection and Elimination (IDDE) Manual located at the following website:
hgp:Hstormwater.charmeck.org (select "Regulations", select "Mecklenburg County", select
"Manuals & Guidelines", select "Illicit Discharge Detection & Elimination Policies and
Procedures").
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7.7.1.2 Routine Water Quality Monitoring Activities
The monitoring activities performed by CMSWS for identifying priority areas for illicit
discharges include fixed interval monitoring and the use of a Continuous Monitoring and Alert
Notification Network (CMANN). Samples for fixed interval monitoring are collected by hand
(grab samples) on the second Tuesday of each month at 10 designated stream monitoring sites as
shown in Figure 9. At each stream monitoring site, samples are collected and analyzed for 17
water quality parameters as follows: ammonia -nitrogen, fecal coliform bacteria, total kjeldahl
nitrogen, nitrate/nitrite, total suspended solids, total phosphorus, enterococcus, e. coli, turbidity,
suspended sediment, magnesium, calcium, hardness, and copper (dissolved). Lead (dissolved),
chromium (total), and zinc (dissolved) are collected in the first month of each quarter. The
primary purpose of the fixed interval monitoring program is to assess the general water quality
conditions of the streams and to identify potential pollution problems at the watershed scale.
CMANN data is collected on a fixed time interval (usually every hour) using automated
equipment set-up at seven (7) designated stream monitoring sites as shown in Figure 9,
excluding MY14, MC36, MC2, MC2A1, MC3E, and MC40C. CMANN is used to measure
turbidity, pH, temperature, conductivity, and dissolved oxygen. All data is stored in a data
logger and transmitted via a wireless modem for display on the CMANN website at
https:Hcmann.mecknc.gov/. The primary purpose of the CMANN monitoring program is to
assess water quality conditions for overall watershed health and identify pollution problems.
All data from the above monitoring activities is delivered electronically to a Quality Assurance
and Quality Control (QA/QC) Officer (position title is Environmental Analyst) with CMSWS,
who is responsible for the compilation, review, verification, validation, and warehousing of all
water quality monitoring data products. Immediately upon receipt of this data, the QA/QC
Officer identifies all exceedances of local Watch/Action Levels and State water quality
standards. Within one workday from receipt of the data, the QA/QC Officer reports all observed
exceedances to Supervisors who establish the area upstream of the sample location as a priority
for the identification of illicit discharges. The Supervisor assigns all priority areas to staff for the
initiation of immediate follow up actions for the purpose of identifying and eliminating pollution
sources and restoring water quality conditions.
:A
' Charlotte Mecklenburg
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Figure 9: Phase II Stream Monitoring Sites
In addition to exceedances of local Watch/Action Levels and State water quality standards,
CMSWS uses an index of water quality conditions referred to as the Stream Use Support Index
or SUSI to identify areas with negatively impacted water quality conditions and a high likelihood
of illicit discharges (see Figure 10). These are areas where water quality conditions are on the
decline but may not be degraded enough to trigger a follow up for an Action or Watch Level
exceedance as described above. SUSI includes five (5) broad categories of parameters that were
determined to be the most important indicators of pollution in Charlotte -Mecklenburg. These
five (5) categories, which are called sub -indices, are as follows:
1. Bacteria (Fecal Coliform Bacteria)
2. Metals (Copper, Zinc, Lead and Chromium)
3. Biological (Macroinvertebrate and Habitat)
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4. Physical (Turbidity, Dissolved Oxygen, Temperature, and pH)
5. Nutrients (Total Phosphorus and Chlorophyll -a)
FY2022 Quarter 4
No Data
- Degraded
Impaired
Partially Supporting
Supporting
MY12B
17
Based on -
Fecal Coliform, Metals, Phosphorus, Physical
Parameters and Biological f Habitat Monitoring
in Charlotte -Mecklenburg
C7urlaifa,llaaUen6urg
STORM
-. V ATE�in
Figure 10: Stream Use Support Index (SUSI) Map (April through June 2022)
SUSI also incorporates data collected over three (3) time horizons, including short term (data
from the current month), middle term (data from the past 10 to 12 months) and long term (data
from the past 1 to 2 years). SUSI rates water quality conditions across Mecklenburg County
using data collected over these time horizons and displays these conditions in a color -coded map
as either Supporting, Partially Supporting, Impaired or Degraded as shown in Figure 10. The
QA/QC Officer previously described generates SUSI maps quarterly and provides them to the
Supervisors who consider areas identified with Impaired and Degraded conditions as priority
areas for illicit discharges or other pollution problems. The Supervisors consider other data and
information available to them in assigning these priority areas to staff for the initiation of follow
up actions for the purpose of identifying and eliminating pollution sources and restoring water
quality conditions.
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Additional detail regarding water quality monitoring activities is available on CMSWS's
website: http://stormwater.charmeck.or2 (select "Surface Water Quality", select
"Monitoring").
7.7.1.3 Volunteer Activities
CMSWS has three (3) volunteer programs that contribute toward the identification of priority
areas with a higher likelihood of illicit discharges, including Adopt -A -Stream, Storm Drain
Marking and Volunteer Monitoring. The objective of these programs is to engage the citizens of
Charlotte -Mecklenburg in activities for protecting and restoring surface water resources,
including the identification illicit discharges. Typically, volunteers will report to the volunteer
coordinator the potential presence of an illicit discharge. This report is forwarded to a
Supervisor who will schedule staff activities to confirm the presence of an illicit discharge as
described in Section 7.7.2.
7.7.1.4 GIS Mapping
CMSWS utilizes GIS mapping capabilities to identify priority areas for illicit discharges.
CMSWS maintains all its water quality data and information, including Work Plan assignments,
activity/inspection reports, asset information, etc., in its Environmental Data Management
System (EDMS). EDMS contains multiple databases, including Cityworks that is used for GIS
mapping, citizen requests for service, and activity and inspection reports. Cityworks is a work
management tool built around the use of ESRI's GIS environment, which tracks activities based
on identified features referred to as assets. CMSWS has incorporated numerous GIS asset layers
into Cityworks that are useful in prioritizing areas for illicit discharges. Figure 11 provides a
screen shot from Cityworks with the GIS asset layers activated for the Phase II storm water
inventory. The green dot in the center indicates the location of a suspected water quality
problem reported through the receipt of a citizen request for service that has been geocoded into
Cityworks. Staff can access GIS asset layers using the "Legend" tab in Cityworks, which is used
for prioritizing specific locations for illicit discharges. This is one of the many techniques
available to staff for identifying pollution sources using GIS.
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4 " ► Retrofits
�r
• ► Facility Inspections
/ ►Mitigation Projects
► Phase I Outfalls
•
► Phase 11 Outfalls
~ -Phase 11 Storm Water Inventory
8
• 8 I Inlet
S , . Outfall
• Major Outfall
+ \ ► Tree Planting Sites
►BMP
► BMP Project
► Six Mile Basin
•
' ► Town Boundaries
• r ► Watershed Boundaries
► Charlotte Water
► City Stormwater
Figure 11: GIS Map Available Through Cityworks for Prioritizing Areas for Illicit Discharges
7.7.2 Confirming the Presence of an Illicit Discharge
Once a priority area for an illicit discharge source is identified as described in Section 7.7.1,
follow up field screening activities are performed to confirm the presence of an illicit discharge,
including but not limited to:
• Illicit Discharge Elimination Program (IDEP).
• Short Term Monitoring.
• Hot Spot Investigations.
• Stream Walks.
• Facility Inspections (including conducting inspections of vehicle maintenance facilities).
• Dry Weather Flow Investigations.
For the field screening activities described above, staff ensure pollution sources are eliminated,
negatively affected areas are restored, and necessary actions are taken to prevent recurrence. This
can be accomplished through the distribution of educational information and/or enforcement. If
violations of water quality ordinances are observed, notices of violation are issued within two (2)
workdays of detection and a compliance deadline is established. Staff follow up to ensure
compliance by this deadline. In many cases, the violator is required to submit written
notification of the actions undertaken to achieve compliance and prevent recurrence. All
activities are overseen by Supervisors and documented in Cityworks. All documentation is
reviewed and approved by the Supervisor prior to closing.
7.7.2.1 Illicit Discharge Elimination Program (IDEP)
IDEP involves investigating select locations in identified priority areas to confirm illicit
discharges using visual observations. An example is as follows:
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A Supervisor identifies a priority area for an illicit discharge from the receipt of a citizen request
for service and assigns to staff for follow up action. Staff s investigation does not reveal a
pollution problem during the inspection. However, based on information provided by the citizen,
staff determines there is a high probability for an intermittent discharge which may warrant
additional investigation of the area. One option available to the Supervisor for confirming the
discharge is to establish an IDEP run in the area. This is accomplished by assigning staff to
perform visual observations at specific intervals in the area, such as bridge crossings, on a short
term, frequent schedule to confirm the presence of a discharge. This is particularly effective for
discharges that are detectable using human senses such as a sewer overflow and surfactants from
vehicle washing. Once the discharge is confirmed and the source identified, the IDEP activities
are discontinued.
Industrial inspections are performed in the Phase II jurisdictions by CMSWS through IDEP.
Every fiscal year CMSWS selects a minimum of six (6) industrial facilities for inspection based
on their potential to pollute. Most inspections are performed at the industrial facilities included
in Table 7. Inspections are conducted and reports generate in accordance with established SON
that are available upon request to the Environmental Manager with the Water Quality Program.
Follow up actions are implemented as necessary to identify and eliminate pollution sources
identified through these inspections.
Facility inspections are performed in the Phase II jurisdictions by CMSWS through IDEP. A
common target for these inspections is the multi -family residential complex with a private sewer
collection system that has a history of poor maintenance and sewer spills. CMSWS will conduct
inspections of these systems through IDEP to identify and eliminate sewer discharges and ensure
proper system maintenance. The complex is thoroughly inspected for active sewer discharges
and signs of previous overflow problems such as limed areas, toilet paper, etc. Corrective
actions are implemented as necessary to ensure that all problems are corrected, and the system is
properly maintained to prevent recurrence.
7.7.2.2 Short Term Monitoring
Short term monitoring involves monitoring select parameters at specific stream locations and/or
stormwater outfalls in identified priority areas to confirm illicit discharges. An example is as
follows:
A Supervisor identifies a section of stream as a priority area for illicit discharges as a result of an
Action Level exceedance from a fixed interval monitoring run. One option available to the
Supervisor is to establish Short Term Monitoring along the stream section to confirm the
presence of a discharge. This is accomplished by identifying sample collection locations along
the stream and assigning staff to monitor these locations for select parameter(s) using field
and/or laboratory analyses on a short term, frequent schedule. This is particularly effective for
discharges that are typically not detectable using human senses such as discharges of organics or
metals. Once the discharge is confirmed and the source identified and eliminated, the monitoring
activities are discontinued.
7.7.2.3 Hot Spot Investigations
Hot spot investigations are performed at a select stream location, stormwater outfall, sewer
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manhole, lift station, etc. with a history of problems in priority areas to confirm illicit discharges
using visual observations. Hot spot investigations are similar to IDEP runs except they involve
investigations of a single location as opposed to IDEP which usually incorporates multiple
locations.
7.7.2.4 Stream Walks
This activity involves walking an entire stream reach in identified priority areas to confirm illicit
discharges using visual observations and monitoring activities. Streams walks differ from IDEP
and hot spot investigations because the entire stream reach is inspected as opposed to select
locations along the reach. In addition, hot spot and IDEP investigations can involve locations
other than streams such as a parking lot or a business corridor. CMSWS is on a schedule to walk
all perennial streams in the Phase II jurisdictions within a rotating five (5) year time frame. Hot
spot stream segments are walked on a more frequent basis.
7.7.2.5 Dry Weather Flow Investigations
Dry weather flow investigations involve inspecting stormwater outfalls after a minimum of 72
hours of no measurable rainfall and identifying dry weather flows. The sources of such flows are
typically either groundwater infiltration into the storm drainpipe, lawn watering, air conditioning
condensate or an illicit discharge. CMSWS utilizes various data and information to identify
areas where there is a high potential for illicit discharges. Staff are assigned to perform outfall
inspections in these areas. During these inspections, data is collected and recorded in a GIS
application in accordance with established procedures. Immediately following the identification
of dry weather flows, efforts are undertaken by CMSWS to confirm an illicit discharge. Staff
will physically observe the discharge for pollutant indicators such as discoloration, odor, solids,
etc. and perform water quality monitoring for select parameters, including temperature, dissolved
oxygen, conductivity, pH, fecal coliform bacteria, total phosphorus, and flow. Follow up actions
are implemented as necessary to ensure that all pollution sources are eliminated, and recurrence
prevented.
7.7.3 Tracking the Source of an Illicit Discharge
Once an illicit discharge has been confirmed, follow up procedures are performed to track the
discharge to its source, including but not limited to:
• Record Reviews.
Inspections.
Monitoring.
7.7.3.1 Record Reviews
CMSWS staff reviews available records and information to assist in the identification of
potential pollution sources, including digital information available through EDMS and the
Mecklenburg County Property Ownership Land Records Information System (POLARIS) as
well as other available data sources. The GIS capabilities of EDMS are a valuable component of
this review process.
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7.7.3.2 Inspections
An on -site inspection is conducted of the area, including upstream and upstream of the
confirmed illicit discharge to identify the source. During these inspections, visible observations
are often the best technique for source confirmation. In some cases, visual observations will
isolate the discharge to a storm drain or sanitary sewer system. It is then necessary to inspect
these systems to identify the specific source of the discharge. Standardized methods for source
identification are often employed during these inspections, including but not limited to dye
testing, smoke testing, and pipe videos.
7.7.3.3 Monitoring
If inspections and visual observations are unsuccessful at identifying the pollution source, water
quality monitoring techniques are typically employed. Staff typically use field monitoring
equipment such as a YSI Multiprobe to perform this monitoring provided the pollutant can be
tracked with a parameter measured by the unit, including pH, temperature, dissolved oxygen,
conductivity, and turbidity. If laboratory analyses are required to identify the pollution source,
the parameters selected are dependent on the suspected source. This can include fecal coliform
bacteria for a suspected sewer discharge, total petroleum hydrocarbons (TPH) for a fuel leak, and
toxic metals and organics for an industrial discharge. Whether the YSI Multiprobe unit is used
or laboratory samples collected, the objective with monitoring is to continually narrow the search
area until the source is confirmed.
7.7.4 Procedures for Removing the Source of the Illicit Discharge
Once the source of an illicit discharge has been confirmed, investigative activities will be
conducted by CMSWS staff for eliminating the source and stopping the discharge. This process
may include the issuance of a written notice of the violation for the applicable Stormwater
Pollution Control Ordinance (see Section 7.5) to the party responsible for the discharge. The
notice requires that the responsible party discontinue the discharge, take action to prevent
recurrence, and restore all impacted areas. Staff conducts follow up activities to ensure
compliance. Failure to comply could result in the assessment of civil penalties. The use of form
letters and shell documents are included in the process.
7.7.5 Documentation
CMSWS uses Cityworks' Service Request and/or Activity Report forms to track all
investigations and document the following:
1. Date(s) the illicit discharge was observed.
2. Results of the investigation.
3. Notices of violation issued, and enforcement actions taken.
4. Chronic violators for initiation of actions to reduce noncompliance.
5. Storm sewers inspected and dry weather flows identified.
6. Follow-up investigations.
7. Date the investigation was closed.
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All documentation is reviewed and approved by a Supervisor prior to being closed in the system.
GIS is integrated into the Cityworks database thus adding a very useful spatial component to data
entry and retrieval. This is illustrated in Figure 12, which is a screen shot from Cityworks
showing the locations of the 225 notices of violation issued in Mecklenburg's Phase II
jurisdictions from July 1, 2020 to June 30, 2022. Data is available for each location with a click
of the mouse over the dot. Many search options are available in Cityworks using this
information. The application is also available for use in the field using a mobile device.
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Figure 12: Notices of Violation Issued from 7-1-2020 through 7-1-2022
7.8 Outreach
CMSWS has developed and implemented a public outreach program to inform public
employees, businesses, industries, and the general public of the hazards associated with illicit
discharges and improper disposal of wastes. This outreach campaign includes instructions for
properly reporting these problems to CMSWS. Television and radio ads, as well as social media,
handouts and brochures are the primary outreach mechanisms. Handouts and brochures have
been developed and are typically distributed during the performance of facility inspections, when
responding to citizen request for service, and at event displays. This public outreach campaign
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for the IDDE Program is conducted by an Environmental Specialist III with CMSWS and is
included as a component of the Outreach Program described in Section 5.4.
Problem businesses and industries that have a history of illicit discharges are informed of the
threat to the environment from these discharges as well as the requirements of the Stormwater
Pollution Control Ordinance(s) through the use of "Environmental Notices." These notices are
distributed by staff when responding to citizen requests for service, conducting facility
inspections and performing other field activities.
At a minimum of once during each five (5) year Permit term, CMSWS provides training to
appropriate municipal staff, who, as part of their normal job responsibilities, may come into
contact with or otherwise observe an illicit discharge or illicit connection to the storm sewer
system. This training informs staff of the threat to the environment from these discharges and
the proper reporting process as well as the requirements of the Stormwater Pollution Control
Ordinances. By February 16, 2022, field staff in the following Mecklenburg County programs
were requested to complete this training: Air Quality, Code Enforcement, Solid Waste,
Environmental Health, Social Services, Parks and Recreation, GIS, Assessor Office, and the
Sheriff's Office. The following employees at the Towns, CPCC and CMS were requested to
complete this training: maintenance workers, firefighters, policemen, public works and utility
workers, and parks and recreation. During the permit term, 393 employees in the above
departments and towns completed this training. This satisfied the IDDE municipal staff training
requirement for the Permit term ending February 16, 2022. The second round of training will be
completed prior to end of the next Permit term on February 20, 2027.
7.9 Decision Process
The IDDE Program for the Mecklenburg County Phase II jurisdictions/entities rely primarily on
public involvement and participation as well as data collected through water quality monitoring
activities and field investigations to identify priority areas for illicit discharges. Standardized
follow up field screening activities are employed in these identified priority areas to confirm
pollution sources, which are eliminated through the enforcement of the local Stormwater
Pollution Control Ordinances. The decision process followed in the development of this
approach included an examination of techniques used successfully in the past by CMSWS for the
identification and elimination of pollution sources as part of the City of Charlotte's Phase I
Program. Public involvement has always played a key role in the identification of problem
areas. The outreach campaign included as part of the program is designed to increase public
awareness of water quality issues and inform them of the correct process for reporting suspected
pollution problems.
CMSWS water quality monitoring activities have been performed in the Phase II jurisdictions for
over 25 years and they have proven successful at identifying water quality problem areas. This
ongoing monitoring effort was expanded for the Phase II Permit. This expanded monitoring
program includes the use of continuous automated water quality monitoring equipment. Water
quality monitoring data is summarized using the Stream Use Support Index or SUSI at least
quarterly and is used by CMSWS staff to target/direct pollution control activities.
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Another tool that has proven effective in the implementation of Charlotte's Phase I Program and
thus has been applied in the Phase II Program areas is the enforcement of local Stormwater
Pollution Control Ordinances. CMSWS has found these ordinances to be an effective tool for
the elimination of pollution sources and for deterring future violations.
The storm sewer mapping effort has assisted in the implementation of the IDDE Program by
providing a thorough examination of the inlets and outlets to the MS4s as well as identifying dry
weather flows, both of which have led to the elimination of pollution sources. The availability of
storm sewer maps and other data in GIS through the Cityworks database has facilitated the
tracking of discharges to their source.
The selection of CMSWS staff for the execution of the measurable goals associated with the
IDDE Program is based on their familiarity with the identification and elimination of pollution
problems as well as their expertise in the enforcement of pollution control ordinances.
7.10 Program Evaluation
The measurable goals for each BMP are described in Table 18. The overall success of the IDDE
Program is evaluated through the successful achievement of these measurable goals as reported
with each NPDES MS4 annual assessment report. At a minimum, the following metrics are
included in this annual report:
• Number of inlets and outlets identified.
• Types of water quality monitoring performed, and summary of criteria exceeded.
• Number of field screenings completed for non-stormwater flows.
• Number of illicit discharges detected and eliminated.
Other measures of success for the IDDE Program are described below.
• Documentation of Stormwater Program Activities — As a baseline measure of success,
staff will document the completion of Work Plan activities that demonstrate the
successful fulfillment of the BMPs associated with this program element. All activities
will be documented in CMSWS's Cityworks database.
• Increasing Pollution Problems Identified — CMSWS will track the ratio of the number of
notices of violation issued to the number of IDDE inspections conducted with an increase
from the average percentage of the previous three (3) fiscal years serving as an indicator
of the success of our efforts to find and eliminate pollution sous.
• Repeat Violators Minimized (added in FY2021) — CMSWS will track the percentage of
the number of notices of violation issued to repeat violators with a decrease from the
average percentage of the previous three (3) fiscal years serving as an indicator of the
success of our efforts to reduce the number of repeat offenders.
On an annual basis, CMSWS staff will evaluate the BMPs assigned to this program and assess
progress toward achieving the measurable goals from Table 18 and the measures of success
described above. Recommendations for improvement will be made as necessary. During the
following fiscal year, program activities and BMPs will be modified as necessary based on the
results of this evaluation in order to ensure that the specific goals and objectives of the IDDE
Program and SWMP are being effectively and efficiently fulfilled.
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SECTION 8: CONSTRUCTION SITE RUNOFF CONTROL PROGRAM
Construction Site Runoff Control Programs have been developed and are currently being
implemented for addressing the discharge of sediment and other pollutants from construction
sites in Mecklenburg County 's Phase II jurisdictions that disturb one or more acres of land
surface and those activities less than one acre that are part of a larger common plan of
development as authorized under the Sediment Pollution Control Act of 1973. These are
delegated programs under NCGS I I3A-60. CMSWS's Permitting and Compliance Program
administers the program for the County and Towns of Davidson, Cornelius, Matthews, Mint Hill,
and Pineville. In November 2019, the Town of Huntersville received delegated authority from
the State to administer a local erosion control program in their jurisdiction. The Town of
Huntersville coordinates with the County in the completion of the activities associated with the
Construction Site Erosion Control Program described in this Section. Kevin Fox, Public Works
Director, serves as the responsible party for compliance with the Permit requirements for the
Construction Site Storm Water Runoff Control Program in the Town of Huntersville. His
contact information is as follows: 704-766-2220 and kfox(d),huntersville.org.
8.1 Program Goals and Objectives
CMSWS's establishes its goals and objectives for its Construction Site Runoff Control Program,
which are evaluated and updated annually as necessary, based on the actions necessary to
effectively address the targeted pollutants and pollutant sources identified in Table 9. The
current goal of the Construction Site Runoff Control Program is to reduce pollutants in
stormwater runoff from construction activities that result in a land disturbance of greater than or
equal to one acre. Construction activities disturbing less than one acre are included in the
program if they are part of a larger common plan of development or sale that would disturb one
acre or more. The current objectives of the program are as follows:
1. Implement and enforce a program to ensure the proper permitting, installation and
maintenance of erosion control measures in compliance with local ordinances as well as
the N.C. Sediment Pollution Control Act of 1973 and Chapter 4 of Title 15A of the North
Carolina Administrative Code.
2. Ensure the proper control of waste at construction sites to prevent illicit discharges and
negative impacts to surface water quality, including but not limited to discarded building
materials, concrete truck washout, chemicals, litter, and sanitary waste.
3. Provide and promote a means for the public to notify the Permitting and Compliance
Program of observed erosion and sedimentation problems.
4. Educate contractors, developers and others engaged in land disturbing activities in the
proper methods for installing and maintaining erosion control measures and preventing
pollutants from discharging from construction sites.
8.2 BMP Summary Table
Table 19 describes the BMPs implemented as part of the Construction Site Runoff Control
Program.
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Table 19: BMP Summary Table for the Construction Site Stormwater Control Proj4ram
A B I C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
Construction Site Runoff Control Program (Permit Ref. Part II Section E.1; Part II Section A.4, 5 and 7): Enforce erosion and
sedimentation control ordinances by permitting and controlling development activities disturbing one or more acres of land surface and
those activities less than one acre that are part of a larger common plan of development as authorized under the Sediment Pollution
Control Act of 1973.
#29
CS-1
Enforce Erosion Control Ordinances
(SOPS
Enforce erosion
a. Review and revise Erosion
Annually
Completion
Huntersville
contained
and
Control Policy and Procedure
beginning July 1
status
administers its
in the
sedimentation
Manual and train staff as
own Erosion
Erosion
control
necessary.
Control Program.
Control
ordinances by
County
b. Conduct inspections and
Annually
Completion
Policy &
permitting and
document the date(s)
beginning July 1
status; #
administers a
Procedure
controlling
violations are observed, the
inspections
program for the
Manual)
development
results of investigations, and
other Towns. All
activities
follow up actions conducted
co-permittees
disturbing one
for compliance.
ensure compliance
or more acres of
at their
c. Prepare and issue NOVs and
Annually
Completion
land surface and
initiate enforcement actions
beginning July 1
status; # NOVs;
construction sites.
those activities
in accordance with SOPS.
# enforcements
less than one
Follow up to ensure
acre that are
compliance. Document dates,
part of a larger
locations, names, nature of
common plan of
the violations, and final
development.
resolution. Track NOVs for
identifying chronic violators.
d. Complete annual report
Annually
Completion
detailing activities completed
beginning July
status
and summarizing findings.
1
Include in report for PD-1.
#30
CS-2
Erosion Control Education
(Erosion
Develop and
a. Distribute educational
Annually
Completion
Participate in
Education)
implement an
materials prior to or when
beginning July
status
training as
outreach
conducting pre -construction
1
requested by
program to
meetings and during
CMSWS.
educate
inspection activities as
contractors and
necessary.
b. Implement and
Annually
Completion
land developers
regarding
update/enhance as necessary
beginning July
status; # trained
proper erosion
the Charlotte -Mecklenburg
1
control.
Certified Site Inspector
(CMCSI) Training Program
(program has gone virtual
during the pandemic).
c. Complete annual report
Annually
Completion
detailing activities completed
beginning July
status
and summarizing findings.
1
Include in report for PD-1.
#31
CS-3
Evaluate Effectiveness of the Erosion Control Program
(Evaluate
Evaluate
a. Measure program success
Annually
Completion
Huntersville
Erosion
effectiveness of
using established criteria.
beginning July
status; criteria
provides
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A B I C D
E
County
County Activities
BMP
No.
Work Plan
Description of
Schedule for
Annual
Co-Permittee
Code
BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
Control)
the Erosion
1
measure
information for
Control
b. Recommend improvements as
Annually
Completion
inclusion in
Program.
necessary. Include
beginning July
status
annual assessment
recommendations in report
1
and report.
for PD-1.
c. Implement improvements in
Annually
Completion
the next fiscal year.
beginning July
status
1
8.3 Erosion Control Ordinance
Mecklenburg County has a delegated Sediment and Erosion Control Program and is therefore
responsible for compliance with the Sediment Pollution Control Act of 1973 and Chapter 4 of
Title 15A of the North Carolina Administrative Code. The delegated Sediment and Erosion
Control Program effectively meets the MEP standard for Construction Site Runoff Controls by
permitting and controlling development activities disturbing one or more acres of land surface
and those activities less than one acre that are part of a larger common plan of development as
authorized under the Sediment Pollution Control Act of 1973 and Chapter 4 of Title 15A of the
North Carolina Administrative Code. The regulatory mechanism established for this program is
the Mecklenburg County Soil Erosion and Sedimentation Control Ordinance effective October
21, 1974 and amended 14 times as follows: March 5, 1979, June 16, 1980, April 2, 1984,
October 7, 1985, February 27, 1986, April 21, 1987, December 7, 1987, February 4, 1991, May
10, 1993, February 7, 1995, June 3, 1997, September 6, 2000, May 21, 2002, and October 7,
2008. The County's ordinance is currently enforced by the Permitting and Compliance Program
in the Towns of Cornelius, Pineville and Matthews. The Towns of Davidson and Mint Hill have
their own sediment and erosion control ordinances, which are very similar to Mecklenburg
County's and are also enforced by the Permitting and Compliance Program. The Town of
Huntersville has a similar ordinance that it enforces. These ordinances require an approved
Erosion Control Plan for construction activities that result in the disturbance of greater than or
equal to one acre of land. The ordinances further require that all construction site operators
implement appropriate erosion and sediment control BMPs, including those sites that disturb less
than an acre. Copies of the ordinances are available at the following website:
hgp:Hstormwater.charmeck.org (select "Regulations", select jurisdiction, select "Soil Erosion
and Sedimentation Control"). The Mecklenburg County Soil Erosion and Sedimentation Control
Policies and Procedures describe how ordinances are enforced and the local program is
implemented, including inspection procedures, record keeping requirements, form letters for
notices of violation, and enforcement guidance. A copy of these policies and procedures is
available upon request to the Environmental Manager for Mecklenburg County's Water Quality
Program. The Surface Water Pollution Control Ordinances (see Section 7.5) are used to regulate
pollutants other than sediment that are generated from construction sites and have the potential to
negatively impact water quality such as discarded building material, concrete truck washout,
chemicals, litter, and sanitary waste. Staff inspecting for compliance with soil erosion and
sediment control ordinance also inspect for compliance with the pollution control ordinance.
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8.4 Erosion Control Plan Reviews
Section 6(b) of the erosion control ordinances for Mecklenburg County and the Town of
Huntersville as well as Sections 19.6(b) and 6.7.6(B) of the ordinances for the Towns of
Davidson and Mint Hill, respectively, require an approved Erosion Control Plan for construction
activities that result in the disturbance of greater than or equal to one acre of land. Erosion
control inspectors conduct a site plan review and on -site inspection prior to plan approval.
Sections 10, 19.10 and 6.7.10 of the respective erosion control Ordinances specify the content of
the plan, which includes all BMPs planned for the control of erosion and sedimentation. Staff
with CMSWS's Permitting and Compliance Program reviews all Erosion Control Plans for the
Phase II jurisdictions in Mecklenburg County, except for in the Town of Huntersville where their
staff performs these reviews and government projects which are reviewed by NCDEQ staff.
Reviews are typically completed within 30 days of submittal and the person submitting the plan
is notified as to whether the plan is approved, approved with modifications, or disapproved. The
applicant has the right to appeal the disapproval before the Charlotte -Mecklenburg Stormwater
Advisory Committee. Plan approval is considered void if land disturbing activities do not
commence within three (3) years of the approval date. The Mecklenburg County Soil Erosion
and Sedimentation Control Policies and Procedures describe the process for site plan review,
which incorporates consideration of potential water quality impacts.
8.5 Enforcement
Sections 13, 19.13 and 6.7.13 of the respective erosion control Ordinances specify that any
person who violates any of the provisions of the ordinance is subject to a civil penalty in an
amount not to exceed $5,000 per day for each day the violation continues. The Permitting and
Compliance Program has established guidance in its policies and procedures for setting penalty
amounts for different types of violations. The Stormwater Advisory Committee (SWAC) hears
appeals to enforcement actions. The Mecklenburg County Soil Erosion and Sedimentation
Control Policies and Procedures describe the enforcement process, including procedures for
issuing notices of violation, assessing penalties and handling appeals.
8.6 Inspections
All erosion and sedimentation control inspections in the Phase II jurisdictions are performed by
staff of the Permitting and Compliance Program, except for in the Town of Huntersville and its
ETJ where their staff performs these inspections and government projects which are inspected by
NCDEQ staff. Following plan approval but prior to initiating land disturbing activities and
issuance of a local grading permit, staff conducts a pre -construction meeting involving all parties
associated with the land disturbing activity to ensure that everyone is familiar with the approved
Erosion Control Plan and ordinance requirements. The construction site is evaluated during this
pre -construction meeting and a checklist completed. Following the pre -construction meeting,
erosion control measures are installed by the contractor after which the Permitting and
Compliance Program conducts an inspection to confirm proper installation in accordance with
the approved Erosion Control Plan and ordinance requirements. Following this confirmation, the
inspector issues a local grading permit authorizing grading of the site. Once grading activities
commence, staff perform compliance inspections on a routine interval based on an established
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prioritization scheme. If inspections reveal noncompliance with the approved Plan or other
ordinance violations, a written or verbal notice of violation is issued identifying the violation(s)
and specifying the specific action(s) needed to ensure compliance. Follow up inspections are
conducted to verify compliance after which penalties may be assessed depending on the nature of
the violation and effectiveness of the response. The Mecklenburg County Soil Erosion and
Sedimentation Control Policies and Procedures describe the inspection process and include
inspection logs and checklists.
8.7 Erosion Control Hotline
Mecklenburg County provides a means for the public to notify the Permitting and Compliance
Program of observed erosion and sedimentation control problems in the Phase II jurisdictions
through contacting the 311 helpline as described in Section 5.3. This reporting mechanism is
promoted through the media campaign conducted as part of the Public Education and Outreach
Program. Staff conducts follow up investigations on reported problems and initiates the actions
necessary to ensure proper erosion and sedimentation control and the protection of water quality.
8.8 Erosion Control Education
The Permitting and Compliance Program with CMSWS provides erosion control education
through its "Charlotte Mecklenburg Certified Site Inspector" (CMCSI) course, which includes
six (6) hours of training on proper erosion and sedimentation control and a written test. Section
8(f), 19.8(f) and 6.7.8(F) of the of the respective erosion control Ordinances specify that persons
conducting land -disturbing activities, or their agent perform inspections of all erosion and
sedimentation control measures at least once a week and within 24 hours after any storm event of
greater than 0.5 inch of rain (except Huntersville that uses 1 inch) per 24-hour period. Local
policies and procedures state that the person performing these inspections must be certified and
technically competent and that a self -inspection log must be maintained. Satisfactorily
completing the CMCSI training qualifies a person to perform these activities.
8.9 Government Projects
All government projects within the Phase II jurisdictions are regulated by NCDEQ's Erosion and
Sediment Control Program, which conducts plan reviews, inspections and enforcement activities.
This includes construction activities performed directly by the Phase II entity or by a company
under contract with the entity.
8.10 Decision Process
Construction site pollutants have been successfully controlled in the Phase II jurisdictions
through a locally delegated program for almost 50 years. The Phase II jurisdictions have elected
to continue their reliance on this local program due to its past successes and the improvements
recently brought about through program modifications.
8.11 Program Evaluation
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The measurable goals for each BMP are described in Table 19. The overall success of the
Construction Site Runoff Control Program is evaluated through the successful achievement of
these measurable goals as reported with each NPDES MS4 annual assessment report. At a
minimum, the following metrics are included in this annual report:
• Number of new projects permitted.
• Number of acres disturbed.
• Number of erosion control inspections conducted.
• Number of notices of violation issued.
• Number of penalties assessed.
• Description of educational activities completed.
Other measures of success for the Construction Site Runoff Control Program are described
below.
• Documentation of Stormwater Inspection Activities: As a baseline measure of success,
staff will document completion of inspection activities in CMSWS's Cityworks database.
• Improving CoMpliance: CMSWS will track the ratio of the number of notices of
violation issued to erosion control inspections conducted with a decrease from the
previous fiscal year serving as an indicator of success.
On an annual basis, the Permitting and Compliance Program will evaluate the BMPs assigned to
this program and assess progress toward achieving the measurable goals from Table 19 and the
measures of success described above. Recommendations for improvement will be made as
necessary. During the following fiscal year, program activities and BMPs will be modified as
necessary based on the results of this evaluation in order to ensure that the specific goals and
objectives of the Construction Site Runoff Control Program and SWMP are being effectively and
efficiently fulfilled.
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SECTION 9: POST -CONSTRUCTION SITE RUNOFF CONTROL PROGRAM
A Post -Construction Site Runoff Control Program has been developed and is currently being
implemented for addressing post -construction stormwater runoff from new development and
redevelopment projects in Mecklenburg County's Phase II jurisdictions. The program is
administered by CMSWS's Water Quality and Permitting and Compliance Programs as
described in the following Sections except for in the Town of Huntersville and its ETJ where
effective July 1, 2020 Town staff are responsible for plan reviews and issuing land development
Permits as well as conducting inspections to confirm project completion in compliance with
Permit requirements. Kevin Fox, Public Works Director, serves as the responsible party for
compliance with the Permit requirements for the Post -Construction Site Runoff Control Program
in the Town of Huntersville. His contact information is as follows: 704-766-2220 and
kfoxnhuntersville. org.
9.1 Program Goals and Objectives
CMSWS's establishes its goals and objectives for its Post -Construction Site Runoff Control
Program, which are evaluated and updated annually as necessary, based on the actions necessary
to effectively address the targeted pollutants and pollutant sources identified in Table 9. The
current goal of the Post -Construction Site Runoff Control Program is to prevent or minimize
negative water quality impacts during post -construction conditions at new developments and
redevelopments, including public transportation maintained by the permittee. The current
objectives of the program are as follows:
1. Implement and enforce a program to address stormwater runoff from new development
and redevelopment projects, including public transportation maintained by the permittee,
that disturb greater than or equal to one (1) acre, including projects disturbing less than
one (1) acre that discharge to the storm sewer system.
2. Implement strategies which include a combination of structural and/or non-structural
BMPs appropriate for the community.
3. Use an ordinance or other regulatory mechanism to address post -construction runoff from
new development and redevelopment projects.
4. Ensure adequate long-term operation and maintenance of BMPs. Achievement of this
objective will be measured by a reduction in the number of noncompliant BMPs over
time (see Section 9.13).
9.2 BMP Summary Table
Table 20 describes the BMPs implemented as part of the Post -Construction Site Runoff Control
Program.
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Table 20: BMP Summary Table for the Post -Construction Site Runoff Control Proj4ram.
A B I C D
E
County
County Activities
BMP
No.
Work Plan
Description of
Schedule for
Annual
Co-Permittee
Code
BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
Post -Construction Site Runoff Control Program (Permit Ref. Part II Section F a through i; Part II Section A.4, 5 and 7; Part II Section
G.2.g):Implement and enforce a program to address storm water runoff from new development and redevelopment projects, including public
transportation maintained by the permittee, that disturb greater than or equal to one acre, including projects less than one acre that are part of a
larger common plan of develo ment or sale, that discharge into the small MS4.
#32
PC-1 (PCO
Implement Post -Construction Ordinances
Admin)
Develop,
a. Complete an annual review of
Annually
Completion
CMSWS serves as
implement and
the post -construction ordinances
beginning July
status
the Storm Water
enforce
and the Administrative Manual.
Administrator for all
ordinances that
Document any suggested
Post -Construction
will minimize
changes/updates and follow
Ordinance except
negative water
through to ensure
for Cornelius where
quality impacts
recommendations are
their Zoning
to surface
implemented.
Administrator
waters from
b. Ensure the effective and efficient
Annually
Completion
fulfills this role
post-
implementation of post-
beginning July
status
working with
construction
construction ordinances by
CMSWS.
discharges in
working closely with staff and
accordance with
the development community in
local and State
the use of the Administrative and
regulations.
Design Manuals.
a. Provide interpretations of
Annually
Completion
ordinance requirements as
beginning July
status; #
requested by staff and the
interpretations
general public. Maintain a log of
all interpretations of the
ordinances and a log of all
changes to the Administrative
and Design Manual proposed by
staff.
d. Complete an annual report and
Annually
Completion
provide to the Towns describing
beginning July 1
status
activities completed under this
task for FY2021, including a
summary of the findings and
recommendations from the
annual program assessment.
Include in report for PD-1.
#33
PC-2 (PCO
Post -Construction Ordinance Inspections
inspections)
Conduct site
a. Update/revise the SCM Inspection
Annually
Completion
Huntersville reviews
inspections of
Manual and train staff as
beginning July 1
status
plans, issues permits,
stormwater
necessary.
and conducts
controls
b. Review and approve site plans
Annually
Completion
inspections during
installed for
and issue permits for compliance
beginning July 1
status
construction.
compliance
with ordinance requirements.
CMSWS reviews
with ordinance
Ensure mechanisms are in place
plans, issues permits,
requirements.
for long-term maintenance of the
and conducts
project, including SCMs,
inspections during
consistent with approved plans
construction for the
and ermit requirements. Conduct
other Towns.
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A B I C D
E
County
County Activities
BMP
No.
Work Plan
Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
inspections during construction to
Following
ensure compliance.
construction,
c. Conduct annual inspections of
Annually
Completion
CMSWS administers
SCMs owned by co-permittees
beginning July 1
status; #
an inspection
following construction except for
inspections
program for both
County owned SCMs that are
public and private
inspected and maintained by the
SCMs in
controlling County agency.
Huntersville as well
Require annual inspections of
as the other Towns.
private SCMs. Document the
All co-permittees
date(s) deficiencies are observed,
ensure compliance
the results of investigations, and
for the SCMs that
follow up actions conducted.
they own/maintain.
d. Prepare and issue inspection
Annually
Completion
reports and notices of
beginning July 1
status; #
deficiencies. Track for identifying
deficiencies
chronic maintenance problems.
e. Maintain an inventory of public
Annually
Completion
and private SCMs installed for
beginning July 1
status
compliance with post -construction
ordinances.
f. Verify that Operation &
Annually
Completion
Maintenance (O&M) Plans have
beginning July 1
status
been established and recorded for
SCMs at the time of plan
approval, including municipally
owned and maintained SCMs.
g. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
re ort for PD-1.
#34
PC-3 (PCO
Post -Construction Ordinance Education
education)
Implement a
a. Work with Charlotte Storm Water
Annually
Completion
Participate in
program to
Services to develop a post-
beginning July 1
status
training as requested
educate the
construction ordinance training
by CMSWS.
development
event for the development
community and
community.
b. Conduct training event.
Annually
Completion
the general
public
beginning July 1
status; #
concerning the
trained
c. Complete annual report detailing
Annually
Completion
post-
construction
activities completed and
beginning July 1
status
requirements.
summarizing findings. Include in
re ort for PD-1.
#35
PC-5
Evaluate Effectiveness of the Post -Construction Controls Program
(Evaluate
Evaluate
a. Implement the recommendations
Annually
Completion
Huntersville
PCO)
effectiveness of
for improvement identified in the
beginning July 1
status; criteria
provides information
the Post-
FY2022 annual assessment report.
measure
for inclusion in
Construction
b. Complete a written report
Annually
Completion
annual assessment
Controls
assessing whether the Post-
beginning July 1
status
and report.
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A B C D
E
County
County Activities
BMP
No.
Work Plan
Description of
Schedule for
Annual
Co-Permittee
Code
BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
Program.
Construction Controls Program is
in compliance with Phase II
Permit requirements, including
the provisions of the Storm
Water Quality Management
Program Plan. This assessment
should be based on criteria
contained in the annual Work
Plan.
c. During the September
Annually
Completion
Supervisors' Meeting, provide a
beginning July 1
status
summary of the annual
assessment, including
recommended improvements.
Based on input received, develop
a process forward, including a
schedule for implementation as
necessary. Facilitate changes to
Work Plans to ensure the schedule
is fulfilled.
d. Incorporate the data and
Annually
Completion
information from the annual
beginning July 1
status
assessment into the annual report
to the State and Towns, including
recommendations for
improvement and associated
schedules for implementation.
Include in report for PD-1.
9.3 Post -Construction Stormwater Ordinances
The post -construction stormwater ordinances developed by the Phase II jurisdictions were
reviewed and approved by the State and subsequently adopted effective June 30, 2007. These
regulations meet or exceed the minimum requirements for the control of post -construction
stormwater runoff specified by 40 Code of Federal Regulations 122.34(b)(5) (1 July 2003
Edition). These regulations meet the objectives of the Post -Construction Site Runoff Control
Program and provide the authority to:
1. Review designs and proposals for new development and redevelopment to determine
whether adequate stormwater control measures will be installed, implemented, and
maintained.
2. Request information such as SWMPs, inspection reports, monitoring results, and other
information deemed necessary to evaluate compliance with the Post -Construction
Stormwater Management Program.
3. Enter private property for the purpose of inspecting at reasonable times any facilities,
equipment, practices, or operations related to stormwater discharges to determine whether
there is compliance with the Post -Construction Site Runoff Control Program.
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Administrative and BMP Manuals have been developed and are being maintained by CMSWS to
guide the implementation and enforcement of ordinance requirements. The Administrative
Manual includes application requirements, forms, submission schedules, fee schedules,
maintenance plans and agreements, criteria for mitigation approval, criteria for recordation of
documents, inspection report forms, requirements for submittal of bonds, and other information
and forms used in the administration of the post -construction ordinances. The BMP Manual
includes the designs for structural stormwater controls as well as methods for calculating built -
upon area and other information used in the construction of BMPs required by the ordinances.
Copies of the ordinances as well as the Administrative and Design Manuals, design standards
checklist, and other materials appropriate for developers are available at the following website:
http:Hstonnwater.charmeck.org (select "Regulations", select jurisdiction).
CMSWS's Environmental Manager for the Water Quality Program serves as the Stormwater
Administrator responsible for the implementation and enforcement of the post -construction
ordinances for the Towns and County except for the Town of Cornelius, which uses its Planning
Director to fulfill this role. All appeals and variances are heard by the Charlotte -Mecklenburg
Stormwater Advisory Committee (SWAC), very similar to the process used for the Sediment and
Erosion Control Program described in Section 8. The only exceptions are that the Towns of
Cornelius and Huntersville use their Boards of Adjustment to hear all appeals and variances.
Implementation of the post -construction ordinances consists of the following activities:
1. Maintaining and updating the ordinances as necessary.
2. Providing interpretations regarding the applicability of ordinance requirements to new
developments and redevelopments.
3. Maintaining and updating the Charlotte -Mecklenburg BMP Design Manual as necessary.
4. Maintaining and updating the Administrative Manual as necessary.
5. Performing site plan reviews of all new development and redevelopment projects that
disturb greater than or equal to one acre (including sites that disturb less than one acre
that are part of a larger common plan of development or sale) and performing reviews
on new development and redevelopment that disturb less than an acre as required by
specific ordinance requirements. The site plan review addresses how the project meets
the performance standards and how the project will ensure long-term maintenance.
6. Conducting site inspections during construction to ensure compliance with approved
plans and all ordinance requirements.
7. Conducting a post -construction inspection before issuing a certificate of occupancy to
verify that performance standards have been met or a bond is in place to guarantee
completion.
8. Inspection findings and enforcement actions will be documented, and records maintained.
Notices of violation and enforcement actions will be tracked, and a reporting mechanism
established to identify chronic violators for initiation of actions to reduce noncompliance.
9. Maintaining an inventory of public and private projects with BMPs installed for
compliance with post -construction ordinance requirements.
10. Ensuring that mechanisms are in place to guarantee that projects will be maintained
consistent with approved plans in compliance with ordinance requirements.
11. Ensuring the implementation of long-term operation and maintenance plans for structural
BMPs in accordance with ordinance requirements, including ensuring that the owner of
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each structural BMP has a qualified professional perform annual inspections and
maintains records of these inspections.
12. Conducting site inspections of structural stormwater controls installed for compliance
with ordinance requirements at least once during the Permit term. Records of inspection
findings and enforcement actions are maintained in the Cityworks database. Notices of
violation and enforcement actions are tracked and used to identify chronic violators for
initiation of actions to reduce noncompliance.
13. Implementing a program to educate the development community and the general public
concerning the post -construction stormwater management requirements. Ordinances,
post -construction requirements, design standards checklist, and other materials
appropriate for developers are made available through paper or electronic means.
9.4 Compliance by Co-Permittees with Post -Construction Ordinance Requirements
New developments constructed by or under contract with the Phase II entities are required to
comply with the local post -construction ordinance requirements adopted by the jurisdiction
where the project is located, including the City of Charlotte, Mecklenburg County, and the
Towns of Cornelius, Davidson, Huntersville, Matthews, Mint Hill, and Pineville. New roads and
road expansions interior to land development projects required to comply with post -construction
requirements must adhere to these same requirements regardless of whether these roads will be
privately maintained or maintained by the jurisdiction. For such projects, the built -upon area for
the roads is incorporated into the built -upon area for the project and BMPs are installed as
necessary to comply with ordinance requirements. There are a few exceptions to compliance
with local post -construction requirements for other types of transportation projects as described
in Appendix C.
CMSWS maintains a current inventory of the structural SCMs owned and/or operated by the
Phase II jurisdictions/entities that were installed for compliance with Post -Construction
Ordinances. This inventory is available upon request to the Storm Water Administrator. The
Phase II jurisdictions/entities maintain and implement O&M Plans for these SCMs, which
specify the frequency of inspections and routine maintenance requirements. The Phase II
jurisdictions/entities inspect and maintain their SCMs in accordance with the schedule contained
in the O&M Plan. Plans vary based on SCM type. Sample O&M Plans are available upon
request. To ensure that all structural SCMs are being maintained pursuant to their O&M Plan, all
co-permittees conduct annual inspections of the SCMs that they own and/or operate using a
qualified professional. A qualified professional is either a qualified NC professional engineer or
registered landscape architect performing services only in their area of competence, or someone
who has a valid Stormwater SCM Inspection & Maintenance Certification from NC State
University. All inspections of SCMs are documented on an inspection form and submitted to the
Storm Water Administrator for review and follow up as necessary. These forms are available at
the following link:
hgps://mecklenbur cg ounty.exavault.com/p/waterquality/PCO%2OForms/BMP_Maintenance_Ins
pection_Checklists _PCO21/. For Charlotte -Mecklenburg Schools, Central Piedmont
Community College, and the Towns, these inspections are performed by CMSWS staff.
Inspections of County owned facilities are the responsibility of the Department that manages the
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facility where the SCM is located, including Asset and Facility Management, Park and
Recreation and the Sheriff's Department.
9.5 Requirements for Non -Structural BMPs
The post -construction ordinances include stream buffer and undisturbed open space requirements
as summarized in Table 21, which serve as non-structural BMPs. Prior to the adoption of the
post -construction ordinances, non-structural stormwater controls were in effect in the Phase II
jurisdictions that continue to apply, including zoning ordinances to direct growth to identified
areas. In addition, Mecklenburg County's Park and Recreation Department actively acquires and
maintains open space for parks and nature preserves. This program concentrates on preserving
environmentally sensitive and natural resource areas within the County, including wetlands and
riparian buffers.
Table 21: Non -Structural BMPs Required by Post -Construction Ordinances
Buffer Widths
Undisturbed
Streams
Streams
200-ft on
Open Space
Post-
Requirements
draining <50
draining <50
perennial and
Construction
Based on Project
acres = 30 ft.;
acres = 50 ft.;
intermittent streams
Jurisdiction
Ordinance
BUA
>50 acres = 35
>50 acres =100
inside FEMA
Watershed
_
— 25%'
ft.• >300 acres =
ft. for all
floodplain; 100 ft.
District
24% %;
>>50
50 ft.: >640
intermittent &
on all other
=10
>50 /o =10 /o
acres =100 ft. +
perennial
perennial and
floodplain
streams
intermittent streams
Cornelius
N/A
N/A
X
Catawba
X
X
Davidson
Yadkin
X
X 3 zone buffer
Huntersville
N/A
N/A
X
Catawba
X
X
Matthews
Yadkin
X
X 3
Catawba
1
X
Mint Hill
Yadkin
1
X
Goose Cr.
1
X (undisturbed)
Pineville
N/A
X
2
Mecklenburg
N/A
X
2
(1) <20% BUA = no undisturbed open space is required; >20% BUA = 15%; >50% = 10%
(2) Streams draining <100 acres = 30 ft; >100 acres = 35 ft.; >300 acres = 50 ft.; >640 acres = 100 ft + 50% of
floodfringe.
(3) Buffer also includes 100% of the floodplain and is undisturbed.
Since 1999, buffers ranging in width from 35 feet to the entire FEMA floodplain have been
required along perennial streams in the Phase II jurisdictions. These buffer requirements were
implemented as part of Mecklenburg County's Surface Water Improvement and Management
(S.W.I.M.) Program. The northern Towns of Cornelius, Davidson and Huntersville have
portions of their jurisdictions in WS-IV watersheds and have maintained water supply watershed
rules in their zoning ordinances since the mid-1990s. These rules require buffers ranging from
50 to 100 feet in width along the lake shoreline as well as along perennial streams delineated on
USGS quadrangle maps.
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9.6 Requirements for Structural BMPs
The post -construction ordinances adopted on June 30, 2007 by the Phase II jurisdictions contain
requirements for the installation of structural BMPs to control and treat stormwater runoff to
meet specific volume, peak and water quality requirements when a built -upon area threshold is
reached. These BMPs must meet the design criteria contained in the Charlotte -Mecklenburg
BMP Design Manual. This manual includes design criteria for the following types of BMPs:
bioretention, wet pond, stormwater wetland, enhanced grass swale, grass channel, infiltration
trench, filter strip/woody buffer strip, sand filter, extended dry detention, and proprietary BMPs.
The design volume of the BMPs takes into account the runoff at buildout for on -site
improvements and the maximum low -density option for off -site areas from all surfaces draining
to the structure. BMPs are sized to treat and control stormwater runoff from all surfaces draining
to the structure, including streets, driveways, and other built -upon area. Table 22 provides a
general summary of the structural BMP requirements.
Table 22: Structural BMPs Contained in the Post -Construction Ordinances
Treatment
T
pe
Treatment
Volume
Post-
Runoff
Runoff from pre
Construction
Treatment
Jurisdiction
Ordinance
Threshold
u
85 /0
70% TP
from
minus post
Watershed
(BUA)
TSS
Removal
LID
1st inch
development for
District
Removal
of
1-yr, 24-hr storm
rainfall
Cornelius
N/A
>24%
X
Optional
X
Catawba
>12%
X
X
Optional
X
Davidson
Yadkin
> 10%
X
X
Optional
X
Huntersville
N/A
>12%
Required (2)
X
Catawba
>24%
X
Optional
X
Matthews
Yadkin
> 10%
X
X
Optional
X
Catawba
>24%
X
Optional
X
Mint Hill
Yadkin
>12%
X
Optional
X
Goose Cr.
None (D
X
Required 0)
X
Pineville
N/A
>24%
X
Optional
X
Mecklenburg
N/A
>24%
X
Optional
X
(1) Treatment required for all built -upon area.
(2) A combination of LID and conventional stormwater treatment measures is allowed in the form of a treatment
train.
(3) Water quality treatment systems that promote the infiltration of flows and groundwater recharge (LID) shall be
used unless it can be demonstrated that such treatment systems are not a practical alternative for the site.
Prior to the adoption of the post -construction stormwater ordinances, the installation of structural
stormwater controls was required for developments and redevelopments located in the WS-IV
watersheds in the Towns of Davidson, Cornelius and Huntersville. In addition, beginning on
July 2, 1979 the Phase II jurisdictions required the submission and approval of a drainage plan
for land development activities that involved the cumulative creation of more than 20,000 square
feet of impervious ground cover. This requirement is typically applied to commercial
development but could be applied to residential development at the election of the Town. If the
impervious cover proposed in the plan increased the peak level of stormwater runoff from the
site, then the plan was required to identify measures to control and limit runoff to peak flows no
greater than would occur from the site if impervious area were not increased for the 2-year and
10-year storm events. BMPs installed for compliance with the WS-IV watershed ordinances and
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those BMPs installed for the July 2, 1979 drainage plan requirements are not subject to the post -
construction ordinance requirements for inspection and maintenance. In addition, BMPs installed
for compliance with Huntersville's LID Ordinance prior to June 30, 2007 are not subject to these
requirements.
9.7 Natural Resource Protection
The Division of Nature Preserves and Natural Resources within the Mecklenburg County Park
and Recreation Department is responsible for the protection and conservation of Mecklenburg
County's parks designated as Nature Preserves. Mecklenburg County's nature preserves protect
the county's biological resources and natural areas, while providing opportunities for
environmental education, nature -based programs, and outdoor recreation. The Division of
Nature Preserves and Natural Resources offers more than 5,000 programs annually, performs
natural resource management on over 7,400 acres, maintains more than 30 miles of nature
trails, and operates 3 nature centers and a public campground.
9.8 Open Space Protection
As described in Section 9.5 above, the post -construction ordinances for Mecklenburg County and
the Towns of Davidson, Matthews, Mint Hill, and Pineville require open space preservation
based on project area as described in Table 21. Failure to adequately protect these open space
areas constitutes a violation of the ordinance, which is subject to fines. The Towns of Cornelius
and Huntersville have open space requirements as a Section of their land development code, but
these requirements are not enforced as a component of the post -construction ordinance.
9.9 Tree Preservation
To varying degrees, the Phase II jurisdictions in Mecklenburg County require the planting of
additional trees to enhance the urban tree canopy as well as the protection and maintenance of
trees on public and private property. Street trees are also required. These requirements are
generally contained in Land Development or Zoning Ordinances.
9.10 Green Infrastructure Practices
The post -construction stormwater ordinances adopted by the Phase II jurisdictions contain the
following green infrastructure practices:
1. The use of vegetated conveyances for the transport stormwater to the MEP.
2. The optional use of permeable pavement systems as a structural BMP to help manage
stormwater runoff.
3. The optional use of green roofs as structural BMPs to help manage stormwater runoff.
4. The optional use of consultation meetings early in the development review process to
discuss the post -construction stormwater management measures necessary for the
proposed project, as well as to discuss and assess constraints, opportunities and potential
approaches to stormwater management designs before formal site design engineering is
commenced.
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5. The designation of undisturbed open space areas ranging from 10% to 25% of the total
project area based on the jurisdiction (except in Cornelius and Huntersville) (see Table
21).
6. The protection of buffers ranging in width from 30 feet to the entire FEMA floodplain
depending on the watershed area and jurisdiction (see Table 21).
7. The optional use of low impact development techniques except in the Town of
Huntersville and Goose Creek watershed where it is required (see Table 22).
8. The optional use of payment -in -lieu as well as off -site and on -site mitigation to satisfy
post -construction stormwater ordinance requirements in cases where on -site alternatives
are not technically feasible. These options provide money for tree planting, open space
acquisition, installation of off -site BMPs, etc.
Practices are in place to ensure the long-term maintenance of green infrastructure, including
recording the infrastructure on final plats at the Mecklenburg County Register of Deeds Office
and performing periodic inspections.
9.11 Operation and Maintenance
The Phase Il jurisdictions have included requirements in their post -construction programs to
ensure the adequate long-term operation and maintenance of structural and non-structural BMPs
as summarized below.
1. A BMP Operation and Maintenance Agreement and Declaration of Covenants must be
completed and recorded at the Mecklenburg County Register of Deeds Office for all
structural BMPs. A BMP Maintenance Plan must be included as an addendum to this
agreement. This is a binding legal agreement prepared using the format provided by the
Stormwater Administrator that specifies the responsibilities for performing BMP
maintenance and provides a description of the maintenance activities to be performed,
including a schedule. In addition, the following language must be included on the final
plat for all developments and redevelopments subject to post -construction ordinance
requirements: "This property contains water quality features that must be maintained
according to the Operations and Maintenance Agreement and Plan recorded in Deed
Book and Page "
2. As -built plans are required that show the final design specifications for all structural
BMPs and the field location, size, depth, and planted vegetation associated with the BMP
as installed, as well as the location and size of all undisturbed open space areas and tree
plantings. The designer of the stormwater management measures and plans must certify,
under seal, that the as -built stormwater measures, controls, and devices are in compliance
with the approved plans and designs and with the requirements of the post -construction
ordinance.
3. Maintenance and access easements must be established and recorded on the final plat for
all BMPs except those installed for public facilities.
4. The location and dimensions of all BMPs must be included on the final plat recorded at
the Mecklenburg County Register of Deeds Office. The following language must be
included on the final plat: "The purpose of the BMP is to treat/reduce the pollutants
associated with stormwater runoff in order to minimize negative effects to downstream
receiving waters. The easement around the BMP is to allow stormwater conveyance and
all
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system maintenance. The removal of plants or disturbance of the BMP structure or
otherwise affecting the overall functionality of the BMP for reasons other than
maintenance is strictly prohibited."
5. The location of undisturbed open space must be included on the final plat recorded with
the Mecklenburg County Register of Deeds Office. The following language must be
included on the final plat: "Undisturbed Open Space Area: Future disturbance is
prohibited in these areas except for greenway trails with unlimited public access, new
Charlotte -Mecklenburg Utility lines and channel work/maintenance activities by
Charlotte -Mecklenburg Stormwater Services."
6. The location of water quality buffers must be included on the final plat recorded with the
Mecklenburg County Register of Deeds Office. The top of the stream bank must be field
located and shown on the plat. Each buffer zone must also be shown on the plat and the
stream side zone must be labeled as "UNDISTURBED."
7. If requested by the owner, Mecklenburg County and all the Towns except Cornelius and
Huntersville will accept the maintenance responsibility for structural BMPs that are
installed pursuant to the post -construction stormwater ordinance following a warranty
period of two (2) years from the date of the final approval of the BMP, provided the
BMP:
Serves a single-family detached residential development or townhomes all of
which have public street frontage.
Is satisfactorily maintained during the two-year warranty period by the owner or
designee.
Meets all the requirements of the applicable post -construction stormwater
ordinance and the Design Manual.
• Includes adequate and perpetual access and sufficient area, by easement or
otherwise, for inspection, maintenance, repair, or reconstruction.
The maintenance of all BMPs not covered by this provision is the responsibility of the
owner or their designee.
8. The Towns, Mecklenburg County, CMS and CPCC will maintain the BMPs that they
install for their respective projects when they retain ownership. An O&M Plan has been
developed for this maintenance and is available upon request.
9. BMP Maintenance Bonds are required for all structural BMPs installed for both
residential and commercial developments. BMP Maintenance Bonds are not required for
BMPs installed for public facilities. The purpose of these bonds is to ensure that funds
are available to maintain BMPs if the owner should fail to do so in which case the Town
or Mecklenburg County would cash the bond to obtain the money to perform the
necessary maintenance. The bonds must be posted by the owner for a period of not less
than two (2) years from the as -built approval date.
10. All BMPs installed for compliance with post -construction stormwater ordinance
requirements must be inspected at a minimum of annually. The owner of the BMP is
responsible for ensuring that these inspections are performed, and for the submittal of the
necessary documentation to CMSWS. They are also responsible for correcting all BMP
violations. In all the jurisdictions except the Town of Huntersville, BMPs must be
inspected by a qualified registered N.C. professional engineer or landscape architect at a
minimum of annually. In Huntersville, a "qualified professional" is authorized to inspect
these BMPs. The minimum requirements for a qualified professional and the established
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process for verifying these qualifications are contained in the post -construction ordinance
Administrative Manual available on the website. The Stormwater Administrator has
developed BMP inspection forms that are also available on this website.
11. All low -density projects are required to indicate built -upon area restrictions for the
development on a plat. Upon completion of development, as-builts are required to verify
compliance with these restrictions. County and/or Town staff review and approve these
as-builts and the plat, which is subsequently recorded at the register of deeds office, to
ensure compliance with these restrictions before bonds and/or project holds are released.
Prior to the issuance of future building permits for additional development at the site,
verification must be provided to staff that the established built -upon area restriction is not
being exceeded as a result of the new development. CMSWS's interpretation is that this
system satisfies the permit condition for ensuring the inspection and maintenance of low -
density projects.
9.13 Decision Process
Between April 2004 and September 2005, a stakeholders' group deliberated in the development
of a draft post -construction ordinance for Charlotte -Mecklenburg. The resulting consensus
document was subsequently reviewed and modified as necessary by the Phase II jurisdictions to
meet their specific requirements. These documents were submitted to NCDEQ and following
approval were adopted into law effective June 30, 2007. Following adoption, workshops were
held for the development community and staff to help ensure effective implementation. It was
decided that a stakeholders' process would be used in the development of the post -construction
ordinance based off the successes of previous such efforts. For example, CMSWS relied on a
similar approach in the development of the S.W.I.M. stream buffer ordinances and local water
supply watershed rules.
During the development of the draft post -construction ordinances, efforts were undertaken to
conform these rules to each jurisdiction's specific water quality needs. For example, the Towns
of Matthews, Mint Hill and Pineville have streams within their jurisdictions identified on the
N.C. 303(d) list for fecal coliform bacteria and TMDLs have been developed. In addition, Goose
Creek in the Town of Mint Hill is an identified habitat for the Carolina heelsplitter, a federally
endangered species of freshwater mussel. The Towns in northern Mecklenburg County have
similar challenges. McDowell Creek in Huntersville and Cornelius as well as Long Creek and
Clarke Creek in Huntersville and the Rocky River in Davidson are identified on the N.C. 303(d)
list for biological impairment, fecal coliform bacteria and/or turbidity. These are all high priority
issues that were taken into consideration during the stakeholder process for development of the
post -construction ordinances for the Phase II jurisdictions.
9.14 Program Evaluation
The measurable goals for each BMP are described in Table 20. The overall success of the Post -
Construction Site Runoff Control Program is evaluated through the successful achievement of
these measurable goals as reported with each NPDES MS4 annual assessment report. At a
minimum, the following metrics are included in this annual report:
Number of new projects permitted.
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• Number of acres disturbed.
• Number of structural BMP inspections conducted.
• Number of notices of violation issued.
• Number of penalties assessed.
• Description of educational activities completed.
Other measures of success for the Post -Construction Stormwater Runoff Control Program are
described below.
• Documentation of Stormwater Inspection Activities: As a baseline measure of success,
staff will document completion of inspection activities in CMSWS's Cityworks database.
• Improving CoMpliance — Structural BMPs installed for compliance with post -
construction ordinance requirements will be inspected at a minimum of once a year.
CMSWS will also periodically inspect buffers, undisturbed open space and other non-
structural BMPs to ensure their long-term effectiveness. CMSWS will track and report
the ratio of the number of deficiencies detected compared to the number of BMP
inspections conducted with a decrease from the previous fiscal year serving as an
indicator of success.
On an annual basis, CMSWS staff will evaluate the BMPs assigned to this program and assess
progress toward achieving the measurable goals from Table 20 and the measures of success
described above. Recommendations for improvement will be made as necessary. During the
following fiscal year, the program activities and BMPs will be modified as necessary based on
the results of this evaluation in order to ensure that the specific goals and objectives of the Post -
Construction Stormwater Runoff Control Program and SWMP are being effectively and
efficiently fulfilled.
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SECTION 10: POLLUTION PREVENTION & GOOD HOUSEKEEPING PROGRAM
A Pollution Prevention/Good Housekeeping Program has been developed and is currently being
implemented for addressing discharges of pollution from municipal facilities and operations
owned and/or operated by Mecklenburg County's Phase II jurisdictions. The program is
administered by CMSWS's Water Quality Program as described in the following Sections. Each
co-permittee is responsible for pollution prevention and good housekeeping at facilities that they
own and control.
10.1 Program Goals and Objectives
CMSWS's establishes its goals and objectives for its Pollution Prevention/Good Housekeeping
Program, which are evaluated and updated annually as necessary, based on the actions necessary
to effectively address the targeted pollutants and pollutant sources identified in Table 9. The
current goal of the Pollution Prevention/Good Housekeeping Program is to reduce pollutants in
stormwater runoff from municipal operations. The current objectives of the program are as
follows:
1. Develop and implement an operation and maintenance program to prevent or reduce
stormwater pollution from facilities and operations owned and/or operated by the Phase II
jurisdictions/entities.
2. Train the employees at these facilities and operations to prevent and reduce stormwater
pollution from activities such as park and open space maintenance, fleet and building
maintenance, new construction and land disturbances, and stormwater system
maintenance.
10.2 BMP Summary Table
Table 23 describes the BMPs implemented as part of the Pollution Prevention/Good
Housekeeping Program.
Table 23: BMP Summa Table for the Pollution Prevention/Good Housekee in Program
A B I C D
E
County
County Activities
BMP
No.
Work
Description of
Schedule for
Annual
Co-Permittee
Plan Code
BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
Pollution Prevention & Good Housekeeping (Permit Ref. Part II Section G a through j except g that is included in BMP #31; Part II Section
A.4, 5 and 7): Implement an operation and maintenance program that includes a training component and has the ultimate goal of preventing or
reducing pollutant runoff from municipal operations. Provide employee training to prevent and reduce storm water pollution from activities
such as park and open space maintenance, fleet and building maintenance, new construction and land disturbances, and storm water system
maintenance.
#36
PP-1
Employee Trainin
(Municipal
Implement a
a. Review training program annually
Annually
Completion
Ensure employees
Training)
training program
and revise as necessary.
beginning July
status
receive annual
for employees
1
training. Maintain
involved in
training records.
b. Coordinate with co-permittees on
Annually
Completion
implementing
scheduling and conducting
beginning July
status
pollution
training.
1
prevention and
c. Conduct training and document
Annually
Completion
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A B I C D
E
County
County Activities
BMP
No.
Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
good
dates, persons attending, and
beginning July
status; # trained
housekeeping
topics covered.
1
practices.
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July
status
summarizing findings. Include in
1
re ort for PD-1.
#37
PP-2
Inspections
(Municipal
Implement
a. Review and revise SOPS annually
Annually
Completion
Ensure issues
Inspection)
inspection
and train staff.
beginning July
status
identified in
program for
1
inspection reports
municipal
are addressed in a
b. Conduct inspections, generate
Annually
Completion
facilities with the
reports, and follow up as
beginning July
status; #
timely manner.
significant
necessary to identify and eliminate
1
inspections; #
Submit
potential for
pollution sources.
problems
documentation of
generating
resolved
completion to
c. Evaluate the Operation and
Annually
Completion
polluted
CMSWS. Co-
stormwater
Maintenance programs for
beginning July
status
permittees are
runoff.
facilities with the significant
1
responsible for the
potential to pollute as described in
property, facilities,
their Stormwater Pollution
infrastructure, etc.
Prevention Plans (SWPPPs),
that they
which also includes a spill
own/control,
response plan. Work with co-
including
permittee to update/revise as
maintaining and
necessary.
complying with
O&M Plans for
d. Ensure that municipal employees
Annually
Completion
and contractors are properly
beginning July
status
their facilities
trained and all permits,
1
(SWPPPs), SCMs,
certifications, and other measures
MS4s, streets and
for applicators are followed by
parking lots.
verifying the validity of pesticide
licenses as a component of the
facility inspection process in "b"
above.
e. Ensure that measures are
Annually
Completion
implemented to prevent or
beginning July
status
minimize contamination of the
1
stormwater runoff from all areas
used for vehicle and equipment
cleaning as a component of the
facility inspection process in "b"
above.
f. Document the date of inspections
Annually
Completion
and/or evaluation of O&M Plans,
beginning July
status
results, follow up actions, and
1
final resolution.
g. Complete annual report detailing
Annually
Completion
activities completed and
beginning July
status
summarizing findings. Include in
1
re ort for PD-1.
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A B I C D
E
County
County Activities
BMP
No.
Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
08
PP-5
Inventory
(Municipal
Maintain, a
a. Review SOPS annually and revise
Annually
Completion
Notify CMSWS of
Inventory)
current inventory
as necessary.
beginning July 1
status
all new properties
of facilities and
b. Complete inventory process.
Annually
Completion
purchased.
operations
beginning July 1
status
owned and
c. Document nature of investigation,
Annually
Completion
operated by the
names, dates, locations, follow up
beginning July 1
status; #
permittee with
actions, violations, and final
facilities
the significant
resolution.
potential for
d. Notify co-permittees of any
Annually
Completion
generating
changes in their inventory of
beginning July 1
status
polluted
facilities with the significant
stormwater
potential to pollute and work them
runoff.
to ensure permit compliance.
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#39
PP-9
Evaluate Effectiveness of the Pollution Prevention/ Good
Housekee in Pro ram
(Evaluate
Evaluate the
a. Evaluate program effectiveness at
Annually
Completion
Notify CMSWS of
Pollution
effectiveness of
meeting established goals and
beginning July 1
status
actions necessary
Prevention)
the Pollution
objectives.
to improve the
Prevention/
b. Measure program success using
Annually
Completion
effectiveness of
Good
established criteria.
beginning July 1
status; criteria
the program.
Housekeeping
measure
Program.
c. Evaluate the effectiveness of the
Annually
Completion
O&M Plan for reducing polluted
beginning July 1
status
stormwater runoff from
municipally owned streets, roads,
and public parking lots based on
cost and the estimated quantity of
pollutants removed. Work with
co-permittees to update/revise as
necessary.
d. Evaluate the O&M Plan for
Annually
Completion
reducing polluted stormwater
beginning July 1
status
runoff from municipally owned or
maintained catch basins and
conveyance systems. Work with
co-permittees to update/revise as
necessary.
e. Recommend improvements as
Annually
Completion
necessary. Include
beginning July 1
status
recommendations in report for
PD-1.
f. Implement improvements in the
Annually
Completion
next fiscal year.
beginning July 1
status
all
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10.3 Inventory of Municipally Owned or Operated Facilities
During the first Permit term, CMSWS completed an inventory of over 1,530 properties owned
and/or operated by the Phase II jurisdictions/entities and identified those municipal facilities and
operations that should be covered by the Pollution Prevention and Good Housekeeping
requirements of the Phase II Permit using procedures developed by CMSWS and incorporated
into the SWMP. These procedures were implemented effective July 1, 2005 and are based on
guidelines provided by NCDEQ. These guidelines are contained in Appendix D and include an
evaluation of 20 percent of the identified facilities each year for the 5-year Permit term. As new
facilities were identified, they were incorporated into the Pollution Prevention/Good
Housekeeping Program based on the application of these guidelines.
During the second Permit term beginning in 2011, CMSWS updated its SWMP to comply with a
new Phase II Permit requirement that properties with a "significant potential for generating
polluted stormwater runoff' must be included in an Operations and Maintenance (O&M)
Program that specifies a frequency of inspection and routine maintenance requirements. This
new requirement was less inclusive than those applied during the first Permit term; therefore,
facilities and operations identified for coverage prior to 2011 were left in the program thus going
beyond minimum Permit requirements. CMSWS uses the following criteria to determine if a
facility has a significant potential for generating polluted stormwater runoff.
1. Exposure of significant materials based on the "Exposure Checklist" included in numbers
12 through 14 of NCDEQ's "No Exposure Certification Form" (NCGNE0000) (see
Appendix D) as described in CMSWS's "Form for Evaluating Exposure of Significant
Materials" (see Appendix E), and
2. No written procedures or controls in place to prevent pollution.
Facilities that meet the above criteria are added to the Pollution Prevention/Good Housekeeping
Program and the co-permittees that own and/or operate these facilities are required to implement
long-term pollution prevention measures to reduce the potential for polluted stormwater runoff,
including (but not limited to) the following:
1. Development of a full Stormwater Pollution Prevention Plan.
2. Development of written Standard Operating Procedures (SOPs) for activities on -site
that have a significant potential to pollute stormwater.
3. Completion of required inspections.
4. Completion of required pollution prevention training for on -site staff.
As of FY2021, CMSWS's inventory included a total of 3,208 properties owned by the co-
permittees that have all been evaluated based on the above criteria with a total of 38 identified as
having a significant potential for generating polluted stormwater runoff that have been included
in the Pollution Prevention and Good Housekeeping Program as described in Tables 24, 25, 26
and 27 below. Table 24 includes a list of facilities operated by Mecklenburg County and the
Towns. Five (5) private operations located on property owned by a co-permittee that have the
significant potential for generating polluted stormwater runoff are also included in Table 24.
These facilities are inspected once every five (5) years. Tables 25 and 26 include facilities
operated by CMS and CPCC, respectively. Of the facilities and operations included in Tables
24, 25 and 26, a total of five (5) are subject to NPDES stormwater general or individual Permits
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as described in Table 27. These five (5) facilities are owned and/or operated by Mecklenburg
County. A more detailed explanation of the evaluation process for inclusion of facilities into the
Pollution Prevention/Good Housekeeping Program is provided in Appendix D. In addition, a
separate O&M Plan has been developed and is available upon request that includes the
information provided in Sections 10.3, 10.4, 10.5, 10.6, 10.7, and 10.8 as well as Appendix E of
this document.
Table 24: Municipal O erations Owned and/or Operated by the County and Towns
Facility
Contact Name & Title
Phone Number
Physical Address
Matthews Public Works
C.J. O'Neill, Public Works Director
704-847-3661
1600 Tanktown Road,
Matthews
Huntersville Public
Kevin Fox Public Works Director
704-766-2220
11316 Sam Furr Road,
Works
Huntersville
Cornelius Public Works
Ricky Overcash, Public Works
704-895-5212
18521 Starcreek Drive,
Supervisor
Cornelius
Mint Hill Public Works
Steve Frey, Public Works Director
704-545-9726
7151 Matthews -Mint
Hill Road, Mint Hill
Davidson Public Works
Doug Wright, Public Works Director
704-892-7591
151 W. Walnut Street,
Davidson
Pineville Public Works
Chip Hill, Public Works Supervisor
704-889-7476
402 Dover Street,
Pineville
Mecklenburg Emergency
Wilkinson
Medical Services
Patrick Crane
704-943-6130
Boulevard, Charlotte
MEDIC)Boulevard,
Stormwater Operations
John McCulloch, Environmental
980-314-3288
5841 Brookshire Blvd.,
Manager
Charlotte
Meek. Co. Parks &
Peter Cook, Park & Rec Mgr.
980-314-1040
5841 Brookshire Blvd.,
Recreation
Charlotte
Parks & Recreation
Tim Turton Horticulture Team Leader
704-549-5617
11826 Mallard Creek
Horticulture Center
Road, Charlotte
North Mecklenburg
Derrick Harris, Solid Waste Facility
980-314-3859
12100 Statesville Rd.,
Recycling
Manager
Huntersville
Mecklenburg County
Nick Crawford, Solid Waste Facility
980-406-1109
5740 Rozzelles Ferry
White Goods & Tire
Manager
Road, Charlotte
Charlotte Recycling
Mike Gurley
704-400-6557
1007 Amble Drive,
Center
Charlotte
New Compost Central &
Jake Wilson, Solid Waste Facility
980-314-3862
140 Valleydale Road,
Recycling Center
Manager
Charlotte
Old Compost Central &
Jake Wilson, Solid Waste Facility
980-314-3862
5631 West Boulevard,
Recycling Center*
Manager
Charlotte
Hickory Grove
Nick Crawford, Solid Waste Facility
980-406-1109
8007 Pence Road,
Recycling
Manager
Charlotte
CT Myers Golf Course*
Del Ratcliffe, President, Ratcliffe Golf
704-622-0105
7817 Harrisburg Road,
Services
Charlotte
Fox Hole Recycling
Steve Curry, Landfill Manager
980-314-3867
17131 Lancaster
Highway, Charlotte
Fox Hole Landfill
Steve Curry, Landfill Manager
980-314-3867
17131 Lancaster
Highway, Charlotte
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Facility
Contact Name & Title
Phone Number
Physical Address
Tradition Golf Course*
Kim Worrell, Pinnacle Golf
704-585-8286
3800 Prosperity Church
Road, Charlotte
Dr. Charles L Sifford
Del Ratcliffe President, Ratcliffe Golf
704-622-0105
2661 Barringer Drive,
Golf Course*
Services
704-392-0018
Charlotte
Harry L Jones Golf
Del Ratcliffe President, Ratcliffe Golf
704-357-3373
1525 W Tyvola Rd
Course
Services
Sunset Hills Golf
Del Ratcliffe President, Ratcliffe Golf
704-622-0105
800 Radio Road,
Course*
Services
704-392-0018
Charlotte
U.S. National
Jeff Wise President
704-393-6355
5000 Whitewater Center
Whitewater Center*
Pkwy, Charlotte
Mecklenburg Co. Fleet
Marcus McAdoo, Shop Manager
704-249-5290
900 W.121h Street,
Management Facility*
Charlotte
* Operations not performed by the co-permittee on property that the co-permittee owns that has the significant
potential for generating polluted stormwater runoff. These facilities are inspected once every five (5) years
(except the U.S. National Whitewater Center and Fleet Management which are inspected annually).
Table 25: Municipal Operations Owned and/or Operated by CMS
Facility
Contact Name & Title
Phone Number
Physical Address
Bus Staging Site
Jeff Mitchell, Environmental Health &
980-343-8632
11719 Downs Rd.
Stewardship Specialist
Independence High
Jeff Mitchell, Environmental Health &
980-343-8632
1967 Patriot Dr.
School
Stewardship Specialist
Harding/West Meek
Jeff Mitchell, Environmental Health &
980-343-8632
3101 Wilkinson Blvd.
Transportation
Stewardship Specialist
Jeff Mitchell, Environmental Health &
Building Services
Stewardship Specialist
980-343-8632
3301 Stafford Dr.
Craig Avenue
Jeff Mitchell, Environmental Health &
980-343-8632
3901, 3903, 3905 Craig
Transportation
Stewardship Specialist
Ave,
Northpointe
Jeff Mitchell, Environmental Health &
980-343-8632
4440 Northpointe
Transportation
Stewardship Specialist
Industrial Blvd.
Jeff Mitchell, Environmental Health &
Orr Road Admin
Stewardship Specialist
980-343-8632
6520 Orr Rd.
Table 26: Municipal Operations Owned and/or Operated by CPCC
Facility
Contact Name & Title
Phone Number
Physical Address
CPCC Central Campus
Zachary Harris, Facilities Services
704-330-6233
East 7th Street (1203
Elizabeth Avenue)
CPCC Merancas Campus
Zachary Harris, Facilities Services
704-330-6233
11930 Verhoeff Drive
CPCC Cato Campus
Zachary Harris, Facilities Services
704-330-6233
9400 East WT Harris
Blvd.
CPCC Harper Campus
Zachary Harris, Facilities Services
704-330-6233
317 West Hebron Street
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Table 27: Municipal Operations that have been Issued Stormwater Permits
Facility
Permit
Number
Contact Name & Title
Phone Number
Physical Address
Mecklenburg County
and Towns Phase II
NCS000395
Don Ceccarelli Director
980-314-3209
2145 Suttle Ave.
MS4 Permit
of Stormwater Services
Charlotte
New Compost Central
NCG240019
Darren Steinhilber,
980-314-3857
140 Valleydale Road,
& Recycling Center
Project Manager
Charlotte
Old Compost Central &
NCS000382
Darren Steinhilber,
980-314-3857
5631 West Boulevard
Recycling Center*
Project Manager
Charlotte
Fox Hole Landfill
NCG120068
Steve Curry, Landfill
980-314-3864
17131 Lancaster
(Hwy 521 Landfill)
Manager
Highway, Charlotte
Mecklenburg Co. Fleet
NCGO80063
I
Marcus McAdoo, Shop
704-249-5290
900 W.12r'' Street,
Management Facility
Manager
Charlotte
* Operations are still being conducted at the Old Compost Central & Recycling Center. However, according to
Joe Hack (Program Manager) these operations are planned to be discontinued in the spring of 2023. Joe will
notify CMSWS when this occurs, and the facility will be removed from the inspection list provided pollution
sources have been eliminated.
10.4 Training
Annual training is provided to the employees involved in implementing pollution prevention and
good housekeeping practices at the municipally operated facilities listed in Tables 24, 25, 26 and
27 above. Privately -operated facilities located on properties owned by a co-permittee as
identified in Table 24 are responsible for conducting their own training. Training is also
provided for other employees involved in municipal operations that have the potential to cause
negative water quality impacts. The goal of this training seminar is to inform employees of the
actions necessary to reduce the discharge of pollution and protect water quality from activities
such as park and open space maintenance, fleet and building maintenance, new construction and
land disturbances, storm sewer system maintenance, and other municipal activities as well as the
steps for reporting suspected illicit discharges and actions required for compliance with Permit
requirements. The following topics are covered in the training seminar:
1. Overview of general water quality conditions in Mecklenburg County and reasons for
protecting water quality.
2. Description of common pollutants, their sources and water quality impacts associated
with illicit discharges.
3. Description of the actions that each facility and/or operation should take to reduce
discharges of pollutants, including good housekeeping and proper herbicide, pesticide,
and fertilizer application and management.
4. Description of effective spill prevention measures that should be employed at each
facility and/or operation.
5. Discussion of typical pollution sources at municipal operations and the specific action
that should be taken to eliminate these sources and protect water quality.
6. Description of techniques for identifying and reporting illicit discharges and connections.
This training is a Permit requirement for all municipal staff, who, as part of their normal
job responsibilities, may come into contact with or otherwise observe an illicit discharge
or illicit connection to the storm sewer system.
7. Description of new requirements in the Permit issued in November 2011 as follows:
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• Post -construction stormwater controls for municipally owned transportation
projects (see Section 9.4).
• Minimizing pollution from municipally owned streets, roads, and public parking
lots (see Section 10.7).
• Operation and maintenance of municipally owned and maintained storm sewer
system including catch basins and conveyance systems (see Section 10.8).
• Management of pesticide, herbicide and fertilizer application (see Section 10.11).
8. Review of the Stormwater Pollution Prevention Plan and/or Spill Response Plan.
9. Explanation of the consequences of failing to control pollutants at facilities and/or
pollutants associated with municipal operations.
10. Proper reporting of illicit discharges.
The above training is conducted separately from the outreach programs conducted for the IDDE
Program previously described under program element ID-5, which includes training for
municipal staff, who, as part of their normal job responsibilities, may come into contact with or
otherwise observe an illicit discharge or illicit connection to the storm sewer system. The
training for the Pollution Prevention and Good Housekeeping Program described under program
element PP-1 focuses on municipal staff involved in implementing pollution prevention and
good housekeeping practices. Due to the very distinct differences in the two (2) target audiences
it is necessary to separate this training.
10.5 Operation and Maintenance Programs, Spill Prevention, and Spill Response
Stormwater Pollution Prevention Plans (SWPPPs) have been developed and implemented that
describe the Operation and Maintenance Programs implemented at the facilities listed in Tables
24, 25, 26 and 27 above for the purpose of reducing the discharge of pollution in stormwater
runoff. At a minimum, SWPPPs include the following:
1. Site Map that shows the location of the facility and all access roads. The map must also
indicate the name of the receiving stream and specify if it is impaired and the source of
that impairment. A USGS quadrangle map is acceptable.
2. Site Plan that shows the location of all structures on the site and the general uses of these
structures (i.e., storage, vehicle maintenance, offices, etc.) as well as the locations of all
stormwater inlets and outlets at or adjacent to the facility, potential pollution sources and
access on and off the site.
3. Stormwater Management Plan that includes an evaluation of BMPs (if any) on the site,
and descriptions of storage practices, waste handling and disposal methods and the
potential on -site pollution sources including exposed significant materials.
4. Spill Prevention and Response Plan that identifies the specific actions to be taken to
prevent and respond to spills, including clean up contractors and their contact
information, etc.
5. Preventative Maintenance and Good Housekeeping Plan that describes the measures
taken to prevent or minimize contamination of stormwater runoff from areas identified as
potential pollution sources, including but not limited to areas used for vehicle and
equipment cleaning. The Plan must also describe the type and frequency of site
inspections and routine maintenance and the staff responsible for performing these
activities.
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6. Training Schedule that describes the employees that will receive training, the type of
training to be provided and the schedule for that training. This training must include a
discussion of all the material contained in the Stormwater Pollution Prevention Plan. All
staff must be made aware of the location of this Plan at the facility.
CMSWS conducts inspections of all the facilities listed in Tables 24, 25, 26 and 27 above.
Facilities operated by a co-permittee are inspected annually and facilities operated by private
entities on property owned by a co-permittee are inspected once every 5 years. These
inspections include the following:
1. Thorough assessment of facility operations, maintenance activities, maintenance
schedules and long-term inspection procedures for controls to reduce floatables and other
pollutants. Pollution sources will be identified and minimized to the MEP.
2. Evaluation and documentation of the procedures for the disposal of waste removed from
the MS4 and municipal operations, including street sweeping wastes, dredge spoil,
accumulated sediment, floatables, and other debris, as applicable.
3. Visual evaluation of storm water outfalls at the facility and identification and
minimization of pollution sources to the MEP.
4. Review of spill response and clean up procedures. Procedures will be revised as
necessary to ensure protection of water quality.
5. Evaluation of housekeeping practices that will be revised as necessary to minimize
potential pollution sources to the MEP.
6. Identification of all potential discharges of pollution, including parking lots, maintenance
and storage yards, waste transfer stations, fleet and maintenance facilities, outdoor
storage areas, salt/sand storage areas, etc.
7. Evaluation of areas used for vehicle and equipment cleaning to ensure that all discharges
are to the sanitary sewer system.
8. Identification and elimination of dry weather discharges.
9. Review of Stormwater Pollution Prevention Plans annually.
10. Review of educational materials.
11. Review the timeliness of any monitoring reports required by the NPDES Permits issued
to the facilities listed in Table 27 above.
12. Evaluation of the co-permittees status regarding compliance with Permit requirements,
including post -construction stormwater controls for transportation projects; maintenance
of municipally owned streets, roads, and public parking lots; operation and maintenance
of municipally owned or maintained catch basins, conveyance systems, and structural
stormwater controls; and management of pollutants from vehicle and equipment cleaning
areas. In addition, CMSWS obtains the pesticide license numbers for all employees and
contractors performing application activities and conducts a search on the NC Dept. of
Agriculture and Consumer Services website to ensure all licenses are valid.
13. Completion of a written report documenting findings and listing actions taken to
minimize pollution sources and protect water quality to the MEP.
Additional inspection details are contained in the Stormwater Inspection Checklist that is
reviewed and updated as necessary as part of the Phase II Work Plan developed and
implemented annually by CMSWS. A copy of this checklist is provided in Appendix E. Follow
up inspections are conducted as necessary to ensure the minimization of all potential pollution
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sources to the MEP and documentation of corrective actions. Supervisors of facilities are
contacted and provided with a copy of the written report. All reports of inspection activities are
reviewed by the Water Quality Program Supervisor prior to closure. These reports are
maintained in the Cityworks database.
As of January 1, 2022, CMS owns and/or operates 176 schools. These schools have all been
evaluated and determined not to have a significant potential for generating polluted stormwater
runoff. However, the schools have the potential to generate pollutants that are not considered
significant from food service areas, dumpsters without lids and plugs, erosion from high traffic
areas, etc. Therefore, the schools are inspected roughly once every eight (8) years and training is
provided to staff as necessary. During these inspections, pollution sources are identified and
eliminated, and inspection reports completed.
10.6 Standard Operating Procedures (SOPS) for Municipal Facility Operations
Written SOPs have been developed to describe the actions co-permittees are to undertake to
control the discharge of pollutants from their facilities and operations to protect downstream
water quality. These SOPs are provided to co-permittees and are included in their SWPPPs.
CMSWS evaluates the effectiveness of the implementation of these SOPS during facility
inspections as described in the previous section.
10.7 Minimizing Pollution from Municipally Owned Streets and Parking Lots
CMSWS has evaluated BMPs for reducing the discharge of floatables and other pollutants from
municipally owned streets and parking lots and has selected the following that are currently in
use by the Phase II jurisdictions/entities (except for the Extra Territorial Jurisdiction (ETJ) areas
of the Towns):
• Ordinances — Each co-permittee will continue enforcement of existing litter and illicit
discharge ordinances adopted by each jurisdiction.
• Solid Waste Collection and Recycling — Each co-permittee will continue existing solid
waste collection and recycling services.
• Public Education — Each co-permittee will continue public education to encourage
citizens to properly dispose of waste and to recycle as many materials as possible.
• Parking Lot Cleaning — Each co-permittee will clean parking lots in identified problem
areas. These problem areas are identified by staff based on accumulations of leaves,
trash, debris, blockages, flooding, etc. It may also be performed after special events and
festivals where additional trash and other pollutants are expected. The Town of
Cornelius does the majority of its street cleaning through leaf vacuuming services that
run from November 1 through January 31 each year and use their street sweeper on major
thoroughfares. Each co-permittee provides trash receptacles at public parking lots and
performs scheduled manual trash pick-up. Each co-permittee maintains records
documenting the number of parking lots cleaned and the pounds of trash, sediment, and
other pollutants removed as well as the estimated cost of the program. This data is
provided to CMSWS by July 3 1 " of every year for use in evaluating program
effectiveness and for inclusion in the annual report to the State. An O&M Plan has been
developed for parking lot cleaning and is available upon request.
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Street Sweeper — Each co-permittee will sweep their municipal streets in identified
problem areas. These problem areas are identified by staff based on accumulations of
leaves, trash, debris, blockages, flooding, etc. Co-permittees maintain records
documenting the number of streets cleaned and the pounds of trash, sediment, and other
pollutants removed as well as the estimated cost of the program. This data is provided to
CMSWS by July 3 1 ' of every year for use in evaluating program effectiveness and for
inclusion in the annual report to the State. The County does not assume ownership or
perform any maintenance activities on streets outside the jurisdictions of the Towns and
City of Charlotte. For County owned parking lots, litter is picked up daily by
maintenance staff, but no routine street sweeping activities are performed. An O&M
Plan has been developed for street sweeping and is available upon request.
Waste Disposal — Each co-permittee will be responsible for characterizing the street
sweeping waste that they collect and for proper disposal of this waste based on this
characterization. CMSWS will be contacted if unusual conditions are observed with the
collected waste, such as the presence of oil or chemicals, unusual odors or discoloration,
etc., so that testing can be performed prior to disposal. Recycling or composting is the
preferred method for handling street sweeping waste. Any disposal should occur at an
approved landfill. The land application of this waste onto public or private property is
discouraged; however, if this does occur the application area should be a minimum of 50
feet from any stream or other water body and proper erosion control measures must be
utilized to prevent off -site discharges.
The above BMPs were implemented effective November 11, 2012. CMSWS performs an annual
evaluation of the effectiveness of these BMPs for maintenance of municipally owned streets,
roads, and public parking lots based on costs and the estimated quantity of pollutants removed.
This data is presented in the annual assessment report sent to the State. CMSWS changes the
BMPs as necessary based on this annual evaluation and will work with the Phase II
jurisdictions/entities to ensure the timely implementation of these changes. A separate O&M
Plan has been developed for maintenance of streets and parking lots and is available upon
request.
10.8 Operation and Maintenance Plans for MS4s and SCMs
CMSWS has evaluated BMPs for reducing the discharge of floatables and other pollutants from
the municipally owned MS4, including catch basins and conveyance systems and has selected
the following that are currently in use by the Phase II jurisdictions/entities:
• Catch Basin and Conveyance System Cleaning — Each co-permittee will clean catch
basins and conveyance systems as well as repair the MS4 in identified problem areas.
These problem areas are identified by staff based on accumulations of leaves, trash,
debris, blockages, flooding, etc. Each co-permittee maintains record documenting the
number of inlets, outlets and pipes cleaned and the pounds of trash, sediment, and other
pollutants removed as well as the estimated cost of the program. This data is provided to
CMSWS by July 3 1 ' of every year for use in evaluating program effectiveness and for
inclusion in the annual report to the State.
• Waste Disposal — Same as for 10.7 above.
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The above BMPs were implemented effective November 11, 2012. CMSWS will evaluate
annually the effectiveness of the above described BMPs for maintenance of the storm sewer
system based on costs and the estimated quantity of pollutants removed. CMSWS will change
the SWMP as necessary based on this annual evaluation and will work with the Phase II
jurisdictions/entities to ensure the timely implementation of these changes. An O&M Plan has
been developed for the maintenance of MS4s and is available upon request.
The co-permittees are required to implement an Operation & Maintenance Program for post -
construction SCMs that it owns, including the frequency of inspections and routine maintenance
requirements. All BMPs must be inspected and maintained in accordance with this schedule.
The co-permittees are required to document inspections and maintenance of all municipally
owned or maintained post -construction structural stormwater control measures. Section 9.4
describes how these requirements are being fulfilled. A separate O&M Plan including the above
BMPs has been developed for maintenance of SCMs and is available upon request.
10.9 Evaluation of BMPs for Streets, Roads, Parking Lots, and Storm Sewer Systems
The effectiveness of the BMPs identified in Sections 10.7 and 10.8 above for streets, roads,
public parking lots, and storm sewer systems was evaluated in FY2022 based on cost and the
estimated quantity of pollutants removed. Table 28 below summarizes the data collected as a
result of this evaluation, including an estimate of the pounds of pollutants removed at 1,909,276
at a cost per pound at $0.41. Based on this data, these BMPs are determined to be highly
effective and will therefore continue in use due to the significant number of pounds removed at a
very low cost. This determination is based on a report produced by R.C. Sutherland, P.E. in
2013 entitled Clean Streets Mean Clean Streams that indicates an acceptable pollutant removal
range is $3 to $5 per pound.
Table 28: Pounds of Pollutants Removed and Costs for FY2022
BMPs
Lbs. Removed
Cost
Cost/Lb.
Street Sweeping
1,138,276
$535,964
$0.47
Parking Lot Cleaning
76,000
$26,372
$0.35
Conveyance Systems
Cleaning
695,000
$223,980
$0.32
TOTALS
1,909,276
786,316
$0.41
10.10 Winter Road Maintenance
The co-permittees perform maintenance activities to ensure safe winter driving conditions on its
roads and parking lots. The following practices are employed by the co-permittees to reduce the
discharge of pollutants from these activities.
1. Minimize the use and optimize the application of sodium chloride and other salt (while
maintaining public safety) and consider opportunities for use of alternative materials.
2. Optimize sand and/or salt -brine solution rates through the use, where practicable, of
automated application equipment (e.g., zero velocity spreaders), anti -icing and pre -
wetting techniques and implementation of pavement management systems.
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3. Prevent exposure of deicing product (salt, sand, or alternative products) to precipitation
by enclosing or covering storage piles. Implement good housekeeping, diversions,
containment or other measures to minimize exposure resulting from adding to or
removing materials from the pile. Store piles in such a manner as not to impact surface
water resources, groundwater resources, and wells.
10. 11 Management of Pesticide, Herbicide and Fertilizer Application
CMSWS has evaluated BMPs for ensuring that municipal employees and contractors are
properly trained in pesticide, herbicide and fertilizer application as well as for ensuring
compliance with all applicable permits and certifications. Based on this evaluation, the
following BMPs have been selected and are currently in use by the Phase II jurisdictions/entities:
• Training — Proper pesticide and fertilizer application is covered as a component of the
municipal employee training described in Section 10.4.
• Applicator Licenses — Each co-permittee is responsible for verifying that an employee or
contractor has the proper license and/or certification for the pesticide and/or herbicide
applications to be performed. Every co-permittee collects and stores copies of licenses
and/or license numbers. Every year as part of the municipal inspection process described
in Section 10.5, CMSWS verifies the validity of these licenses through a search of the
NC Dept. of Agriculture and Consumer Services website. These licenses and
certifications are updated at least annually and within 30 days of hiring a new employee
or contractor. This documentation is made available in the event of an audit. Training is
required for obtaining and renewing an applicator license; therefore, by verifying a
license the co-permittee is also verifying that the proper training has been received.
• Treatment Areas — In FY2012, an assessment was completed of each co-permittee's
pesticide application and management practices. This assessment revealed that the co-
permittees were in compliance with applicable NPDES requirements. Information
provided by each co-permittee during this assessment revealed that their pesticide
applications were below the annual treatment area thresholds contained in NCDEQ's
Pesticides General Permit (NCG560000) as described in Table 29. It is the responsibility
of each co-permittee to ensure continued compliance with NPDES requirements,
including applying for coverage under NCG560000 if pesticide applications in the
applicable treatment areas will exceed one or more of the thresholds in Table 29 during
the calendar year. It is also the co-permittee's responsibility to notify CMSWS if such an
application is made. During annual inspections, CMSWS will obtain a copy of annual
pesticide application records. These records will be reviewed by the inspector and
compared to previous years to determine if there have been significant increases in the
quantities applied or areas treated in which case further investigations will be performed
to determine if Permit # NCG560000 should be obtained. The application records,
results of further investigations, and copies of permits issued are maintained in the
facility's file.
Table 29: Annual Treatment Area Thresholds
Pesticide Use
Annual Threshold
Mosquitoes and Other Flying Insect Pests
15,000 acres of treatment area adulticide applications only) 0)
Aquatic Weed and Algae Control - In Water
1,000 acres of treatment area
Aquatic Weed and Algae Control - At Water's Ede
200 linear miles of treatment area at water's edge (2)
Aquatic Nuisance Animal Control - In Water
200 acres of treatment area
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Pesticide Use
Annual Threshold
Aquatic Nuisance Animal Control - At Water's Ede
200 linear miles of treatment area at water's edge (2)
Forest Canopy Pest Control
10,000 acres of treatment area
Intrusive Vegetation Control
500 linear miles (1)
(1) Multiple applications to the same area are added together only for mosquito and other flying insect pest control.
(2) Applications that occur at the water's edge in a ditch or canal are counted only once when one or both sides are
treated.
(3) Applications to both sides of a road are added together for the total miles.
The N.C. Pesticide Board regulates pesticide application in the Goose Creek watershed in 02
NCAC 09L .2201 through .2203. These rules apply to critical habitat areas in Goose Creek
outside of the Phase II jurisdiction in Mecklenburg County. However, since critical habitat areas
are prone to change, these rules will be applied in the Phase II jurisdiction/entities as one of the
BMPs for this SWMP as described in Table 30. It is the responsibility of each co-permittee to
ensure that the limits in Table 30 are met in the Goose Creek Watershed. CMSWS will notify
the co-permittees of this requirement during annual training and inspection activities.
Table 30: Limits on Pesticide Applications in the Goose Creek Watershed
Pesticide Active Ingredient
Code/Limitations
Azin hos-meth 1
2
Benom 1
1
Ca tan
1
Carba 1
2
Carbofuran
1
Chlo ifos
3
Diazinon
2
Dicofol
2
Dimethoate
2
Endosulfan
2
Esfenvalerate
1
Ethion
2
Etho ro
1
Fenami hos
2
Fonofos
2
Malathion
2
Methidathion
2
Methom 1
1
Mevin hos
2
Naled
1
Parathion (ethyl)
2
Pendimethalin
2
Permethrin
1
Phorate
1
Phosmet
1
Phos hamidon
1
Pro iconazole
1
Pyrethrins
2
Terbufos
2
Trichlorfon
2
(1) This pesticide shall not be applied within 20 yards from the edge of water for ground applications and within
100 yards for aerial applications.
(2) This pesticide shall not be applied within 40 yards from the edge of water for ground applications and within
200 yards for aerial applications.
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(3) This pesticide shall not be applied within 100 yards from the edge of water for ground applications and within
one-fourth mile for aerial applications.
The above BMPs were implemented effective November 11, 2012. CMSWS continues to assess
the effectiveness of these BMPs when it conducts facility inspections and receives information
from the responsible party regarding compliance with the above stated provisions. CMSWS
changes the BMPs as necessary and works with the Phase II jurisdictions/entities to ensure the
timely implementation of these changes when inspection findings reveal a significant decline in
compliance with BMP requirements.
10.12 Controlling Pollutants from Vehicle/Equipment Maintenance, Cleaning & Fueling
The following procedures are followed when performing vehicle and equipment maintenance to
prevent discharges to the storm drain system:
1. Vehicle maintenance should be performed indoors where contact with storm water is
minimal.
2. If minor vehicle maintenance must take place outdoors, ensure that it is done during
times of non -precipitation and that tarps are placed on the ground surface to collect any
potential fluid spillage.
3. Any fluid spillage should be cleaned up immediately and properly disposed. Refer to the
spill response procedures in the SWPPP.
The following procedures are followed when performing vehicle and equipment cleaning to
prevent discharges to the storm drain system. An SOP has been developed for vehicle washing
and is available upon request.
1. Vehicle washing areas should drain to a permitted sanitary sewer system, if available.
2. If no sanitary sewer connection is available, the facility should either wash vehicles at a
car wash facility or designate an on -site vehicle washing area that is not directly
connected to a storm drain system, such as grassed areas, gravel parking areas, or a water
quality BMP. This washing area must be designated on the Site Plan Map in the SWPPP.
The following restrictions apply to these designated washing areas not connected to the
sanitary sewer system:
• Only biodegradable detergents can be used with a pH between 4.0 and 9.0.
• Solvents cannot be used to clean vehicles in this area.
• Only vehicle exteriors should be washed. Engines or oily equipment / parts
cannot be washed in these areas.
• Water usage should be minimized to the extent practicable by using a pressure
washer or low flow nozzle.
The following procedures are followed when performing vehicle and equipment fueling to
prevent discharges to the storm drain system:
1. Employees are to remain with vehicles and equipment during fueling operations.
2. Vehicles should not be "topped off."
3. Spill kit materials should be available in the immediate vicinity of the fueling area in the
event of a spill.
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4. Any spilled fuel should be cleaned up immediately and properly disposed. Refer to the
spill response procedures in the SWPPP.
10.13 Waste Disposal
During the inspections described in Section 10.5 above, CMSWS evaluates methods for
disposing of waste removed from each jurisdiction's MS4 and municipal operations, including
dredging spoil, accumulated sediments, cooking oils, trash, wash water, and debris. Actions are
taken as necessary to minimize pollution sources associated with these waste storage and
disposal measures by working closely with the facility supervisor and/or public works director.
10.14 Flood Management Projects
CMSWS designs and constructs flood management and stream restoration projects in the
Mecklenburg County Phase II jurisdictions as well as the City of Charlotte. Where practicable,
CMSWS incorporates structural BMPs into these projects to reduce pollutant loads and improve
aquatic habitat. In some cases, chemical, physical and/or biological monitoring is performed
upstream, downstream and within the boundaries of the project. This monitoring usually begins
prior to the initiation of construction activities and continues throughout the duration of the
project and for a minimum of one year following project completion. Data generated from these
monitoring activities is evaluated to identify those techniques that are most effective at restoring
water quality for use in future projects. Figure 13 illustrates one such project in the Hidden
Valley community in Charlotte where wet ponds, wetlands and stream meanders were
incorporated into a flood management project for enhancement of water quality.
Figure 13: Stream Restoration in the Torrence Creek Watershed in Huntersville
10.15 Decision Process
The individual BMPs for the Pollution Prevention/Good Housekeeping Program were selected
because they have proven effective when used by the City of Charlotte for compliance with their
Phase I Permit requirements. Staff was selected for implementation of the BMPs for the
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Pollution Prevention/Good Housekeeping Program based on their knowledge of proper facility
operation and pollution prevention.
10.16 Program Evaluation
The measurable goals for each BMP are described in Table 23. The overall success of the
Pollution Prevention and Good Housekeeping Program is evaluated through the successful
achievement of these measurable goals as reported with each NPDES MS4 annual assessment
report. At a minimum, the following metrics are included in this annual report:
• Number of employees trained.
• Number of streets and parking lots cleaned, and amount of material removed.
• Number of inlets, outlets and pipes cleaned, and amount of material removed.
• Description of educational activities completed.
Other measures of success for the Pollution Prevention and Good Housekeeping Program are
described below.
• Documentation of Stormwater Program Activities: As a baseline measure of success,
staff will document completion of Work Plan program activities annually that
demonstrate successful fulfillment of BMPs associated with this program element. All
activities will be documented within CMSWS's Cityworks database.
• Improving Compliance: CMSWS will track the ratio of the number of deficiencies
observed at municipal facilities to the number of inspections conducted with a decrease
from the previous fiscal year serving as an indicator of success at improving compliance
at Phase II municipal facilities.
On an annual basis, CMSWS staff will evaluate the BMPs assigned to this program and assess
progress toward achieving the measurable goals from Table 23 and the measures of success
described above. Recommendations for improvement will be made as necessary. During the
following fiscal year, the program activities and BMPs will be modified as necessary based on
the results of this evaluation in order to ensure that the specific goals and objectives of the
Pollution Prevention and Good Housekeeping Program and SWMP are being effectively and
efficiently fulfilled. The evaluation will include an assessment of the effectiveness of BMPs in
use to reduce pollutants from municipally owned streets, roads, parking lots, catch basins, and
stormwater conveyance systems. This evaluation will be based on data received from the co-
permittees regarding costs and the estimated quantity of pollutants removed. CMSWS will
change the SWMP as necessary based on this annual evaluation and will work with the Phase II
jurisdictions/entities to ensure the timely implementation of these changes.
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SECTION 11: TMDL WATER QUALITY RECOVERY PROGRAM
A Water Quality Recovery Program has been developed and is currently being implemented for
addressing nonpoint source pollutant loadings associated with the Total Maximum Daily Loads
(TMDLs) approved by EPA for the receiving waters of the Phase II MS4 stormwater discharges
and/or waters downstream of these discharges. Section 3.5 of this document describes the
TMDLs applicable to Mecklenburg County Phase II jurisdictions and entities. The Program is
administered by CMSWS's Water Quality Program as described in the following Sections. The
purpose of this Program is to facilitate the implementation of activities within the scope of the
Phase II Permit's six (6) minimum measures to reduce the assigned Waste Load Allocations
(WLAs) for the stormwater pollutant of concern to the maximum extent practicable (MEP). This
Program is intended to meet the TMDL requirements of MS4 Permit number NCS000395.
11.1 Program Goals and Objectives
CMSWS establishes its goals and objectives for its TMDL Program, which are evaluated and
updated annually as necessary, based on the actions necessary to effectively address the
pollutant(s) of concern in the applicable TMDL and to address the targeted pollutants and
pollutant sources identified in Table 9. The goal of the TMDL Program is to reduce levels of the
pollutant(s) of concern to the MEP in accordance with approved WLAs assigned to stormwater
in the approved TMDL. The current objectives of the program are as follows:
1. Develop and implement appropriate structural and/or non-structural BMPs to reduce
nonpoint source loading for the pollutant(s) of concern to the MEP in the TMDL
watersheds.
2. Assess the effectiveness of existing BMPs and identify and implement additional
measures as necessary to address impaired waters. Incorporate additional measures into
the SWMP and annual Work Plan for implementation.
3. Submit a report to NCDEQ annually describing activities completed in the
implementation of existing BMPs as well as the results of the annual assessment and
additional BMPs that have been identified for implementation, including a brief
explanation as to how the BMPs will address impaired waters.
Part II, Section H of Mecklenburg County's Phase II Permit requires compliance with TMDLs
applicable to the receiving waters for MS4 discharges from the Phase II jurisdictions and/or
waters downstream of these discharges. To comply with this requirement, CMSWS evaluates
the current 305(b) report and 303(d) list for N.C. at least annually and identifies those impaired
waters with an approved TMDL applicable to Mecklenburg County's Phase II jurisdictions. For
these applicable TMDLs, CMSWS develops and implements strategies and tailored BMPs to
reduce nonpoint source loading for the pollutants of concern to the MEP. These strategies and
BMPs are evaluated annually for effectiveness and modified as necessary. While improved
water quality is the expected outcome, the Phase II Permit obligation is to reduce nonpoint
source pollutant loading to the MEP. The Phase II jurisdictions are not responsible for attaining
water quality standards at the ambient monitoring stations. Attaining the water quality standards
will only be achieved through reduction from the MS4, along with reductions from other
pollutant contributors.
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11.2 BMP Summary Table
Table 31 describes the BMPs implemented as part of the TMDL Program.
Table 31: BMP Summary Table for the TMDL Program
A B C D
E
County
County Activities
BMP
No.
Work
Plan
Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
Total Maximum Daily Load (TMDL) Program (Permit Ref. Section H.1 through 6; Part II Section A.4, 5 and 7): Implement a program to
reduce levels of the pollutant of concern in accordance with approved Waste Load Allocation (WLAs) assigned to stormwater in an approved
TMDL.
#40
IW-1
Evaluate Impaired Waters
(Evaluate
Identify those
a. Complete an evaluation of the latest
Annually
Completion
None.
Impaired
impaired
version of the 303(d) list and the
beginning July
status
Waters)
waters with an
integrated 305(b) and 303(d) reports.
1
approved
Identify all changes to designations in
TMDL in
Mecklenburg County.
b. Identify and review all TMDLs that have
Annually
Completion
Mecklenburg
County that
been developed and approved by EPA for
beginning July
status
have a waste
receiving waters in Mecklenburg County.
1
load allocation
c. Complete annual report detailing
Annually
Completion
assigned to
activities completed and summarizing
beginning July
status
stormwater.
findings. Include in report for PD-1.
1
#41
IW-2
Water Quality Recovery Plans for TMDLs
(WQRPs
Develop and
a. Based on the results from IW-1 above,
Annually
Completion
None.
for
implement
identify those TMDL waters in
beginning July
status
TMDLs)
Water Quality
Mecklenburg County with a waste load
1
Recovery Plans
allocation assigned to stormwater. Work
(WQRPs) to
with Charlotte Stormwater on a
reduce non-
compliance strategy for these waters.
b. Develop WQRPs for the waters from "a"
Annually
Completion
point source
pollutant
above that are the responsibility of
beginning July
status
loading to the
Mecklenburg County, including
1
maximum
structural and/or non-structural BMPs
extent
and a brief explanation as to how the
practicable
programs, controls, partnerships, projects
(MEP) for
and strategies address impaired waters.
TMDL waters
c. Incorporate BMPs from "b" above into
Annually
Completion
with a waste
Work Plans for implementation.
beginning July
status
load allocation
1
assigned to
d. Complete annual report detailing
Annually
Completion
stormwater.
activities completed and summarizing
beginning July
status
findings. Include in report for PD-1.
1
#42
IW-2
Assess Effectiveness of Water Quality Recovery Plans for TMDLs
(WQRPs
Assess the
a. Identify and assess the effectiveness of
Annually
Completion status
None.
for
effectiveness
existing programs, controls,
beginning
TMDLs)
of structural
partnerships, projects, and strategies for
July 1
and non-
all TMDL waters identified in IW-2
structural
above.
BMPs at
b. Based on the results from "a" develop
Annually
Completion status
addressing
additional structural and non-structural
beginning
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A B C D
E
County
County Activities
BMP
No.
Work
Plan
Description of
Schedule for
Annual
Co-Permittee
Code
BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
TMDL waters
BMPs as necessary to reduce non -point
July 1
with a waste
source pollutant loading to the
load allocation
maximum extent practicable (MEP).
assigned to
c. Incorporate BMPs from "b" above into
Annually
Completion status
stormwater and
Work Plans for implementation.
beginning
modifying as
July 1
necessary.
d. Complete annual report detailing
Annually
Completion status
activities completed and summarizing
beginning July
findings, including a description of the
1
effectiveness of existing structural
and/or non-structural BMPs and a brief
explanation as to how the existing
programs, controls, partnerships,
projects and strategies address impaired
waters as well as whether additional
BMPs are necessary and when they will
be implemented. Include in report for
PD-1.
11.3 TMDL Pollutants of Concern
The following sub -sections describe the pollutants of concern for those TMDLs where
Mecklenburg County is assigned as the lead in Table 3, including portions of the Rocky River,
Lake Wylie and Goose Creek. The pollutants of concern for those TMDLs where the City of
Charlotte is assigned as the lead in Table 3 are described in their NPDES MS4 TMDL Watershed
Plan, which is available through their Phase I contact.
11.3.1 Fecal Coliform TMDLs
Fecal coliform bacteria are present in the intestines of humans as well as warm- and cold-
blooded animals. Fecal coliform themselves are usually harmless but serve as indicators of the
presence of pathogenic bacteria. Fecal coliform in surface waters can originate from many point
and nonpoint sources, including but not limited to wildlife, pet waste, failing septic systems,
cross connections resulting in dry weather flow in stormwater outfalls, sanitary sewer overflows
(SSOs), sewer exfiltration, and permitted discharges such as wastewater treatment plants
(WWTPs). The control of fecal coliform is necessary for protection of human health. The NC
in -stream standard for fecal coliform is a 30-day geometric mean of 200 colonies/100 ml or a
daily maximum value of 400 colonies/100 mL (15A NCAC 2B .0211 (3)(e)). Due to a greater
than 10% exceedance of the 400 colonies/100 ml standard, a fecal coliform TMDL was
developed and subsequently approved for the Rocky River effective September 19, 2002 and for
Goose Creek effective July 8, 2005. The TMDL for the Rocky River established reductions in
fecal coliform load allocations for nonpoint sources in wet weather conditions as follows: high
density development at 91%, low density development at 91%, livestock grazing at 86%, and
manure application at 80%. Reductions in load allocations for nonpoint sources in dry weather
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conditions are as follows: high density development at 33%, low density development at 33%,
livestock grazing at 30%, and manure application at 30%. The TMDL for Goose Creek
established reductions in fecal coliform load allocations for nonpoint sources at 92.5%.
11.3.2 Nutrient TMDL
High concentrations of nitrogen and phosphorus in surface waters can degrade aquatic
environments, resulting in excessive algal growth, decreased dissolved oxygen concentrations,
and stressed aquatic biota. Elevated nutrient levels are often associated with point and nonpoint
pollution sources, including but not limited to agriculture, urban runoff, and permitted discharges
such as WWTPs. The monitoring and control of nutrients is therefore necessary to limit algal
growth that can degrade water quality. Chlorophyll -a concentration is currently utilized as a
proxy parameter for monitoring nutrient levels in surface waters, as water quality standards have
not been established for nitrogen and phosphorus. NCDEQ regulates nutrient concentrations
through a Chlorophyll -a standard of 40 ug/l.
In a 1992 Report by NCDEQ and the S.C. Department of Health and Environmental Control
(Report # 92-04), eutrophic conditions were documented in Lake Wylie and several of its major
tributaries. In response, NC developed a point and nonpoint source nutrient control strategy for
the Lake Wylie Watershed. For point sources, the strategy required state-of-the-art nutrient
removal for all new or expanded wastewater discharges in the vicinity of the lake. In addition,
existing facilities on tributaries to the three (3) most highly eutrophic arms of the lake, including
the South Fork, Catawba Creek and Crowders Creek, were required to meet stringent nutrient
removal requirements. For nonpoint sources, the strategy included the targeting of funds from
the State's Agricultural Cost Share Program for the reduction of nonpoint source pollution for
implementation of BMPs on agricultural lands to highly impacted watersheds on Lake Wylie.
The strategy subsequently was approved for implementation as a TMDL by EPA effective
February 5, 1996. The TMDL does not include a WLA assigned to stormwater.
11.3.3 Mercury TMDL
In 2012, NCDEQ developed a statewide mercury TMDL to determine how wastewater
discharges, including in -state and out-of-state air sources, contribute to the surface water
mercury loading. This TMDL acknowledged that most mercury in stormwater comes from
atmospheric deposition and that concentrations are typically within the same range as mercury
concentrations in rainwater, which is between zero and 10 ug/l. This TMDL does not include a
WLA assigned to stormwater; therefore, there is not an NPDES MS4 Permit obligation to reduce
non -point source pollutant loading. For this reason, TMDL compliance measures for this TMDL
are not included in this SWMP.
11.4 Watershed Characteristics
The following sub -sections describe the characteristics for those TMDL watershed where
Mecklenburg County is assigned as the lead in Table 3, including portions of the Rocky River,
Lake Wylie and Goose Creek. The watershed characteristics for those TMDLs where the City of
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Charlotte is assigned as the lead in Table 3 are described in their NPDES MS4 TMDL Watershed
Plan, which is available through their Phase I contact.
11.4.1 Rocky River Watershed
The Rocky River Watershed (Assessment Unit 13-17a) is located in the Yadkin/Pee Dee River
Basin in the northeast corner of Mecklenburg County and extends into portions of Iredell and
Cabarrus Counties. Table 32 includes information regarding the watershed. Figure 14 illustrates
the location of the Rocky River Watershed in relation to Mecklenburg County. Figure 15
illustrates the TMDL waters, stormwater outfalls and monitoring sites in the Rocky River
Watershed in Mecklenburg County. Figure 16 illustrates the land uses in this watershed.
Table 32: Information Regarding the Rocky River Watershed in Mecklenburg Count
Watershed Area
1.16 square miles or 747 acres in the Rocky River Basin (Upper Pee Dee).
Stream Length
Approximately 1.19 main channel miles
Stream
Class C: Protected for secondary recreation, fishing, aquatic life, including
Classification
propagation and survival, and wildlife.
Predominant
Residential = 426.92 acres, 57% of watershed
Undeveloped - Vacant = 211.26 acres, 28% of watershed
Land -Uses
Open S ace - Recreation = 55.45 acres, 7% of watershed
Agriculture = 29.2 acres, 3% of watershed
Topography
Highest elevation = 828 feet MSL. Lowest Elevation = 636 feet MSL.
Generally, watershed topographic features have moderate slopes of 2-8%, with
some slopes exceeding 15%. General aspect of existing topographic features is
north, northeast, and east.
Vegetation
Vegetation is a mix of hardwood forested areas, scrub shrub understory, with
warm season grasses associated with open areas and suburban type
development.
Climate
Monthly mean temperatures range from 40.1 °F to 78.5°F, with approximately
237 days of growing season (above 32°F); including a yearly annual mean total
precipitation of 42 inches.
Hydrology
Hydrology follows a typical dendritic drainage pattern typified by most
piedmont areas.
Geology
Watershed is primarily underlain by Granitic Rock (0.7 sq. miles)
(Devonian/Ordovician Age). The remaining geologic formations consist of
Gabbro of Concord Plutonic Suite (0.32 sq. miles) (Devonian/Ordovician Age)
and Metamorphosed Quartz Diorite (0.15 sq. miles) (Paleozoic/Late Proterozoic
Age).
NPDES
Mecklenburg County — (stormwater)
Dischargers
Soils
Pacolet sandy loam 15 to 35 percent slopes is the primary soil type within the
watershed. Other major soil types include: Chewacia sandy loam 0 to 2 percent
slo es and Cecil sandy clay loam 8 to 15 percent slopes, moderately eroded.
Population
12010 U.S. Census Data identified the watershed population to be 4,952. The
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majority of the watershed consisted of 1 Census tract and 2 Block Groups.
Aquatic Species
Typical piedmont aquatic species including several varieties of caddisflies,
mayflies and stoneflies, terrestrial insects, fish, amphibians, mussels, snails and
otherspecies.
rStormwater
4
falls
Charlotte -Mecklenburg Watersheds
N
- Rocky River Watershed
Figure 14: Location of the Rocky River Watershed in Relation to Mecklenburg County
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Rocky River Watershed
~ Rocky River TMDL - Fecal Coliform (Mecklenburg County)
N Stormwater Outfalls
A Current MCSWS Monitoring Station
Roadways
Streams
0 0.5 1 7-1 Rocky River TMDL Watershed in Mecklenburg County
Miles
QRocky River Watershed
Figure 15: TMDL Waters, Outfalls and Monitoring Sites in the Rocky River Watershed in
Mecklenburg County
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Rocky River Watershed
N
0 0.5 1
Miles
L
Rocky River TMDL -Fecal Coliform (Mecklenburg County)
M^— Streams
Rocky River Land Use
Agriculture
Single Residential
Open Space or Recreation Use
Undeveloped
Rocky River TMDL Watershed in Mecklenburg County
Figure 16: Land uses in the Rocky River TMDL Watershed in Mecklenburg County
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11.4.2 Goose Creek Watershed
The Goose Creek Watershed is located in the Yadkin/Pee Dee River Basin in southeastern
Mecklenburg County and extends into portions of Union County. Table 33 includes information
regarding the watershed. Figure 17 illustrates the location of the Goose Creek watershed in
relation to Mecklenburg County. Figure 18 illustrates the TMDL waters, stormwater outfalls and
monitoring sites in the Goose Creek Watershed in Mecklenburg County. Figure 19 illustrates the
land uses in this watershed.
Table 33: Information Regarding the Goose Creek Watershed in Mecklenburg County
Watershed Area
11.23 square miles or 7,189.96 acres in the Rocky River Basin Pee Dee).
Stream Length
Approximately 28.03 main channel miles
Stream
Class C: Protected for secondary recreation, fishing, aquatic life, including
Classification
ro a ation and survival, and wildlife.
Predominant Land-
Residential = 3,224.47 acres, 44% of watershed
Undeveloped - Vacant = 1,818.22 acres, 25% of watershed
Uses
Agriculture = 803.57 acres, 11% of watershed
Open Space - Recreation = 565.62 acres, 7% of watershed
Topography
Highest elevation = 794 feet MSL Lowest Elevation = 552 feet MSL.
Generally, watershed topographic features have moderate slopes of 0-5%,
with some slopes exceeding 10%. Overall, general aspect of existing
topographic features is south, southwest and east.
Vegetation
Vegetation is a mix of hardwood forested areas, agriculture (row crops and
ha and warm season grasses associated with suburban development.
Climate
Monthly mean temperatures range from 40.1°F to 78.5°F, with
approximately 237 days of growing season (above 32°F); including a
yearly annual mean total precipitation of 42 inches.
Hydrology
Hydrology follows a typical dendritic drainage pattern typified by most
piedmont areas.
Geology
Watershed is underlain primarily by Metavolcanic Rock (9.2 sq. miles)
(Cambrian/Late Proterozoic Age). The remaining geologic formations
consist of Granitic Rock (1.29 sq. miles) (Devonian/Ordovician Age) and
Ph llite and Schist 0.64 sq. miles Cambrian/Late Proterozoic Age).
NPDES Dischargers
Oxford Glen WWTP: 15349 Bexley Place (0.075 mgd)
Ashe Plantation WWTP: Quarters Lane (0.154 mgd)
Country Woods WWTP: Country Woods Drive (1.036 mgd)
Fairfield Plantation WWTP: Stoney Ridge Rd (0.108 mgd)
Mint Hill and Mecklenburg County (stormwater)
Stallings (stormwater)
Indian Trail (stormwater)
Soils
Cecil sandy clay loam 2 to 8 percent slopes, moderately eroded is the
primary soil type within the watershed. Other major soil types include:
Cecil sandy clay loam 8 to 15 percent slopes, moderately eroded and
Helena sandy loam, 2 to 8 percent slopes.
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Population
2010 U.S. Census Data identified the watershed population to be 9,053.
The majority of the watershed consisted of 3 Census tracts and 5 Block
Grou s.
Aquatic Species
Typical piedmont aquatic species including several varieties of caddisflies,
mayflies and stoneflies, terrestrial insects, fish, amphibians, mussels, snails
and otherspecies.
# Stormwater
183
Outfalls
Charlotte -Mecklenburg Watersheds
N
- Goose Creek Watershed
Figure 17: Location of the Goose Creek Watershed in Mecklenburg
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Goose Creek Watershed
N
"Goose Creek TMDL - Fecal Coliform (Mecklenburg County)
0 0.5 1 Stormwater Outfalls
Miles 0 Current MCSWS Monitoring Station
Roadways
-ti-- Streams
QGoose Creek Watershed
Figure 18: TMDL Waters, Outfalls and Monitoring Sites in the Goose Creek Watershed in
Mecklenburg County
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Goose Creek Watershed
"Goose Creek 7MGL - Fecal Coliform (Mecklenburg County)
— Streams
NGoose
Creek Land Use
Agriculture
Commerical Use
Mixed Use - Residential & Non -Residential
Industrial
-
Single Residential
0 �.rJ 1Multi-Family
Residential
� Miles
Open Space or Recreation Use
Utility
Undeveloped
Q Goose creek watershed
Figure 19: Land uses in the Goose Creek TMDL Watershed in Mecklenburg County
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11.4.3 Lake Wylie Watershed
The Lake Wylie Watershed (Assessment Unit 13-17a) is located in the Catawba River Basin in
the southwestern corner of Mecklenburg County and extends into portions of Gaston County in
N.C. and York County in S.C. Table 34 includes information regarding the watershed. Figure
20 illustrates the location of the Lake Wylie watershed in relation to Mecklenburg County.
Figure 21 illustrates the TMDL waters, stormwater outfalls and monitoring sites in the Lake
Wylie TMDL watershed in Mecklenburg County. Figure 22 illustrates the landuses in this
watershed.
Table 34: Information Regarding the Lake Wylie Watershed in Mecklenburg County
Watershed Area
50 square miles or 32,444 acres in the Upper Catawba Basin (Santee).
Stream Length
Approximately 100.49 main channel miles
Stream
WS-V: Protected for water supply.
Classification
Class B: Protected for primary recreation activities involving human body
contact.
Class C: Protected for secondary recreation, fishing, aquatic life, including
propagation and survival, and wildlife.
Predominant Land-
Undeveloped - Vacant = 9,879.21 acres, 30% of watershed
Residential = 8,183.81 acres, 25% of watershed
Uses
Open Space - Recreation = 3,041.94 acres, 9% of watershed
Commercial = 2,072.48 acres, 6% of watershed
Topography
Highest elevation = 826 feet MSL. Lowest Elevation = 548 feet MSL.
Generally, watershed topographic features have moderate slopes of 0-10%,
with some slopes exceeding 20%. Overall, general aspect of existing
topographic features is south to southwest.
Vegetation
Vegetation is a mix of hardwood forested areas, scrub shrub understory,
with warm season grasses associated with open areas and suburban type
development.
Climate
Monthly mean temperatures range from 40.1 °F to 78.5°F, with
approximately 237 days of growing season (above 32°F); including a
yearly annual mean total precipitation of 42 inches.
Hydrology
Hydrology follows a typical dendritic drainage pattern typified by most
piedmont areas.
Geology
Watershed is underlain primarily by Metamorphosed Mafic Rock (38 sq.
miles) (Paleozoic/Late Proterzoic Age). The remaining geologic
formations consist of Granitic Rock (4.5 sq. miles) (Devonian/Ordovician
Age) and Gabbro of Concord Plutonic Suite (3.9 sq. miles)
Devonian/Ordovician Age).
NPDES Discharges
Mariners Watch WWTP — (<Imgd)
The Hideaways WWTP — (<Imgd)
Queens Harbor WWTP — (<Imgd)
Riverpointe WWTP — (<Imgd)
Harbor Estates WWTP — (<Imgd)
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Truetzschler Remediation Site — (Goundwater Remediation Discharge)
Berryhill Elementary School WWTP — (<lmgd)
Gough Econ WWTP — (<lmgd)
Charlotte/Paw Creek Terminal #1 — (Industrial Process & Commercial
Wastewater Discharge)
Charlotte Terminal (Outfall 009) — (Industrial Process & Commercial
Wastewater Discharge)
Charlotte Terminal 3 — (Industrial Process & Commercial Wastewater
Discharge)
Charlotte/Southern Facilities Terminal — (Industrial Process & Commercial
Wastewater Discharge)
City of Charlotte — (Stormwater Discharge)
Mecklenburg County — (Stormwater Discharge)
Soils
Cecil sandy clay loam 2 to 8 percent slopes, moderately eroded and Cecil
sandy clay loam 8 to 15 percent slopes are the primary soil type within the
watershed. Other major soil types include Mecklenburg fine sandy loam 2
to 8 percent slopes, Pacolet sandy loam 15 to 25 percent slopes, and
Monacan loam 0 to 2 percent slopes frequently flooded.
Population
2010 U.S. Census Data identified the watershed population to be 34,444.
The majority of the watershed consisted of 11 Census tracts and 19 Block
Grou s.
Aquatic Species
Typical piedmont aquatic species including several varieties of caddisflies,
mayflies and stoneflies, terrestrial insects, fish, amphibians, mussels, snails
and otherspecies.
# Stormwater
233
Outfalls
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Charlotte -Mecklenburg Watersheds
N
® Lake Wylie Watershed
Figure 20: Location of Lake Wylie Watershed in Mecklenburg County
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Lake Wylie Watershed
LW 9
LW8
LW M
•
LY1111 •
d
LY912
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-
■ 1 ■ Historical MC SW S Monitoring Stations
G 1 2 LWi Roadways
mmmmw:::� 1Ies * Streams
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Figure 21: TMDL Waters, Outfalls and Monitoring Sites in the Lake Wylie Watershed in
Mecklenburg County
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Lake Wylie Watershed
N
0 1 2
mommo=:= Miles
TN (Mecklenburg County)
& Non -Residential
Single Residential
Multi -Family Residential
Open Space or Recreation Use
Commercial Transportation
Utility
Undeveloped
Water
Lake Wylie Watershed
Figure 22: Land uses in the Lake Wylie TMDL Watershed in Mecklenburg County
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11.5 Public Information and Notification
The Public Information and Notification component is designed to provide citizens and
businesses with access to information about TMDLs that affect the City of Charlotte and
Mecklenburg County and the methods that will be used to reduce the TMDL pollutants of
concern. The public is notified about the TMDLs and the TMDL compliance efforts in
Mecklenburg County as follows:
• The CMSWS website contains information about the City and County's TMDLs, the
TMDL pollutants of concern, TMDL compliance efforts, and how the public can report
water pollution problems and become engaged in volunteer opportunities.
• The County's Phase II annual report is posted on the CMSWS website and will provide a
summary of the activities conducted under the TMDL watershed plan.
11.6 Implementation Team
City and County staff from CMSWS will serve as the primary implementation team for TMDL
compliance efforts. Staff from other affected agencies that conduct activities in the TMDL
watershed will also be included as necessary. The following staff positions with CMSWS were
identified as key members of the TMDL team:
• County Environmental Manager
• County Environmental Supervisor
• County Environmental Analyst
• County Environmental Specialist I, II, III
• City Environmental Manager
• City Water Quality NPDES Supervisor
• City Water Quality NPDES Administrator
• City Land Development Erosion Control Administrator
• City Water Quality Public Information Specialist
• City Water Quality Modeler
• City Water Quality Planner
• City Water Quality Senior Specialist
• City Water Quality Post -Construction Administrator
• City Stormwater MS4 Inventory Supervisor
• City Utility Department Sanitary Sewer System Administrator
11.7 MS4 Major Stormwater Outfalls in the TMDL Watersheds
The major stormwater outfalls in the TMDL watersheds where Mecklenburg County is the lead,
including portions of the Rocky River, Goose Creek and Lake Wylie, have been identified
through MS4 inventory collection activities and are illustrated in Figures 15, 18 and 21,
respectively. The number of outfalls recorded in each watershed is shown in Table 35. These
outfalls are available in a GIS layer in CMSWS's Cityworks database along with stormwater
inlets. The schedule to discover additional major outfalls is described in Section 7.4 of this
document. The major stormwater outfalls in the TMDL watersheds where the City of Charlotte
is the lead are described in their NPDES MS4 TMDL Watershed Plan, which is available
through their Phase I contact.
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Table 35: Number of Outfalls in each TMDL Watershed
Watershed
Number of Outfalls
Rocky River
4
Goose Creek
183
Lake Wylie
233
Total
420
11.8 Existing BMP Measures
As discussed in Section 11.3, the primary pollutants of concern for the TMDL watersheds where
Mecklenburg County is the lead are fecal coliform bacteria, chlorophyll -a and mercury. Since
the Statewide mercury TMDL does not have a WLA assigned to stormwater there is not an
NPDES MS4 Permit obligation to reduce non -point source pollutant loading. For this reason,
TMDL compliance measures for this TMDL are not included in this SWMP. For fecal coliform
bacteria and chlorophyll -a, CMSWS has reviewed existing strategies and BMPs within the scope
of the six (6) minimum Phase II Permit compliance measures and has identified those BMPs
identified in the following subsections as suitable for best addressing those waters impaired due
to these pollutants of concern. All the strategies and BMPs described below are currently being
implemented in the Phase I and Phase II jurisdictions in Mecklenburg County.
11.8.1 Public Education & Outreach
The following existing public education and outreach activities have been identified as suitable
for addressing the pollutants of concern in the TMDL watersheds. These BMPs will address
impaired waters by informing the community of the impacts of the pollutants of concern on
water bodies and the steps that the public can take to reduce these pollutants. Previous sections
of this document are referenced below for additional information regarding each activity.
1. Utility Bill Inserts (see Section 5.4.1)
2. Brochures, Environmental Notices and Newsletters (see Section 5.4.2)
3. Print Ads (see Section 5.4.3)
4. Media Campaign (see Section 5.4.4)
5. Social Media (see Section 5.4.5)
6. Targeted Outreach (see Section 5.4.6)
7. Workshops and Video Taped Messages (see Section 5.4.7)
8. Web Pages (see Section 5.4.8)
9. Educational Presentations and Public Events (see Section 5.4.9)
10. Regional Stormwater Partnership (see Section 5.4.10)
11. Stormwater Helpline (see Section 5.3)
11.8.2 Fats, Oils and Grease Program
The City's water and sewer utility department (Charlotte Water) maintains a public education
program focused on keeping food related fats, oils, and grease from being discharged to the
sanitary sewer system. This effort helps to reduce clogging and blockages in the system and
prevent SSOs, which can introduce fecal coliform and other pollutants to water bodies.
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11.8.3 Public Involvement and Participation
The following existing public involvement and participation activities have been identified as
suitable for addressing the pollutants of concern in the TMDL watersheds. These BMPs will
address impaired waters by involving the public in program development and implementation to
reduce the pollutants of concern. Previous sections of this document are referenced below for
additional information regarding each activity.
1. Adopt -A -Stream (see Section 6.4.3)
2. Storm Drain Marking (see Section 6.4.4)
3. Surface Water Clean Up Event (see Section 6.4.5)
11.8.4 Illicit Discharge Detection and Elimination (IDDE)
The following existing IDDE activities have been identified as suitable for addressing the
pollutants of concern in the TMDL watersheds. These BMPs will address impaired waters by
identifying and eliminating sources of the pollutants of concern. Previous sections of this
document are referenced below for additional information regarding each activity.
1. Storm Sewer System Mapping (see Section 7.4)
2. Pollution Control Ordinance (see Section 7.5)
3. Enforcement (see Section 7.6)
4. Citizen Requests for Service (see Section 7.7.1.1)
5. Routine Water Quality Monitoring Activities (see Section 7.7.1.2)
6. Volunteer Activities (see Section 7.7.1.3)
7. GIS Mapping (see Section 7.7.1.4)
8. Illicit Discharge Elimination Program (IDEP) (see Section 7.7.2.1)
9. Short Term Monitoring (see Section 7.7.2.2)
10. Hot Spot Investigations (see Section 7.7.2.3)
11. Stream Walks (see Section 7.7.2.4)
12. Facility Inspections (see Section 7.7.2.5)
13. Dry Weather Flow Investigations (see Section 7.7.2.6)
11.8.5 Sewer Use Ordinance
Implementation and enforcement of the Sewer Use Ordinance by Charlotte Water provides the
legal mechanism to ensure proper use and connection to the sanitary sewer system and correction
of problems and illegal practices. Ensuring that the system is used properly will help prevent
leaks and overflows as well as upsets at wastewater treatment plants thus helping control the
TMDL pollutants of concern.
11.8.6 Sanitary Sewer System Inspections and Maintenance
Charlotte Water conducts inspections and maintenance of various components of
the sanitary sewer system to ensure proper operating function and prevent leaks and overflows.
These include food service grease trap inspections, commercial oil/water separator inspections,
sanitary sewer line root control and cleaning, sewer line right-of-way clearing and maintenance,
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and lift station inspection and maintenance. Ensuring that the system is properly inspected and
maintained will help prevent leaks and overflows as well as upsets at wastewater treatment plants
thus helping control the TMDL pollutants of concern. In addition, CMSWS conducts periodic
inspections of private lift stations along the Catawba River lakes to ensure proper maintenance
and avoid spills. It also performs inspections of private sewer collection systems serving
multifamily communities where spills due to improper maintenance are common.
11.8.7 SSO Rapid Response
Charlotte Water maintains a rapid response program designed to quickly and efficiently respond
to sanitary sewer overflows, thus reducing the discharge of pollutants to the MEP and helping
control the TMDL pollutants of concern.
11.8.8 Construction Site Stormwater Runoff Control
The following existing construction site stormwater runoff control activities have been identified
as suitable for addressing the pollutants of concern in the TMDL watersheds. These BMPs will
address impaired waters by reducing discharges of pollutants of concern from construction sites.
Previous sections of this document are referenced below for additional information regarding
each activity.
1. Erosion Control Ordinance (see Section 8.3)
2. Erosion Control Plan Reviews (see Section 8.4)
3. Enforcement (see Section 8.5)
4. Inspections (see Section 8.6)
5. Erosion Control Hotline (see Section 8.7)
6. Erosion Control Education (see Section 8.8)
7. Government Projects (see Section 8.9)
11.8.9 Post -Construction Site Runoff Control
The following existing post -construction site runoff control activities have been identified as
suitable for addressing the pollutants of concern in the TMDL watersheds. These BMPs will
address impaired waters by reducing discharges of pollutants of concern from new development
and redevelopment projects. Previous sections of this document are referenced below for
additional information regarding each activity.
1. Post -Construction Stormwater Ordinance (see Section 9.3)
2. Compliance by Co-Permittees with Post -Construction Ordinance Requirements (see
Section 9.4)
3. Requirements for Non -Structural BMPs (see Section 9.5)
4. Requirements for Structural BMPs (see Section 9.6)
5. Natural Resource Protection (see Section 9.7)
6. Open Space Protection (see Section 9.8)
7. Tree Preservation (see Section 9.9)
8. Green Infrastructure Practices (see Section 9.10)
9. Operation and Maintenance (see Section 9.11)
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11.8.10 Pollution Prevention and Good Housekeeping
The following existing pollution prevention and good housekeeping activities have been
identified as suitable for addressing the pollutants of concern in the TMDL watersheds. These
BMPs will address impaired waters by reducing discharges of pollutants of concern from
municipal facilities and operations. Previous sections of this document are referenced below for
additional information regarding each activity.
1. Inventory of Municipal Operations (see Section 10.3)
2. Training (see Section 10.4)
3. Operation and Maintenance Programs, Spill Prevention and Spill Response (see Section
10.5)
4. Minimizing Pollution from Municipally Owned Streets, Roads and Parking Lots (see
Section 10.7)
5. Operation and Maintenance of Municipally Owned Storm Sewer System (see Section
10.8)
6. Management of Pesticide, Herbicide and Fertilizer Application (see Section 10.11)
7. Preventing or Minimizing Pollution from Vehicle and Equipment Cleaning Areas (see
Section 10.12)
8. Waste Disposal (see Section 10.13)
9. Flood Management Projects (see Section 10.14)
11.9 Water Quality Monitoring and Data Assessment
CMSWS conducts fixed interval stream monitoring (see Section 7.7.1.2) at identified locations
in or immediately downstream of the TMDL watersheds on a monthly basis as indicated in
Figures 15, 18 and 21. This monitoring is primarily used to determine water quality trends, and
to detect pollution problems in surface waters. Monitoring results that exceed threshold values
are referred for follow-up under the IDDE program. CMSWS also conducts routine lake
monitoring every other month during the calendar year as follows: January, March, May, July,
September, and November. Monitoring for fecal coliform bacteria is performed monthly during
the summer months from May through September. Data from this lake monitoring is used to
identify trends and to initiate watershed management strategies for restoring degraded water
quality conditions. CMSWS also maintains a Continuous Monitoring and Alert Notification
Network or CMANN that monitors surface waters at select sites in streams and lakes for
turbidity, dissolved oxygen, temperature, conductivity, and pH. All monitoring results that
exceed threshold values are referred for follow-up under the IDDE program.
11.9.1 Fecal Coliform Monitoring and Data Assessment for the Rocky River
As identified in Table 3, a section of the Rocky River in Mecklenburg County (AU Number 13-
17a) is subject to a fecal coliform TMDL with a WLA assigned to stormwater that was approved
on September 19, 2002. Mecklenburg County has been assigned responsibility for compliance
with this TMDL on behalf of the Phase I and Phase II jurisdictions in Charlotte -Mecklenburg.
Phase II Permit conditions required that a monitoring plan be developed for the Fecal Coliform
TMDL in the Rocky River Watershed unless a waiver was obtained from NCDEQ. Such a
waiver was obtained on June 26, 2014, based on the condition that Mecklenburg County
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continue to evaluate the land use and development within the watershed on an annual basis and if
additional stormwater infrastructure is installed or higher intensity land uses are constructed a
Monitoring Plan would be reconsidered. In response to this condition, CMSWS has obtained
impervious area and landuse data from the County GIS Department back to 2011 and continues
to update this data annually (see Table 36). To date, changes in the watershed are not significant
enough to warrant the establishment of a Monitoring Plan.
Table 36: Annual Anal sis of the Rocky River Watershed for the Monitoring Plan
Year
Residential
Impervious Cover
(acres)
Commercial
Impervious Cover
(acres)
Total
Impervious
Cover (acres)
Storm Water
Outfalls
(number)
2011
14.22
0.33
14.55
1
2012
14.22
0.33
14.55
1
2013
14.55
0.33
14.88
3
2014
14.88
0.33
15.21
3
2015
15
0.33
15.33
4
2016
15.1
0.33
15.43
4
2017
15.2
0.33
15.53
4
2018
15.69
0.33
16.02
4
2019
15.72
0.33
16.05
4
2020
15.72
0.33
16.05
4
2021
16.03
0.33
16.36
4
# Increase from 2011
1.81
0.00
1.81
3
% Increase from 2011
12.73%
0.00%
12.44%
300%
Although CMSWS does not perform monitoring in the Rocky River TMDL watershed, it obtains
monthly monitoring data collected by the NCDEQ, Division of Water Quality at Q7330000,
which is the specific monitoring location for this TMDL. CMSWS completed an analysis of the
fecal coliform data collected by the State in calendar year 2021, which is the most current data
available. The geometric mean concentration of these samples was 491.22 CFU/100 ml. This
represents an approximate 13.6% increase from the geometric mean concentration observed in
calendar year 2020 at 432.40 CFU/100 ml. Out of the 12 samples collected in 2021, seven
(58%) exhibited concentrations below 400 CFU/100 ml. The remaining five samples (42%)
exceeded the 400 CFU/100 ml threshold. The North Carolina Administrative Code (NCAC) 02B
Fresh Surface Water Quality Standards dictate that fecal coliform "shall not exceed a geometric
mean of 200 [CFU]/100 ml... nor exceed 400 [CFU]/100 ml in more than 20 percent of the
samples examined...".
11.9.2 Fecal Coliform Monitoring and Data Assessment for Goose Creek
As identified in Table 3, two (2) sections of Goose Creek in Mecklenburg County (AU Numbers
13-17-18a and 13-17-18b) are subject to a fecal coliform TMDL with a WLA assigned to
stormwater that was approved on July 8, 2005. According to the approved NC 2018 305(b)
report, the two (2) TMDL segments of Goose Creek are currently meeting the fecal coliform
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criteria. Mecklenburg County has been assigned responsibility for compliance with this TMDL
on behalf of the Phase I and Phase II jurisdictions in Charlotte -Mecklenburg. CMSWS
maintains a fixed interval monitoring site (MY9) at Stevens Mill Road where it crosses Goose
Creek in Union County. During FY2020, eight (8) of the 15 samples collected (53%) exhibited
concentrations at or below 400 CFU/100 ml. No pollution sources were identified as a result of
the water quality monitoring in the Goose Creek TMDL watershed in FY2020.
11.9.3 Chlorophyll -A Monitoring and Data Assessment for Lake Wylie
As identified in Table 3, two (2) sections of Lake Wylie in Mecklenburg County (AU Numbers
11-122 and 11-(I23.5)a) are subject to a chlorophyll -a TMDL approved on February 5, 1996 that
does not include a WLA assigned to stormwater. Mecklenburg County has been assigned
responsibility for compliance with this TMDL on behalf of the Phase I and Phase II jurisdictions
in Charlotte -Mecklenburg. Surface Water Quality Standards have not been established for
nitrogen and phosphorus. As a result, CMSWS utilizes Chlorophyll -a concentration as a proxy
parameter for monitoring nutrient levels in Lake Wylie. According to the approved NC 2018
305(b) report, the two TMDL segments of Lake Wylie are currently meeting the Chlorophyll -a
criterion of 40 micrograms per liter (µg/L). All 44 Chlorophyll -a samples collected by CMSWS
in Lake Wylie in 2020 were below 40 µg/1.
11.9.4 Mercury Monitoring and Data Assessment Statewide
As stated in sub -section 11.3.3, the State did not include an MS4 NPDES WLA for mercury in
their statewide TMDL; therefore, an analysis of mercury data is not included in this document.
11.9.5 Effectiveness of BMPs Based on Data Analysis
Every year in an annual report, CMSWS will report on the effectiveness of BMPs based on an
analysis of available water quality data. Based on data collected through the end of calendar
year 2021, a general improvement in water quality is identified; therefore, it is determined that
the current BMPs are effective at identifying and eliminating pollution sources in compliance
with TMDL requirements and that these BMPs will continue to be implemented in FY2022.
Additional structural and/or non-structural BMPs will be implemented as described in Section
11.10 to further enhance TMDL compliance.
11.10 Additional BMP Measures Implemented through FY2022
Over the past several years CMSWS has developed and implemented numerous BMP measures
in addition to those described in Section 11.8 in order to improve water quality conditions in the
TMDL watersheds by identifying and eliminating sources of the pollutant of concern. These
historic additional measures along with new measures proposed beginning in FY2022 are
described in the following subsections by TMDL watershed.
11.10.1 Additional BMP Measures in the Rocky River Watershed
During the fiscal years (FY) indicated below (July 1 through June 30), the following actions
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were completed to reduce fecal coliform bacteria levels and enhance water quality in the Rocky
River Watershed.
FY2015
1. In November 2014, approximately 250 trees were planted in the buffer at the Rocky
River Bluff Nature Preserve (Parcel Number 00307115) by a total of 31 volunteers
through a partnership between CMSWS, Mecklenburg County Park & Recreation
Department, and the Davidson Lands Conservancy. Partial funding for the event was
provided through an Urban Cost Share Grant. This enhanced buffer will provide
additional filtering for nonpoint source pollutants that will assist with TMDL pollutant
removal.
2. CMSWS completed a review of historic aerial imagery from the Rocky River Watershed,
which revealed that since 1993 an equestrian area had been located approximately one-
half mile upstream of monitoring site Q733 on the Mecklenburg County side of the
Rocky River. In recent years, a septic system was installed to treat wash water from a
stable located in this area. CMSWS performed monitoring upstream and downstream of
this potential source. Results indicate that the septic system was not a source of fecal
coliform bacteria.
FY2016
1. High resolution aerial imagery was evaluated, and no sources of fecal coliform bacteria
were identified.
2. Agricultural operations in the watershed, which are mainly horse farms, were evaluated
and no sources of fecal coliform bacteria were identified.
3. Health Department records were reviewed and only two (2) failed septic systems were
identified in the watershed between FY2009 and FY2016, which suggest that failing
septic systems are not a chronic problem in this area. Inspections were conducted where
these failing systems had been detected and no sources of fecal coliform bacteria were
identified.
4. The four (4) outfalls in the watershed were inspected and no evidence of dry weather
flows was observed. These inspections were documented in GIS using the ESRI app for
iPhone.
5. The Mecklenburg County Soil & Water Conservation District worked with the property
owner at 18005 Callaway Hills Lane in Davidson, N.C. to complete a stream bank
stabilization project immediately upstream of the first stormwater outfall shown in Figure
15. The cost of the project was $42,000 with the NC Ag Cost Share Program reimburse
the landowner $32,000, leaving the landowner portion at $10,000. The completion of
this project will reduce the sediment load in the stream, which will in -turn reduce fecal
coliform bacteria levels.
FY2017
1. The four (4) outfalls in the watershed were inspected and no evidence of dry weather
flows was observed. These inspections were documented in Cityworks.
2. On June 27, 2017, fecal coliform samples were collected from the Rocky River where it
enters and exits Mecklenburg County. Results indicated fecal coliform levels at 980 and
1020 colonies/100ml, respectively. This represents an insignificant increase.
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3. Health Department records were reviewed, and no failed septic systems were identified.
FY2018
1. Monthly water quality monitoring, including sampling for fecal coliform bacteria
continued at site MYIB (West Branch of the Rocky River at River Ford Drive) located
upstream of the TMDL watershed in Mecklenburg County. One Watch Level
exceedance for fecal coliform bacteria at 370 CFU/100 ml was detected on 12/12/17. No
pollution sources were identified as a result of this monitoring.
2. Health Department records were reviewed, and no failed septic systems were identified.
3. Major outfalls were inspected. No dry weather flows or pollution sources were detected.
4. Design plans are 100% complete for the restoration of a section of the Rocky River in the
TMDL water in Mecklenburg County. Construction is planned to begin in October 2018.
FY2019
1. Monthly water quality monitoring, including sampling for fecal coliform bacteria
continued at #MY 1 B located upstream of the Rocky River TMDL watershed. Sampling
results are described in Section 9.11.2.
2. Health Department records were reviewed, and no failed septic systems were identified.
FY2020
1. Monthly water quality monitoring, including sampling for fecal coliform bacteria,
continued at site MYIB (West Branch of the Rocky River at River Ford Drive) located
upstream of the TMDL watershed in Mecklenburg County. Monitoring results are
described in Section 11.9.1.
2. On January 3, 2020, Health Department records were reviewed, and no failed septic
systems were identified.
3. On December 29, 2019, the four (4) major outfalls in the Rocky River TMDL watershed
in Mecklenburg County were inspected. No dry weather flows or pollution sources were
detected.
4. In December 2019, design plans for the restoration of a two-mile section of West Branch
Rocky River were completed. Permitting activities for the restoration were subsequently
completed in June 2020. Construction activities are scheduled to begin in Fall 2020.
FY2021
1. NCDEQ, Division of Water Quality continued to conduct water quality monitoring,
including sampling for fecal coliform bacteria, at site Q7330000. Monitoring results are
described in Section 11.9.1.
2. On January 8, 2021 Health Department records were reviewed and no failed septic
systems were identified.
3. On December 9, 2020, the four (4) major outfalls in the Rocky River TMDL watershed in
Mecklenburg County were inspected. No dry weather flows or pollution sources were
detected.
4. In February 2021, the permitting and bidding activities associated with the restoration of
a 9,000-foot section of West Branch Rocky River were completed. Construction activities
began in May 2021 and are expected to be completed May 2022.
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2022
1. NCDEQ, Division of Water Quality continued to conduct water quality monitoring,
including sampling for fecal coliform bacteria, at site Q7330000. Monitoring results are
described in Section 3.2.
2. On October 7, 2021 Health Department records were reviewed and no failed septic
systems were identified.
3. On October 27, 2021, the four (4) major outfalls in the Rocky River TMDL watershed in
Mecklenburg County were inspected. No dry weather flows or pollution sources were
detected.
4. In April 2022, restoration activities for a 9,000-foot section of West Branch Rocky River
were completed. The project focused on the stabilization of stream banks, vegetation
enhancements, and stream conveyance improvements. The project is also expected to
result in an overall improvement of water quality.
11.10.2 Additional BMP Measures in the Goose Creek Watershed
During the fiscal years indicated below (July 1 through June 30), the following actions were
completed to reduce fecal coliform bacteria levels and enhance water quality in the Goose Creek
Watershed:
FY2012
1. Routine fixed interval monitoring was conducted monthly at sites MY-9 (Goose Creek —
Stevens Mill Road) and MY-14 (Duck Creek — Tara Oaks Lane). Monthly samples were
analyzed for 16 parameters including fecal coliform, E. Coli, and Enterococcus bacteria.
2. Continuous automated monitoring was conducted at site MY-9 for dissolved oxygen,
temperature, pH, conductivity, and turbidity. These measurements are collected every
hour 365 days per year.
3. Two (2) citizen requests for service were responded to in the watershed.
FY2013
1. Conducted feasibility study for a potential stream restoration project on Stevens Creek.
2. Routine fixed interval monitoring was conducted monthly at sites MY-9 (Goose Creek —
Stevens Mill Road) and MY-14 (Duck Creek — Tara Oaks Lane). Monthly samples were
analyzed for 16 parameters including fecal coliform, E. Coli, and Enterococcus bacteria.
3. Continuous automated monitoring was conducted at site MY-9 for dissolved oxygen,
temperature, pH, conductivity, and turbidity. These measurements are collected every
hour 365 days per year.
4. One (1) citizen request for service was responded to in the watershed.
FY2014
1. Property easement acquisition began to facilitate a stream restoration project on Stevens
Creek from I-485 to Thompson Road and an unnamed tributary from Stevens Creek
mainstem to Cheval Lane.
2. Routine fixed interval monitoring was conducted monthly at sites MY-9 (Goose Creek —
Stevens Mill Road) and MY-14 (Duck Creek — Tara Oaks Lane). Monthly samples were
analyzed for 16 parameters including fecal coliform, E. Coli, and Enterococcus bacteria.
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3. Continuous automated monitoring was conducted at site MY-9 for dissolved oxygen,
temperature, pH, conductivity, and turbidity. These measurements are collected every
hour 365 days per year.
4. Three (3) citizen requests for service were responded to in the watershed.
FY2015
Property easement acquisition continued to facilitate a stream restoration project on
Stevens Creek from I-485 to Thompson Road and an unnamed tributary from Stevens
Creek mainstem to Cheval Lane.
2. Stantec Engineering retained to begin design of the Stevens Creek stream restoration
project.
3. Routine fixed interval monitoring was conducted monthly at sites MY-9 (Goose Creek —
Stevens Mill Road) and MY-14 (Duck Creek — Tara Oaks Lane). Monthly samples were
analyzed for 16 parameters including fecal coliform, E. Coli, and Enterococcus bacteria.
4. Continuous automated monitoring was conducted at site MY-9 for dissolved oxygen,
temperature, pH, conductivity, and turbidity. These measurements are collected every
hour 365 days per year.
5. Four (4) citizen requests for service were responded to in the watershed.
FY2016
1. Two (2) animal operations with direct access to surface waters were located during the
assessments. Bacteria samples collected at these sites were below action thresholds.
2. Routine fixed interval monitoring was conducted monthly at sites MY-9 (Goose Creek —
Stevens Mill Road) and MY-14 (Duck Creek — Tara Oaks Lane). Monthly samples were
analyzed for 16 parameters including fecal coliform, E. Coli, and Enterococcus bacteria.
3. Continuous automated monitoring was conducted at site MY-9 for dissolved oxygen,
temperature, pH, conductivity, and turbidity. These measurements are collected every
hour 365 days per year.
4. Two (2) NPDES wastewater Permits (Oxford Glen — Stevens Creek and Ashe Plantation
— Duck Creek) in the Goose Creek watershed came up for renewal during FY16. County
staff reviewed and provided comments to State staff on the draft Permits.
5. Sediment toxicity monitoring was conducted at one (1) location on Stevens Creek and
two locations on Duck Creek.
6. Design and permitting are underway for the restoration of 2.3 miles of Stevens Creek
from I-485 to Thompson Road and an unnamed tributary from Stevens Creek to Cheval
Lane.
7. Four (4) citizen requests for service were responded to in the watershed.
FY2017
1. 28.03 stream miles were physically assessed in the watershed to identify sources of fecal
coliform bacteria. During these assessments, 88 stormwater outfalls were inspected, and
168 fecal coliform bacteria samples were collected and analyzed. 15 of the samples
collected had elevated concentrations of bacteria which initiated follow-up investigations.
No direct sources of fecal coliform bacteria could be determined. As a result, genetic
microbial source analysis (MST) was conducted at four (4) locations. One (1) location
indicated the presence of human sourced bacteria and one location indicated the presence
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of canine sourced bacteria. Trace amounts of bird and ruminant sourced bacteria were
observed in three (3) of the four (4) sample locations. Follow up investigations for the
human sourced bacteria did not reveal any pollution sources.
2. Routine fixed interval monitoring was conducted monthly at sites MY-9 (Goose Creek —
Stevens Mill Road) and MY-14 (Duck Creek — Tara Oaks Lane). Monthly samples were
analyzed for 16 parameters including fecal coliform, E. Coli, and Enterococcus bacteria.
3. Continuous automated monitoring was conducted at site MY-9 for dissolved oxygen,
temperature, pH, conductivity, and turbidity. These measurements are collected every
hour 365 days per year.
4. Health Department records were reviewed, and no failed septic systems were identified.
5. Design and permitting are underway for the restoration of 2.3 miles of Stevens Creek
from I-485 to Thompson Road and an unnamed tributary from Stevens Creek to Cheval
Lane.
6. Three (3) citizen requests for service were responded to in the watershed.
FY2018
1. Routine fixed interval monitoring was conducted monthly at sites MY-9 (Goose Creek —
Stevens Mill Road) and MY-14 (Duck Creek — Tara Oaks Lane). Monthly samples were
analyzed for 16 parameters including fecal coliform, E. Coli, and Enterococcus bacteria.
2. Continuous automated monitoring was conducted at site MY-9 for dissolved oxygen,
temperature, pH, conductivity, and turbidity. These measurements are collected every
hour 365 days per year.
3. Health Department records were reviewed, and no failed septic systems were identified.
4. On October 3, 2017 and February 28, 2018, a high -resolution aerial infrared survey was
completed of 192 acres in the Goose Creek watershed off of Fairington Oaks Drive in
Mint Hill. The purpose of this survey was to identified heat signatures indicating
potential failing septic systems as a source of fecal coliform bacteria. Results from the
survey were inconclusive. No pollution sources were detected.
FY2019
1. Routine fixed interval monitoring was conducted monthly at sites MY-9 (Goose Creek —
Stevens Mill Road) and MY-14 (Duck Creek — Tara Oaks Lane). Monthly samples were
analyzed for 16 parameters including fecal coliform, E. Coli, and Enterococcus bacteria.
Monitoring results are described in Section 11.9.2.
2. Continuous automated monitoring was conducted at site MY-9 for dissolved oxygen,
temperature, pH, conductivity, and turbidity. These measurements are collected every
hour 365 days per year.
3. Health Department records were reviewed, and no failed septic systems were identified.
4. Beginning on November 1, 2018 and concluding on May 16, 2019, stream walk activities
were completed in the Goose Creek TMDL watershed, including extensive monitoring
for fecal coliform bacteria. No pollution sources were detected.
FY2020
1. Routine fixed interval monitoring was conducted monthly at sites MY-9 (Goose Creek —
Stevens Mill Road) and MY-14 (Duck Creek — Tara Oaks Lane). Monthly samples were
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analyzed for 16 parameters including fecal coliform and E. coli. Monitoring results are
described in Section 11.9.2.
2. Beginning on November 1, 2019 and concluding on April 28, 2020, CMSWS staff
walked approximately 60.97 stream miles in the Phase II jurisdictions, including 21.57 in
the Towns and 39.4 miles in the ETJ areas located in the County. In all, 34 points or
features, 18 outfalls inspected, 13 new outfalls, and two dry weather flow samples were
collected. No exceedances above the fecal coliform action level (>3000 col/100ml) were
identified. One sample exhibited a total phosphorus level in exceedance of the action
level of 0.50 ppm. Three significant problems and 15 stream blockages were identified
and reported to Mecklenburg County Storm Water Operations. No illicit discharges of
pollution sources were observed during 2020 Phase II stream walk activities.
3. On January 3, 2020, Health Department records were reviewed, and no failed septic
systems were identified.
2021
1. Routine fixed interval monitoring was conducted monthly at site MY9 (Goose Creek —
Stevens Mill Road) for 16 parameters including fecal coliform and E. coli. Monitoring
results are described in Section 11.9.2.
2. Beginning on November 1, 2020 and concluding on April 20, 2021, CMSWS staff
walked approximately 74.84 stream miles in the Phase II jurisdictions (see Figure 2). In
all, 69 points or features were collected, 77 outfalls were inspected, and 52 new outfalls
were recorded. Ten dry weather flows were observed but all were too low to sample. Six
significant problems and two stream blockages were also identified and reported to
Mecklenburg County Storm Water Operations. No illicit discharges of pollution sources
were observed during 2021 Phase II stream walk activities.
3. On January 8, 2021, Health Department records were reviewed, and no failed septic
systems were identified.
2022
1. Routine fixed interval monitoring was conducted monthly at site MY9 (Goose Creek —
Stevens Mill Road) for 16 parameters including fecal coliform and E. coli. Monitoring
results are described in Section 11.9.2.
2. Beginning on November 1, 2021 and concluding on April 22, 2022, CMSWS staff
walked approximately 127.7 stream miles in the Phase II jurisdictions (see Figure 2). In
all, 179 points or features were collected, 68 existing outfalls were inspected, and 65 new
outfalls were recorded. Five dry weather flows were observed but all were too low to
sample. Three significant problems and 11 stream blockages were also identified and
reported to Mecklenburg County Storm Water Operations. Additionally, one illicit
discharge was observed which resulted in the issuance of a Notice of Violation.
3. On October 7, 2021, Health Department records were reviewed, and no failed septic
systems were identified.
4. Throughout FY2022, in -stream fecal coliform and E. coli samples were collected in
headwater areas of the of Goose Creek watershed to identify potential illicit discharges
and sources of fecal coliform. Sampling was performed during ambient (not storm
impacted) conditions and locations were selected based on proximity to low-pressure
sanitary systems and historical analytical data. A total of 37 samples were collected from
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23 locations within upper Goose Creek and associated tributaries. Twenty-five of the
samples exceeded 400 CFU/100 mL and the geometric mean of all samples was 794.52
CFU/100 ml. Additional evaluations were performed in locations where the highest fecal
coliform and E. coli concentrations were observed. These evaluations included follow-up
sampling, camera inspections of private sanitary laterals, and inspection of livestock
farms for manure releases. No damaged infrastructure or discharges were observed.
11.10.3 Additional BMP Measures in the Lake Wylie Watershed
During the fiscal years (FY) indicated below (July 1 through June 30), the following actions
were completed to reduce fecal coliform bacteria levels and enhance water quality in the Lake
Wylie Watershed:
FY2009
a. On March 23, 2009, high levels of Chlorophyll -a were observed in Wither's Cove that
exceeded the State standard. In response, CMSWS completed a full assessment of the
cove and watershed, including a windshield survey to identify potential pollution
sources. The Siemens facility that discharges directly to the cove was inspected and
sampled. Elevated copper levels were detected in the intake filter backwash from the
facility. Consultation with NCDEQ revealed that annual sampling was required of the
backwash but there were no Permit limits. On April 8, 2009, additional sampling was
performed at 10 sites in the cove and tributaries draining to the cove. No nutrient sources
were detected. All Chlorophyll -a levels had returned to normal. The March 2009 event
appears to have been an algae bloom.
During FY2020, FY2021 and FY2022, physical assessments (Stream Walks) are planned for all
the tributaries draining into Lake Wylie in Mecklenburg County, including all of Long Creek and
Paw creek. These assessments will include, stormwater outfall inventory and inspection,
bacteria sampling both instream and any dry weather flows, as well as visual inspection for
sources of fecal coliform bacteria.
11.10.4 Additional BMP Measures Planned for TMDL Watersheds in FY2023
As discussed in Section 11.9.5, existing BMPs were found to be effective and will therefore
continue to be implemented in FY2023. Additional BMPs to be implemented and associated
schedules for FY2023 are provided below.
1. Routine monitoring will continue to be performed monthly by CMSWS at MY9 on
Goose Creek at Stevens Mill Road and by NCDEQ, Division of Water Quality at site
Q7330000 on Rocky River at SR 2420. Exceedances of established water quality watch
and action levels will be identified and follow up actions conducted as necessary for the
identification and elimination of pollution sources.
2. By December 30, 2022, CMSWS will complete a review of Health Department records to
determine where failed septic systems have been identified in both the Rocky River and
Goose Creek TMDL watersheds. Follow up inspections and monitoring will be
performed as necessary to ensure the elimination of sources of fecal coliform bacteria
associated with failed septic systems thereby addressing impaired waters.
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3. By March 31, 2023, major outfalls will be inspected in the Rocky River TMDL
watershed. Dry weather flows will be identified, and pollution sources eliminated
thereby addressing impaired waters.
4. Construction activities associated with the restoration of an additional 5,000-foot section
of West Branch Rocky River are expected to begin in late FY2023 or early FY2024.
Historically, West Branch Rocky River has been severely degraded by storm water flows
that erode the stream banks. The restoration project will stabilize the stream banks to
reduce erosion and improve water quality.
5. Targeted surface water sampling in headwater areas of the Goose Creek watershed will
continue in FY2023. Based on the results of FY2022 activities, additional surface water
quality and watershed data is needed to further delineate sources of fecal coliform to the
system. Watershed modeling and septic system assessments will be utilized to inform
decision making and identify potential problem areas.
11.11 Tracking and Reporting Success
The overall success of the TMDL Program is evaluated through the successful achievement of
these measurable goals as reported with each NPDES MS4 annual assessment report. At a
minimum, the following metrics are included in this annual report:
• Number of BMP compliance activities completed by TMDL watershed;
• Effectiveness of BMPs based on an assessment of applicable monitoring data; and
• Future BMPs to be implemented to improve water quality and satisfy TMDL
requirements.
CMSWS will document all activities completed for the identification and elimination of
pollution sources in the TMDL watersheds, including all inspections conducted and corrective
actions implemented. All confirmed pollution sources will be mapped in GIS and where
possible pollutant loads will be estimated. This data will be tracked over time as a measure of
the success of program activities.
11.12 Reporting
CMSWS will prepare an annual report for activities relating to the implementation of the water
quality restoration activities for the TMDL watersheds where Mecklenburg County has been
assigned responsibility, including Rocky River, Goose Creek and Lake Wylie. The report will
be submitted to NCDEQ by October 1 of each calendar year. The report will at a minimum
include the following information:
1. Description of water quality restoration activities completed during the past fiscal year.
2. Description of water quality restoration activities expected to occur next fiscal year.
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Appendix A: BMP Summary Table
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A B C D
E
County Activities
BMP
County Work
No.
Plan Code
Description of
Schedule for
Annual
Co-Permittee
BMP
Measurable Goal(s)
Implementation
Reporting
Responsibilities
Metric
Permit Development (Permit Ref. Part III Section B; Part IV B; Part V Section A.11): Performing activities necessary to fulfill the
administrative requirements for compliance with permit requirements, including coordinating with co-permittees, completing the annual
assessment report, applyin& for permit renewal, and updating the Storm Water Management Program Plan as necessary.
#1
PD-1
Permit Development
(Permit
Developing and
a. Submit quarterly reports to co-
Quarterly
Completion
Meet and
Development)
submitting the
permittees (referred to as
beginning July 1
status
coordinate with
annual assessment
Statements) including activities
CMSWS as
report required by
performed for Permit compliance,
requested as
the Phase II Permit
hours involved, and costs.
well as provide
b. Participate in an NPDES MS4
As scheduled by
Completion
to document
data and
compliance with
Permit Compliance Audit, as
NCDEQ -
status
information as
the Phase II Storm
scheduled and performed by EPA
Typically Permit
requested for
Water Management
or NCDEQ.
Year 4
inclusion in
Program.
c. Certify the stormwater Permit
Permit Year 5
Date of
reports, audits,
renewal application (Permit
Permit
Permit
renewal application form, Self-
renewal
applications, etc.
Audit, and Draft SWMP for the
application
next 5-year permit cycle) and
submittal
submit to NCDEQ at least 180
days prior to Permit expiration.
d. Complete annual assessment of
Annually
Completion
Phase II Permit compliance,
beginning July 1
status
including all BMPs and
measurable goals. Summarize the
assessment in an annual report,
including recommendations for
improvement. Provide report to all
Phase II co-permittees and
NCDEQ.
#2
PD-3
Evaluate Effectiveness of Storm Water Plan
(Evaluate
Evaluate the
a. Implement through the annual
Annually
Completion
Provide data and
Management
effectiveness of the
Work Plan the recommendations
beginning July 1
status
information as
Plan)
Storm Water
for improvement identified in the
requested for
Quality
annual Phase II assessment report
inclusion in
Management
see PD-1 .
reports, audits,
Program Plan and
b. Assess the effectiveness of the
Annually
Completion
etc. as well as
update as
Storm Water Management
beginning July 1
status
implement
necessary,
Program Plan at reducing the
recommendation
including all
discharge of pollutants to
s for
written policies and
Mecklenburg County surface
improvement as
procedures.
waters in compliance with Phase II
necessary.
Permit requirements. Incorporate
the assessments completed by
supervisors of their assigned
Programs. Develop
recommendations for improvement
and schedules for implementation.
Change Work Plans as well as
written policies and procedures as
necessary based on these
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BMP County Work
No. Plan Code
n
Description of
BMP
B
Activities
Measurable Goal(s)
recommendations. Evaluate the
effectiveness at implementing the
recommended improvements from
the previous fiscal vear.
C I D I E
Schedule for Annual Co-Permittee
Implementation Reporting Responsibilities
Metric
c. During the September Supervisors'
Annually
Completion
Meeting, provide a summary of the
beginning July 1
status
annual assessment, including
recommended improvements.
Based on input received, develop a
process forward, including a
schedule for implementation as
necessary. Facilitate changes to
Work Plans to ensure the schedule
is fulfilled.
d. Incorporate the data and
Annually
Completion
information from the annual
beginning July 1
status
assessment into the annual report
to the State and Towns, including
recommendations for improvement
and associated schedules for
implementation. Include in report
for PD-1.
Public Education and Outreach (Permit Ref. Part 11 Section A.4, 5 and 7; Part 11 Section B.; Part II Section C.2.c; Part 11 Section D.2.i; Part 11
Section E.3): Distributing educational materials to the community or conducting equivalent outreach activities about the impacts of storm water
discharges on water bodies and the steps that the public can take to reduce pollutants in storm water runoff. (Note: SOPS are the same for Phases
I and II. Documentation for revising these SOPS and performing training is contained under the Phase I program element.).
#3
PE-10(a)
Planning and Coordination
(Education and
Coordinate with
a. Coordinate with Charlotte Storm
Annually
Completion
Work with
Outreach)
Charlotte Storm
Water and the co- ermittees.
beginning July 1
status
CMSWS to
Water Services and
b. Identify and implement ongoing
Annually
Completion
ensure an
the co-permittees to
coordination measures between
beginning July 1
status
effective
review work plan
Charlotte Storm Water and the co-
outreach.
element scope,
permittees.
direction,
c. Review SOPS annually and revise
Annually
Completion
procedures, and
as necessary.
beginning ly 1
status
necessary steps to
d. Review target pollutants and
Annually
Completion
coordinate efforts.
audiences as well as
beginning July 1
status
residential/commercial issues and
revise as necessarv.
#4
PE-10(b)
Educational Materials
(Education and
Develop and
a. Evaluate available brochures and
Annually
Completion
Outreach)
distribute
update or develop new ones as
beginning July 1
status
educational
necessary.
materials to target
b. Make brochures available to staff
Annually
Completion
audiences.
for distribution.
beginnine Julv 1
status
c. Provide brochures to Town Halls
and other locations within the
Towns as necessary for
distribution.
d. Maintain a record of the extent of
145
Annually I Completion
beginning July 1 I status
Annuall
Inform CMSWS
if new brochures
are needed to
meet a special
need. Ensure
brochures are
maintained in a
location
available to the
public.
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
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A B C D
E
County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
exposure.
beginning July 1
status; extent
of exposure
#5
PE-10(c)
Newsletters
(Education and
Develop and send
a. Develop newsletter articles and
Annually
Completion
Ensure
Outreach)
newsletter articles
make available to Town for
beginning July 1
status
educational
to Pineville for
distribution.
materials are
distribution at a
b. Maintain record of extent of
Annually
Completion
included in
minimum of
exposure.
beginning July 1
status; extent
newsletters
quarterly.
of exposure
and/or other
regular
communications.
#6
PE-10(d)
Public Education Media Campaign
(Education and
Develop and
a. Develop and implement a media
Annually
Completion
Ensure
Outreach)
implement public
campaign, including television,
beginning July 1
status
availability of
education media
radio, print ads, utility bill inserts,
information to
campaign.
etc.
public as
b. Develop and implement social
Annually
Completion
requested by
media posts.
beginning ly 1
status
CMSWS.
Maintain link to
c. Maintain website, including
Annually
Completion
information regarding current
beginning July 1
status
CMSWS
water quality conditions,
website.
stormwater pollutants and how to
minimize them, municipal
stormwater projects, volunteer
opportunities, etc. Ensure co-
permittee links to website are
maintained.
d. Maintain record of extent of
Annually
Completion
exposure.
beginning July 1
status; extent
of exposure
#7
PE-10(e)
Schools
(Education and
Conduct
a. Develop age -specific educational
Annually
Completion
None.
Outreach)
presentations for
information for use in schools and
beginning July 1
status
students/teachers.
for presentations to school age
children.
b. Present information in appropriate
Annually
Completion
format.
be innin July 1
status
c. Maintain record of extent of
Annually
Completion
exposure.
beginning July 1
status; extent
of exposure
#8
PE-10(f)
Commercial Outreach
(Education and
Conduct outreach
a. Develop and implement outreach
Annually
Completion
None.
Outreach)
program for
program.
beginning July 1
status
commercial
b. Update commercial sector BMP
Annually
Completion
facilities.
flyers as necessary.
beginning July 1
status
c. Maintain record of extent of
Annually
Completion
exposure.
beginning July 1
status; extent
of exposure
#9
PE-9
Evaluate Effectiveness of the Public Education and Outreach Program
(Evaluate
Evaluate I a. Evaluate program effectiveness at I Annually Completion Notify CMSWS
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A B C D
E
County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
Education)
effectiveness of the
meeting established goals and
beginning July 1
status
of actions
Public Education
objectives.
necessary to
b. Measure program success using
Annually
Completion
and Outreach
improve the
Program.
established criteria.
beginning July 1
status;
effectiveness of
criteria
the program.
measure
c. Recommend improvements as
Annually
Completion
necessary. Include the
beginning July 1
status
recommendations in the report for
PD-1.
d. Implement improvements in the
Annually
Completion
next fiscal year.
beginning ly 1
status
#10
PE-10(g)
Annual Report
(Education and
Complete annual
a. Complete annual report detailing
Annually
Completion
None.
Outreach)
reports.
activities completed and
beginning July 1
status
summarizing findings.
b. Include the annual report in PD-1.
Annually
Completion
beginning July 1
status; extent
of exposure;
criteria
measure
Public Involvement & Participation (Permit Ref. Part II Section C.2.a, b; Part II Section A.4, 5 and 7; Part II Section 13.21): Developing and
implementing a program to provide opportunities for the public, including major economic and ethnic groups, to participate in efforts to protect
and restore surface water quality. (Note: SOPS are the same for Phases I and 11. Documentation for revising these SOPS and performing training
is contained under the Phase I program element.
#11
PI-1
Phase 11 Public Meeting
(Public
Meet with the
a. Conduct a minimum of one (1)
Annually
Completion
None
Meetings)
Storm Water
meeting annually before SWAC.
beginning July 1
status
Advisory
Provide information regarding
Committee
activities performed to comply
(SWAC) and co-
with Phase II requirements.
permittees to
Promote opportunity to receive
provide and
public input during the meeting.
promote a
Receive input from the public
mechanism for
regarding storm water issues and
public involvement
the program.
that allows for
b. Update the Storm Water Quality
Annually
Completion
input on
Management Program Plan and
beginning July 1
status
stormwater issues
implement as necessary based on
and the stormwater
the comments received.
c. Complete an annual report and
Annually
Completion
program.
provide to the Towns describing
beginning July 1
status; #
activities completed under this
attending
task, including a summary of the
meeting
findings and recommendations
from the annual program
assessment. Include in report for
PD-1.
#12
PI-2
Ado t-A-Stream
(Volunteer
Implementing an a. Review SOPS annually and revise Annually Completion Work with
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A B C D
E
County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
AAS)
Adopt -A -Stream
as necessary.
beginning ly 1
status
CMSWS to
Program that
b. Implement program activities
Annually
Completion
maximize
involves the
coordinating closely with
beginning July 1
status
volunteer
adoption of stream
volunteers.
participation.
sections by the
Assist with trash
c. Maintain data regarding program
Annually
Completion
general public,
activities.
beginning July 1
status; #
removal as
businesses and
volunteers
requested.
institutions.
d. Follow up on reported pollution
Annually
Completion
problems to ensure compliance.
beginning July 1
status; #
problems
resolved
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#13
PI-3
Storm Drain Marker
(Volunteer
Implementing a
a. Review SOPS annually and revise
Annually
Completion
Work with
SDM)
Storm Drain
as necessary.
ly 1
status
CMSWS to
Marker Program
b. Implement program activities
Annually
Completion
maximize
that involves the
coordinating closely with
beginning July 1
status
volunteer
placement by
volunteers.
participation.
volunteers of
Receive and
c. Maintain data regarding program
Annually
Completion
markers on storm
activities.
beginning July 1
status; #
respond as
drain inlets with
volunteers
necessary to
the message "Do
d. Follow up on reported pollution
Annually
Completion
reported
Not Dump —
problems to ensure compliance.
beginning July 1
status; #
problems with
Drains To Creek."
problems
the storm sewer
resolved
system.
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#14
PE-I(4)
Annual Spring Cleanu
(Volunteer Big
Conduct annual
a. Review SOPS annually and revise
Annually
Completion
Work with
Spring Clean)
cleanup event that
as necessary.
beginning ly 1
status
CMSWS to
involves removing
b. Implement program activities
Annually
Completion
maximize
trash and debris
coordinating closely with
beginning July 1
status
volunteer
from surface
volunteers.
participation.
waters and
Assist with trash
c. Maintain data regarding program
Annually
Completion
identifying
activities.
beginning July 1
status; #
removal as
pollution sources.
volunteers
requested.
d. Follow up on reported pollution
Annually
Completion
problems to ensure compliance.
beginning July 1
status; #
problems
resolved
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#15
VM
Volunteer Monitoring
Charlotte -Mecklenburg
STORM Stormwater Quality Management Program Plan — NPDES # NCS000395 —November 2022
WATER
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A B C D
E
County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
(Volunteer
Implement
a. Review SOPS annually and revise
Annually
Completion
Work with
Monit)
volunteer
as necessary.
be innin July 1
status
CMSWS to
monitoring
b. Implement program activities
Annually
Completion
maximize
program that
coordinating closely with
beginning July 1
status
volunteer
involves the
volunteers.
participation.
monitoring of
c. Maintain data regarding program
Annually
Completion
stream conditions
activities.
beginning July 1
status; #
by volunteers.
volunteers
d.Follow up on reported pollution
Annually
Completion
problems to ensure compliance.
beginning July 1
status; #
problems
resolved
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#16
PE-I(13)
Public Involvement Media Campaign
(Educate Media
Develop and
a. Coordinate with Charlotte Storm
Annually
Completion
Work with
Campaign)
implement a public
Water Services and co-permittees
beginning July 1
status
CMSWS to
involvement media
to develop and implement an
maximize
campaign to
effective strategy to promote and
volunteer
educate and solicit
increase volunteerism.
participation
volunteers for
b. Work with the Media Buy vendor
Annually
Completion
through media
public involvement
and Creative Services vendor to
beginning July 1
status
campaign.
programs.
develop and implement a media
campaign per the strategy in "a"
including television, radio and
other media outlets.
c. Implement the social media
Annually
Completion
strategy created in "b" above by
beginning July 1
status; extent
reviewing topics, content and
of exposure
social posts created by vendor.
Schedule and post to Facebook,
Twitter and Instagram. Monitor
social media traffic and respond as
necessary.
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#17
PE-I(14)
Volunteer Appreciation
(Volunteer
Conduct annual
a. Update SOPS as necessary.
Annually
Completion
None.
Recognition)
volunteer
be innin July 1
status
b. Implement program activities.
Annually
Completion
appreciation
campaign to
beginning July 1
status; #
recognize
volunteers
volunteer efforts
recognized
for protecting
c. Complete annual report detailing
Annually
Completion
water quality.
activities completed and
beginning July 1
status
summarizing findings. Include in
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WATER
services
A B C D
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County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
report for PD-1.
#18
PI-6
Evaluate Effectiveness of the Public Involvement and Partici
ation Program
(Evaluate
Evaluate
a. Evaluate program effectiveness at
Annually
Completion
None.
Involvement)
effectiveness of
meeting established goals and
beginning July 1
status
Public Involvement
objectives.
and Participation
b.Measure program success using
Annually
Completion
Program.
established criteria.
beginning July 1
status;
criteria
measure
c. Recommend improvements as
Annually
Completion
necessary. Include the
beginning July 1
status
recommendations in the report for
PD-1.
d.Implement improvements in the
Annually
Completion
next fiscal year.
beginning July 1
status
Illicit Discharge Detection and Elimination (IDDE) (Permit Ref. Part II Section A.4, 5 and 7; Part II Section B.2.g; Part II Section C.2.c; Part
II Section A.4, 5 and 7; Part II Section D;): Develop and implement a program to detect and eliminate illicit discharges to the MS4. (Note: The
IDDE Manual and SOPS are the same for Phases I and II. Documentation for revising these documents and performing training is contained
under the Phase I program element.
#19
ID-1
Storm Sewer System Maps
(Storm Sewer
Maintain a current
a. Receive from GIS a list of the
Annually
Completion
Receive and
Mapping)
map showing major
newly collected storm sewer
beginning July 1
status
respond as
outfalls and
system features.
necessary to
b. Field evaluate GIS data and input
Annually
Completion
receiving streams.
reported
additional attribute information
beginning July 1
status
problems with
into ArcGIS Collector.
the storm sewer
c. Complete inspections of new
Annually
Completion
system.
outfalls using the Cityworks
beginning July 1
status
Mobile App. Identify and
eliminate pollution sources.
d. Document the date of inspection,
Annually
Completion
condition of the outfall, dry
beginning July 1
status; #
weather flows, and any other
inlets;
potential illicit discharges as well
outfalls; dry
as the date and results of any
weather
follow up actions.
flows
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#20
ID-2
Screening for Non-Stormwater Flows
(Outfall
Maintain a program
a. Identify and investigate areas where
Annually
Completion
Receive and
Inspection)
for conducting dry
there is a high potential for illicit
beginning July 1
status
respond as
weather flow field
discharges in accordance with
necessary to
observations in
procedures contained in the IDDE
reported
accordance with
Manual (outfalls are also inspected
problems with
written procedures.
for ID-1 and ID-8).
the storm sewer
b. Complete follow up actions as
Annually
Completion
system.
necessary to ensure the
beginning July 1
status
elimination of identified pollution
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BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
sources.
c. Document nature of
Annually
Completion
investigation, names, dates,
beginning July 1
status;
locations, follow up actions,
problems
violations, and final resolution.
resolved
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#21
ID-3
Maintain an IDDE Program
(NOV &
Maintain a written
a. Review and revise IDDE Manual.
Once during 5-
Completion
Work with
Enforcement)
IDDE Program,
year permit term
status
CMSWS to
adequate legal
b. Review and revise SOPS and
Annually
Completion
update and adopt
authorities
ordinances as necessary.
ly 1
status
ordinances as
including
necessary.
c. Perform annual IDDE training for
Annually
Completion
ordinances, and
staff.
beginning July 1
status; #
written procedures
trained
for conducting
d. Conduct investigations and
Annually
Completion
investigations of
document nature of investigation,
beginning July 1
status
Illicit discharges.
names, dates, locations, follow up
actions, violations, and final
resolution.
e. Prepare and issue NOVs and
Annually
Completion
initiate enforcement actions in
beginning July 1
status; #
accordance with SOPS. Follow up
NOVs; #
to ensure compliance and
enforcement
document. Maintain system to
s
track NOVs for identifying
chronic violators.
f. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#22
ID-4.1; ID-4.3;
Water Quality Monit ring Program
ID-4.4; ID-
Maintain a
a. Review SOPS annually and revise
Annually
Completion
Receive and
4.10
monitoring
as necessary. Perform staff
beginning July 1
status
respond as
(Monit
program to assess
training.
necessary to
b. Perform monitoring activities.
Annually
Completion
Oversight;
water quality
reported
Monit Fixed
conditions for
be innin July 1
status
problems with
Interval; Monit
identification and
the storm sewer
c. Analyze data and initiate follow
Annually
Completion
Bugs; Monit
elimination of illicit
up actions as necessary to identify
beginning July 1
status
system.
Fish; Monit
discharges and
and eliminate pollution sources.
CMANN)
other pollution
d. Document nature of investigation,
Annually
Completion
sources.
names, dates, locations, follow up
beginning July 1
status;
actions, violations, and final
summary of
resolution.
data
collected
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
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WATER
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A B C D
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County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
report for PD-1.
#23
ID-5 (Educate
Pollution Prevention Education
Prevention)
Develop and
a. Ensure that messages are
Annually
Completion
Ensure
implement a public
incorporated into the general
beginning July 1
status
employees are
outreach program
water quality media campaign.
properly trained.
to inform public
b. Conduct presentations for public
Annually
Completion
employees,
employees, businesses and the
beginning July 1
status
businesses and the
general public regarding the
general public of
environmental threat of illicit
illicit discharges
discharges and how they are
and improper waste
identified and reported.
disposal and how
c. Provide training to appropriate
Once during 5-
Completion
they threaten the
municipal staff, who, as part of
year permit term
status; #
environment as
their normal job responsibilities,
trained
well as provide
may come into contact with or
instructions
otherwise observe an illicit
concerning proper
discharge or illicit connection to
reporting.
the storm sewers stem.
d. Review and update 311
Annually
Completion
Keywords annually and
beginning July 1
status
coordinate with 311 staff as
necessary to ensure their
continued effectiveness as a
stormwater helpline for reporting
illicit discharges and as a
mechanism for public education
and involvement.
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#24
ID-6
Follow up Inspection and Responding to Citizen Requests and Emergencies
(Follow up
Respond to citizen
a. Review SOPs annually and revise
Annually
Completion
Receive and
Insp., CRS and
requests for service
as necessary. Perform staff
beginning July 1
status; #
respond as
ER)
and emergency
training.
trained
necessary to
b. Maintain the duty roster for the
Annually
Completion
situations as well as
reported
conduct follow up
Emergency Response Program.
beginning July 1
status
problems with
inspections as
Ensure SOPS are followed, and
the storm sewer
necessary to
necessary equipment rovided.
system.
identify and
c. Receive and respond to citizen
Annually
Completion
eliminate pollution
requests for service and
beginning July 1
status
problems.
emergency responses. Identify
and eliminate pollution sources.
d. Document nature of investigation,
Annually
Completion
names, dates, locations, follow up
beginning July 1
status; #
actions, violations, and final
service
resolution.
requests; #
problems
resolved
e. Complete annual report detailing
Annually
Completion
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BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#25
ID-8
Stream Walk/Outfall Inventory & Inspection/DryInspection/Dry Weather Flow Analysis
(Stream Walk)
Inspect creeks for
a. Review SOPS annually and revise
Annually
Completion
Receive and
the purpose of
as necessary. Perform staff
beginning July 1
status; #
respond as
identifying and
training.
trained
necessary to
b. Perform stream walk activities in
Annually
Completion
eliminating illicit
reported
discharges and
accordance with established SOPs.
beginning July 1
status
problems with
collecting outfall
Document the dates and results of
the storm sewer
and stream channel
stream walk activities.
system.
c. Analyze data and initiate follow
Annually
Completion
data as well as
conducting dry
up actions as necessary to
beginning July 1
status; #
weather flow field
identify and eliminate pollution
miles
observations in
accordance with
sources.
walked; #
problems
written procedures.
resolved
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#26
ID-9
Illicit Discharge Elimination Program IDEP
(IDEP)
Investigate select
a. Review SOPS annually and revise
Annually
Completion
None
locations on a
as necessary. Perform staff
beginning July 1
status; #
regular, recurring
training.
trained
b. Perform IDEP activities and
Annually
Completion
schedule for the
identification and
follow up as necessary to identify
beginning July 1
status
elimination illicit
and eliminate pollution sources.
discharges and
c. Document nature of investigation,
Annually
Completion
other pollution
names, dates, locations, follow up
beginning July 1
status; #
problems.
actions, violations, and final
investigations;
resolution.
# problems
resolved
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#27
ID-U
Used Oil Inspection
(Used Oil
Conduct
a. Conduct inspections and follow
Annually
Completion
None
Inspection)
inspections of
up as necessary to identify and
beginning July 1
status
vehicle
eliminate pollution sources in
maintenance
accordance with the procedures
facilities to ensure
contained in the IDDE Manual.
the proper
b. Document nature of investigation,
Annually
Completion
implementation of
names, dates, locations, follow up
beginning July 1
status; #
good housekeeping
actions, violations, and final
investigations;
measures to prevent
resolution.
# problems
the discharge of
resolved
pollutants.
c. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
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A B C D
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County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
summarizing findings. Include in
report for PD-1.
#28
ID-10
Evaluate Effectiveness of the IDDE Program
(Evaluate
Evaluate
a. Evaluate program effectiveness at
Annually
Completion
None.
IDDE)
effectiveness of the
meeting established goals and
beginning July 1
status
IDDE Program.
ob'ectives.
b. Measure program success using
Annually
Completion
established criteria.
beginning July 1
status;
criteria
measure
c. Recommend improvements as
Annually
Completion
necessary. Include
beginning July 1
status
recommendations in report for PD-
1.
d. Implement improvements in the
Annually
Completion
next fiscal year.
beginning ly 1
I status
Construction Site Runoff Control Program (Permit Ref. Part II Section E.1; Part II Section A.4, 5 and 7): Enforce erosion and sedimentation
control ordinances by permitting and controlling development activities disturbing one or more acres of land surface and those activities less
than one acre that are part of a larger common plan of development as authorized under the Sediment Pollution Control Act of 1973.
#29
CS-1 (SOPs
Enforce Erosion Control Ordinances
contained in
Enforce erosion
a. Review and revise Erosion
Annually
Completion
Huntersville
the Erosion
and sedimentation
Control Policy and Procedure
beginning July 1
status
administers its
Control Policy
control ordinances
Manual and train staff as
own Erosion
& Procedure
by permitting and
necessary.
Control
Manual)
controlling
Program. County
b. Conduct inspections and
Annually
Completion
development
document the date(s) violations
beginning July 1
status; #
administers a
activities disturbing
are observed, the results of
inspections
program for the
one or more acres
investigations, and follow up
other Towns. All
of land surface and
actions conducted for compliance.
co-permittees
c. Prepare and issue NOVs and
Annually
Completion
those activities less
ensure
than one acre that
initiate enforcement actions in
beginning July 1
status; #
compliance at
are part of a larger
accordance with SOPS. Follow up
NOVs; #
their
common plan of
to ensure compliance. Document
enforcement
construction
development.
dates, locations, names, nature of
s
sites.
the violations, and final
resolution. Track NOVs for
identifying chronic violators.
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#30
CS-2 (Erosion
Erosion Control Education
Education)
Develop and
a. Distribute educational materials
Annually
Completion
Participate in
implement an
prior to or when conducting pre-
beginning July 1
status
training as
outreach program
construction meetings and during
requested by
to educate
inspection activities as necessary.
CMSWS.
b. Implement and update/enhance as
Annually
Completion
contractors and
land developers
necessary the Charlotte-
beginning July 1
status; #
regarding proper
Mecklenburg Certified Site
trained
erosion control.
Inspector CMCSI Training
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BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
Program (program has gone virtual
during the pandemic).
c. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#31
CS-3 (Evaluate
Evaluate Effectiveness of the Erosion Control Program
Erosion
Evaluate
a. Measure program success using
Annually
Completion
Huntersville
Control)
effectiveness of the
established criteria.
beginning July 1
status;
provides
Erosion Control
criteria
information for
Program.
measure
inclusion in
b. Recommend improvements as
Annually
Completion
annual
necessary. Include
beginning July 1
status
assessment and
recommendations in report for PD-
report.
1.
c. Implement improvements in the
Annually
Completion
next fiscal year.
beginning ly 1
status
Post -Construction Site Runoff Control Program (Permit Ref. Part II Section F a through i; Part II Section A.4, 5 and 7; Part II Section
G.2.g):Implement and enforce a program to address storm water runoff from new development and redevelopment projects, including public
transportation maintained by the permittee, that disturb greater than or equal to one acre, including projects less than one acre that are part of a
larger common plan of develo ment or sale, that discharge into the small MS4.
#32
PC-1 (PCO
Implement Post -Construction Ordinances
Admin)
Develop, implement
a. Complete an annual review of
Annually
Completion
CMSWS serves
and enforce
the post -construction ordinances
beginning July 1
status
as the Storm
ordinances that will
and the Administrative Manual.
Water
minimize negative
Document any suggested
Administrator
water quality
changes/updates and follow
for all Post -
impacts to surface
through to ensure
Construction
waters from post-
recommendations are
Ordinance
construction
implemented.
except for
b. Ensure the effective and efficient
Annually
Completion
discharges in
Cornelius where
accordance with
implementation of post-
beginning July 1
status
their Zoning
local and State
construction ordinances by
Administrator
regulations.
working closely with staff and
fulfills this role
the development community in
working with
the use of the Administrative and
CMSWS.
Design Manuals.
c. Provide interpretations of
Annually
Completion
ordinance requirements as
beginning July 1
status; #
requested by staff and the
interpretations
general public. Maintain a log of
all interpretations of the
ordinances and a log of all
changes to the Administrative
and Design Manual proposed by
staff.
d. Complete an annual report and
Annually
Completion
provide to the Towns describing
beginning July 1
status
activities completed under this
task for FY2021, including a
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BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
summary of the findings and
recommendations from the
annual program assessment.
Include in report for PD-1.
#33
PC-2 (PCO
Post -Construction Ordinance Inspections
inspections)
Conduct site
a. Update/revise the SCM Inspection
Annually
Completion
Huntersville
inspections of
Manual and train staff as
beginning July 1
status
reviews plans,
stormwater controls
necessary.
issues permits,
installed for
b. Review and approve site plans
Annually
Completion
and conducts
compliance with
and issue permits for compliance
beginning July 1
status
inspections
ordinance
with ordinance requirements.
during
requirements.
Ensure mechanisms are in place
construction.
for long-term maintenance of the
CMSWS
project, including SCMs,
reviews plans,
consistent with approved plans
issues permits,
and permit requirements. Conduct
and conducts
inspections during construction to
inspections
ensure compliance.
during
construction for
c. Conduct annual inspections of
Annually
Completion
SCMs owned by co-permittees
beginning July 1
status; #
the other Towns.
following construction except for
inspections
Following
County owned SCMs that are
construction,
inspected and maintained by the
CMSWS
controlling County agency.
administers an
Require annual inspections of
inspection
private SCMs. Document the
program for both
date(s) deficiencies are observed,
public and
the results of investigations, and
private SCMs in
follow up actions conducted.
Huntersville as
well as the other
d. Prepare and issue inspection
Annually
Completion
reports and notices of
beginning July 1
status; #
Towns. All co -
deficiencies. Track for identifying
deficiencies
permittees
chronic maintenance problems.
ensure
compliance for
e. Maintain an inventory of public
Annually
Completion
and private SCMs installed for
beginning July 1
status
the SCMs that
compliance with post -construction
they
ordinances.
own/maintain.
£ Verify that Operation &
Annually
Completion
Maintenance (O&M) Plans have
beginning July 1
status
been established and recorded for
SCMs at the time of plan
approval, including municipally
owned and maintained SCMs.
g. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#34
PC-3 (PCO
Post -Construction Ordinance Education
education)
Implement a
Fa. Work with Charlotte Storm Water
Annually
Completion
Participate in
program to educate
I Services to develop apost-
beginning July 1
status
training as
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BMP
County Work
No.
Plan Code
Description of
Schedule for
Annual
Co-Permittee
BMP
Measurable Goal(s)
Implementation
Implementati
Reporting
Responsibilities
Metric
the development
construction ordinance training
requested by
community and the
event for the development
CMSWS.
general public
community.
concerning the post-
b. Conduct training event.
Annually
Completion
construction
beginning July 1
status; #
requirements.
trained
c. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#35
PC-5 (Evaluate
Evaluate Effectiveness of the Post -Construction Controls Pro ram
PCO)
Evaluate
a. Implement the recommendations
Annually
Completion
Huntersville
effectiveness of the
for improvement identified in the
beginning July 1
status;
provides
Post -Construction
FY2022 annual assessment report.
criteria
information for
Controls Program.
measure
inclusion in
b. Complete a written report
Annually
Completion
annual
assessing whether the Post-
beginning July 1
status
assessment and
Construction Controls Program is
report.
in compliance with Phase II
Permit requirements, including
the provisions of the Storm
Water Quality Management
Program Plan. This assessment
should be based on criteria
contained in the annual Work
Plan.
c. During the September
Annually
Completion
Supervisors' Meeting, provide a
beginning July 1
status
summary of the annual
assessment, including
recommended improvements.
Based on input received, develop
a process forward, including a
schedule for implementation as
necessary. Facilitate changes to
Work Plans to ensure the schedule
is fulfilled.
d. Incorporate the data and
Annually
Completion
information from the annual
beginning July 1
status
assessment into the annual report
to the State and Towns, including
recommendations for
improvement and associated
schedules for implementation.
Include in report for PD-1.
Pollution Prevention & Good Housekeeping (Permit Ref. Part II Section G a through j except g that is included in BMP #31; Part II Section
A.4, 5 and 7): Implement an operation and maintenance program that includes a training component and has the ultimate goal of preventing or
reducing pollutant runoff from municipal operations. Provide employee training to prevent and reduce storm water pollution from activities
such as park and open space maintenance, fleet and building maintenance, new construction and land disturbances, and storm water system
maintenance.
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A B C D
E
County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Annual
Reporting
Metric
Co-Permittee
Responsibilities
#36
PP-1
Employee Training
(Municipal
Implement a
a. Review training program
Annually
Completion
Ensure
Training)
training program for
annually and revise as necessary.
beginning July 1
status
employees
employees involved
b. Coordinate with co-permittees on
Annually
Completion
receive annual
in implementing
scheduling and conducting
beginning July 1
status
training.
pollution prevention
training.
Maintain training
and good
records.
c. Conduct training and document
Annually
Completion
housekeeping
dates, persons attending, and
beginning July 1
status; #
practices.
topics covered.
trained
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#37
PP-2
Inspections
(Municipal
Implement
a. Review and revise SOPS annually
Annually
Completion
Ensure issues
Inspection)
inspection program
and train staff.
beginning July 1
status
identified in
b. Conduct inspections, generate
Annually
Completion
for municipal
inspection
facilities with the
reports, and follow up as
beginning July 1
status; #
reports are
significant potential
necessary to identify and
inspections; #
addressed in a
for generating
eliminate pollution sources.
problems
timely manner.
polluted stormwater
resolved
Submit
runoff.
documentation
c. Evaluate the Operation and
Annually
Completion
Maintenance programs for
beginning July 1
status
of completion
facilities with the significant
to CMSWS.
potential to pollute as described in
Co-permittees
their Stormwater Pollution
are responsible
Prevention Plans (SWPPPs),
for the property,
which also includes a spill
facilities,
response plan. Work with co-
infrastructure,
permittee to update/revise as
etc. that they
necessary.
own/control,
including
d. Ensure that municipal employees
Annually
Completion
and contractors are properly
beginning July 1
status
maintaining and
trained and all permits,
complying with
certifications, and other measures
O&M Plans for
for applicators are followed by
their facilities
verifying the validity of pesticide
(SWPPPs),
licenses as a component of the
SCMs, MS4s,
facility inspection process in "b"
streets and
above.
parking lots.
e. Ensure that measures are
Annually
Completion
implemented to prevent or
beginning July 1
status
minimize contamination of the
stormwater runoff from all areas
used for vehicle and equipment
cleaning as a component of the
facility inspection process in "b"
above.
£ Document the date of inspections
Annually
Completion
and/or evaluation of O&M Plans,
beginning July 1
status
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A B C D
E
County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
results, follow up actions, and
final resolution.
g. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#38
PP-5
Inventory
(Municipal
Maintain, a current
a. Review SOPS annually and revise
Annually
Completion
Notify CMSWS
Inventory)
inventory of
as necessary.
beginning ly 1
status
of all new
facilities and
b. Complete inventory process.
Annually
Completion
properties
operations owned
ly 1
status
purchased.
and operated by the
c. Document nature of investigation,
Annually
Completion
permittee with the
names, dates, locations, follow up
beginning July 1
status; #
significant potential
actions, violations, and final
facilities
for generating
resolution.
polluted stormwater
d. Notify co-permittees of any
Annually
Completion
runoff.
changes in their inventory of
beginning July 1
status
facilities with the significant
potential to pollute and work them
to ensure permit compliance.
e. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#39
PP-9 (Evaluate
Evaluate Effectiveness of the Pollution Prevention/ Good Ho sekeeping Program
Pollution
Evaluate the
a. Evaluate program effectiveness at
Annually
Completion
Notify CMSWS
Prevention)
effectiveness of the
meeting established goals and
beginning July 1
status
of actions
Pollution
objectives.
necessary to
b. Measure program success using
Annually
Completion
Prevention/ Good
improve the
Housekeeping
established criteria.
beginning July 1
status; criteria
effectiveness of
Program.
measure
the program.
c. Evaluate the effectiveness of the
Annually
Completion
O&M Plan for reducing polluted
beginning July 1
status
stormwater runoff from
municipally owned streets, roads,
and public parking lots based on
cost and the estimated quantity of
pollutants removed. Work with
co-permittees to update/revise as
necessary.
d. Evaluate the O&M Plan for
Annually
Completion
reducing polluted stormwater
beginning July 1
status
runoff from municipally owned or
maintained catch basins and
conveyance systems. Work with
co-permittees to update/revise as
necessary.
e. Recommend improvements as
Annually
Completion
necessary. Include
beginning July 1
status
recommendations in report for
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A B C D
E
County Activities
BMP
No.
County Work
Plan Code
Description of
BMP
Measurable Goal(s)
Schedule for
Implementation
Implementati
Annual
Reporting
Metric
Co-Permittee
Responsibilities
PD-1.
f. Implement improvements in the
Annually
Completion
next fiscal year.
beginning Jul 1
status
Total Maximum Daily Load (TMDL) Program (Permit Ref. Section H.1 through 6; Part II Section A.4, 5 and 7): Implement a program to
reduce levels of the pollutant of concern in accordance with approved Waste Load Allocation (WLAs) assigned to stormwater in an approved
TMDL.
#40
IW-1
Evaluate Impaired Waters
(Evaluate
Identify those
a. Complete an evaluation of the
Annually
Completion
None.
Impaired
impaired waters
latest version of the 303(d) list
beginning July 1
status
Waters)
with an approved
and the integrated 305(b) and
TMDL in
303(d) reports. Identify all
Mecklenburg
changes to designations in
County that have a
Mecklenburg County.
b. Identify and review all TMDLs that
Annually
Completion
waste load
allocation assigned
have been developed and approved
beginning July 1
status
to stormwater.
by EPA for receiving waters in
Mecklenburg County.
c. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#41
IW-2 (WQRPs
Water Quality Recovery Plans for TMDLs
for TMDLs)
Develop and
a. Based on the results from IW-1
Annually
Completion
None.
implement Water
above, identify those TMDL
beginning July 1
status
Quality Recovery
waters in Mecklenburg County
Plans (WQRPs) to
with a waste load allocation
reduce non -point
assigned to stormwater. Work
source pollutant
with Charlotte Stormwater on a
loading to the
compliance strategy for these
maximum extent
waters.
b. Develop WQRPs for the waters
Annually
Completion
practicable (MEP)
for TMDL waters
from "a" above that are the
beginning July 1
status
with a waste load
responsibility of Mecklenburg
allocation assigned
County, including structural
to stormwater.
and/or non-structural BMPs and a
brief explanation as to how the
programs, controls, partnerships,
projects and strategies address
impaired waters.
c. Incorporate BMPs from "b" above
Annually
Completion
into Work Plans for
beginning July 1
status
implementation.
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings. Include in
report for PD-1.
#42
IW-2 (WQRPs
Assess Effectiveness of Water Quality Recovery Plans for TMDLs
for TMDLs)
Assess the
a. Identify and assess the
Annually
Completion
None.
effectiveness of
effectiveness of existing
beginning July
status
structural and non-
programs, controls, partnerships,
1
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A B C D
E
County Activities
BMP
County Work
No.
Plan Code
Description of
Schedule for
Annual
Co-Permittee
BMP
Measurable Goal(s)
Implementati
Implementation
Reporting
Responsibilities
Metric
structural BMPs at
projects, and strategies for all
addressing TMDL
TMDL waters identified in IW-2
waters with a waste
above.
b. Based on the results from "a"
Annually
Completion
load allocation
assigned to
develop additional structural and
beginning July
status
stormwater and
non-structural BMPs as
1
modifying as
necessary to reduce non -point
necessary.
source pollutant loading to the
maximum extent practicable
(MEP).
c. Incorporate BMPs from "b"
Annually
Completion
above into Work Plans for
beginning July
status
implementation.
1
d. Complete annual report detailing
Annually
Completion
activities completed and
beginning July 1
status
summarizing findings, including
a description of the effectiveness
of existing structural and/or non-
structural BMPs and a brief
explanation as to how the
existing programs, controls,
partnerships, projects and
strategies address impaired
waters as well as whether
additional BMPs are necessary
and when they will be
implemented. Include in report
for PD-1.
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Appendix B: Mecklenburg County Phase I1 Jurisdictions/Entities Organizational Charts
162
Charlotte -Mecklenburg Stormwater Services (CMSWS) Phase II Organizational Chart
CHARLOTTE-MECKLENRIIRCI STORM WATER SERVICES (CM SW51
DlrectOr
Don Ceccarelli
WATER ODALFTY PROGRAM
Environmental Manager
Rusty Roxrel I
T Project Manager I
Silvio Conte
LAKES & MLOGICALS
SECTION
POLLDTEON PREVENTION
SECTION
COMPLIANCE SECTION
Environmental Supervisor
POLTION CON ITTROL
L
STREAMS SECTION
Environmental Supervisor
Environmental Supervisor
Environmental Supervisor
Richard Farmer
Environmental Supervisor
josh DeMau ry
Olivia Edwards
David Caldwell
Ryan Spid e!
Environmental Specialist III
Environmental Specialist III
Environmental Specialist IR
Environmental Specialist III
Environmental Coordinator
Gave Ferguson
Ashley Smith
Ron Eubanks
Vacant
Vacant
Environmental Specialist III
Environmental Specie
Environmental Specialist IEI
Environmental Specialist III
Environmental Specialist III
Tony Itoux
Taylor Mebane
I
lulianna Hawley
John Tao
Hannah Meeler
Environmental Specialist II
Environmental Specialist II
Environmental Specialist. II
Environmental Specialist II
Environmental Specialist III
Tim Resler
Kenneth Friday
Matt hew S. nt iago
Bobby Edman
Alex Holloway
Environmental Specialist II
Environmental Specialist II
Environmental Specialist II
Environmental Specialist I
Environmental Specialist II
Matthew Phillips
Vacant
Lauren Brad ley
Justin Bass
Vacant
Environmental Analyst
Administrative Support
Environmental Specialist II
Environmental Specialist I
Environmental Specialist I
Robert Scwah
Assistant III
Michael Schley
Emma Bogdan
Noah Yamaki
Angane I Byrd
Environmental Specialist
Bndergraduate Intern
Environmental Specialist F
(Part Tim e:
jPart Time)
Vacant
PERMrITTNG & COMPLIANCE PROGRAM
Sr. Project Manager
David Goode
PERMITTING TEAM INSPECTION TEAM It Project Manager I
Lead Project Manager Environmental Supervisor Jeff Price
Tom Hodge Corey Priddy
Project Manager I I Associate Project Manager
N Adam owoort VACANT
Project Manager 1 Associate Project Manager
Jonathan Rett Heather Davis
Project Manager Associate Project Manager
Vacant Jason Klingl er
Associate Project Manager Sr. Emrironmental Specialist
Jon Belker Vacant
Associate Project Manager Environmental Specialist
Melonee Brock Chanell Hatch
Sr. Engineering Technician Inspector III
Hannah Smith I I Brian Sifford
Adm Support Assistant III
L Mullis
David Buetow Garrison Batchelor
o Program Administration
Public Education & Outreach / Public Involvement & Participation
0 IDDE / Water Quality Monitoring
a Construction Site Runoff Control
o Post -Construction Site Runoff Control
o Pollution Prevention & Good Housekeeping
® TMDL
163
Town of Cornelius Phase II Organizational Chart
Stormwater Management
Deputy Toyvn
Manager
Assistant Town
Manager/Publlc
Works Director
Public Works Superviwr I I MecklenburgCcuntyStorrnwater
Services
The Assistant Town Manager/Public Works Director is the primary employee for stormwater
management. This position receives inquiries, meets with memhers of the public, and coordinates
repair work through contractors. This position is also responsible for larger capital projects such
as stream restorations and large pipe repair/replacement projects.
The Public Works Supervisor is the secondary employee for the stormwater. This position assists
the Assistant Town Manager{Public Works Director with inquires and repairs. This position does
more field work and inspects work that is occurring for both maintenance projects and capital
projects.
164
Town of Davidson Phase II Organizational Chart
PIN Manager
Operations
Supervisor
Street Crew
Leader
Streets
Specialist
Project
Manager
71
Landscape
Crew Leader
Ballfield
Tech
(Landscape
pecialist
MEL--, Mr
%. _
Streets Tech Streets Tech Landscape Landscape Landscape
Tech Tech Tech
165
Construction
f.nginP€r
Town of Huntersville Phase II Organizational Chart
Roadway
Inspector
f rrwl nuln
G1T-016V Uj*-atul IMc MLlad Opl
166
Responsible for
4—Stormwa#er Program
rrll�4i Walk%
il{]f'f1'15a!
Town of Matthews Phase II Organizational Chart
Organizational Chart Publle Works Director
31512-1 C.J. O'Neill, PE
(In charge of overall NPDES
Compliance)
Facilitle*
Town Engineer
Fleet Maintenance
Maintenance
Susan Habina
Jeremy McCain
Albert Pierre
Woolard, PE
+2 Mechanics
+1 Techniciar
Transportation
Planner
Dana Staagenke,
Streets
AICP
Bobby Hoxit
+1 Sr. Operator
Eneingarinx
+2 Operators
Technician
+2 Maintenance
Erick Guir
Workers
Sidewalks
Carey Crates
+1 Operator '
+Z Maintenance
Workers
Adm In fstrative
specialist
LRos Cumming
Assistant Public Works
Director
Lief Fitzpatrick, MPA
(In charge of NPDES program
and record keeping)
167
Landscanina
Ralph Ramsaur
+1 Crew Leader
+1 Hort. Tech
+1 Operator
+3 Maintenance Workers
+1 Seasonal
low rwa.a.�iwa.
Mike Grtlieb
(In charge of project planning
and day-to-day operations of
stormwater crew)
+1 Sr. Operator
+ 1 Operator
Town of Mint Hill Phase II Organizational Chart
Steve Frey, PE
Town Engineer &
Director of Public Works
Chris Cochran*
Operations Manager
771777ks
Supervisor
Crew Leader/ '
Maintenance Worker
' Equipment Operator '
Maintenance Worker Maintenance Worker
Maintenance Worker Maintenance Worker
Maintenance Worker Maintenance Worker
INFRASTRUCTURE MAINTENANCE
Parks Supervisor
Parks Maintenance
Worker '
' PARKS MAINTENANCE
March 2020
Town of Pineville Phase II Organizational Chart
Town Manager
n uizer
Public Works Director
Chip Hill
Streets/Storr water Admin. Bulding Maint.JAgriculture
Joey Wheeler Lydia Nabors Travis Bennett
Z I --
Maint. I Ma [tit. I Stormwa#erTerh Maint. I Malr�t. I Builclir�g Mairtit. Auto Sl7ol
US Ashworth Ty Conrad Hunter Burgess James Daley Eric Chapman TirnJones BrianKirnbrell
169
Charlotte -Mecklenburg Schools (CMS) Phase II Organizational Chart
Manager of Environmental
Health and Safety
Jeff Mitchell, CSP, REM, CEP,
REHS, ORC-WIWW
Environmental Systems Manger: Oversight of stormwater management
program and stormwater contractor management
Environmental Health
Specialist
Isiah Glover, PE
NPOES stormwater compliance, water quality, pollution prevention, pollution
control, inspection, and stormwater contractor management
170
Central Piedmont Community College (CPCC) Phase II Organizational Chart
CPCC
Board of Tntwtees
Dr. Kandi Dietemeyer
President
Mike Whiteman
Vice President
Finance and Administrative
Services
Vicki Seville
Associate Vice President
Facilities and Construction
Bo Hightower
Executive Director Facilities
Management
Lance 011ivierre
[)IfeCtOr
Facilities Operation&
Zack Harris
Grounds and Site
Coortlinaror
Responsible for Stmmwate
ABM So ices
Carlos Aponte_ DireCtOr FaCllltieS
Mike Roberts, {}rgUn¢s Manager
Se rglo Maya. Grounds Account Manager
171
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Appendix C: Post -Construction Policy for Transportation Projects
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Post -Construction Policy for Transportation Projects in the Phase II Jurisdictions
Program Purpose and Background
The purpose of the Post -Construction Policy for Transportation Projects within the Phase II
jurisdictional areas (including Mecklenburg County and the Towns of Cornelius, Davidson,
Huntersville, Matthews, Mint Hill and Pineville) is to ensure that these projects meet all federal,
state, and local requirements. Specifically, this policy is written for public transportation projects that
involve roadway construction not associated with a subdivision or development. Please note that this
policy document does not apply to:
Roadway projects associated with development — These projects (such as road widening or
turn lane addition) are treated as part of the development and the right-of-way area and built -
upon area should be included in stormwater calculations for the development.
Roadway projects constructed by the North Carolina Department of Transportation
(NCDOT) - These projects are subject to NCDOT's Post -Construction program; therefore,
these projects are not subject to local Post -Construction ordinances.
The North Carolina Division of Water Quality (NCNCDEQ) suggests that regulated public entities
use BMPs in the North Carolina Department of Transportation's (NCDOT's) "Best Management
Practices Toolbox" developed for linear systems, which has been approved by NCDEQ to meet post -
construction requirements for linear roadway systems.
Applicability
Public roadway projects are subject to the applicability criteria of the applicable jurisdiction's Post -
Construction ordinance in which the project is located. For post -construction purposes, public
roadway projects will be considered commercial/industrial development or redevelopment. The post -
construction applicability criteria are found in Section 105 of the Post -Construction ordinances for all
Phase II jurisdictions with the exception of the Town of Huntersville, where the applicability criteria
are contained within Section 8.17.3 of the ordinance and the Town of Matthews where the
applicability criteria are found in Section 154.005. The grandfathering (or exemption) of public
projects is consistent with the rights given to private developers under applicability and exceptions
provisions of the Post -Construction ordinances. In the event that Post -Construction ordinance
requirements apply to a public roadway project, the responsible public entity shall work with the staff
of Charlotte Mecklenburg Stormwater Services' Water Quality Program to ensure compliance.
BMPs for Public Linear Roadway Projects
The North Carolina Department of Transportation (NCDOT) developed a list of structural BMPs
suitable for linear projects published in NCDOT's Stormwater Best Management Practices Toolbox.
NCDOT's BMP Toolbox has been approved for use by NCNCDEQ for linear roadway projects. To
the extent practicable, the jurisdictions shall use BMPs from the North Carolina Department of
Transportation's "Best Management Practices Toolbox" developed for linear systems, which has
been approved by NCNCDEQ to meet post -construction requirements for linear roadway systems.
The designs in the Charlotte -Mecklenburg BMP Design Manual are also used where practicable. In
addition, when public linear roadway projects use bridges over surface waters, bridge drainage
systems that eliminate or minimize direct discharge to surface waters are required. More information
on bridge drainage systems can be found in Chapter 9 of NCDOT's BMP Toolbox. A copy of
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NCDOT's BMP Toolbox can be found at the following website:
https:Hconnect.ncdot.gov/resources/hydro/HSPDocuments/2014_BMP_Toolbox.pdf
BMP Maintenance
Perpetual maintenance is required on all public -owned BMPs by the jurisdiction constructing the
roadway. Each BMP shall be recorded in the Charlotte -Mecklenburg Stormwater Services —
County Water Quality Program BMP database and will be subject to annual compliance inspections
and periodic maintenance.
The only exception to this is when roadway projects are constructed to NCDOT standards that are to
be turned over for maintenance to NCDOT following construction. These BMPs shall be maintained
in accordance with NCDOT requirements and shall not be subject to the local post -construction
ordinance maintenance requirements.
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Appendix D: Phase II Municipal Facility Inventory Procedures
175
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Phase II Municipal Facility Inventory Standard Operating Procedures (SOPs)
(PP-5)
September 2020
Purpose
The purpose of this document is to describe how Charlotte -Mecklenburg Storm Water Services
(CMSWS) will fulfill Section G.2.a. of Permit NCS000395 in that requires the development of
an inventory of all the Phase II municipal facilities and operations owned and/or operated by the
County, Towns, CPCC and CMS that have significant potential for generating polluted
stormwater runoff. This document further describes what actions will be taken by CMSWS to
address this pollution potential in compliance with Permit requirements. This is under the
section of the Permit entitled Pollution Prevention and Good Housekeeping for Municipal
Operations.
Procedure for Evaluation of Facilities
During the first Permit term, the following language was contained in Section G regarding
Pollution Prevention and Good Housekeeping for Municipal Operations: "Develop an inventory
of all facilities and operations owned and operated by the permittee with the potential for
generating polluted stormwater runoff. Specifically inspect the potential sources of polluted
runoff, the stormwater controls, and conveyance systems. Evaluate the sources, document
deficiencies, plan corrective actions, and document the accomplishment of corrective actions."
CMSWS updated its Stormwater Quality Management Program Plan (SWMP) effective July 1,
2005 to include procedures to evaluate 20 percent of the municipal operations each year of the 5-
year Permit ending June 30, 2010 in order to identify the facilities and operations owned and/or
operated by the County, Towns, CPCC and CMS that have significant potential for generating
polluted stormwater runoff and are therefore required to comply with this part of the Permit. The
program element for this requirement was PP-5. CMSWS used the phased approach described in
"A" below to conduct this evaluation. This evaluation was completed by the end of the Permit
term on June 30, 2010, resulting in the development of the Tables 24, 25, 26 and 27 of the
FY2022 version of the SWMP.
Mecklenburg County's Phase II Permit was renewed on November 11, 2011. This new Permit
changed Section G from applying to facilities with the "potential for generating polluted
stormwater runoff' to applying to facilities with the "significant potential for generating polluted
stormwater runoff." This change resulted in CMSWS changing its evaluation procedures to
those described in `B" below. This evaluation was completed at the end of the Permit term on
June 30, 2015.
A. FIRST PERMIT TERM
1. Accumulate a listing of all county and town -owned properties in a spreadsheet format.
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2. Determine if the properties are located in an urbanizing area (UA). All properties in
Mecklenburg County have been deemed to be an urbanizingarea rea by the State of North
Carolina.
3. Determine which properties do not contain building improvements (i.e., vacant parcels).
Properties containing no building improvements are deemed to have no potential to
pollute stormwater and will not likely have a stormwater conveyance system. To conduct
this evaluation, CMSWS will:
a. Use the attached spreadsheet format to collect data from each jurisdiction
including the County (spreadsheet already completed) and each of the Towns,
CMS and CPCC. The spreadsheets are located in the following directory:
G:\WQxfer\WQ\Phase II Inventory.
b. Sort the parcels in the spreadsheet by ascending size and start the evaluation with
the smaller parcels first. After sorting, each parcel will be assigned a database
number in the first column in the spreadsheet starting with the number one (1) for
the smallest parcel.
c. Review aerial photographs of the properties on-line through use of Polaris with
the "parcel number labels", "streams", "SWIM buffer", "10-ft Contours" and
"aerial photography" layers turned on. The parcel will also be highlighted by
using the "ID parcel" tool.
d. CMSWS staff will print out copies of the map and the ownership information for
documentation. The database number for that file will be handwritten on the
upper right-hand side of the map and the ownership record stapled behind the
map. The hard copies will be filed in a three-ring binder by database number.
e. Mark the number of buildings in the appropriate column of the spreadsheet for
each parcel.
f. Properties with no buildings or a single building are not included in the Phase II
process at this time. CMSWS staff will mark the "Applicable" column with "N"
and add a comment as to why the property is not applicable to Phase II (i.e. — no
building structures).
4. Other parcels containing 2 or more buildings will require further evaluation to determine
if applicable to the Phase II process:
a. By reviewing the aerial photographs and contours, determine if the property
discharges directly into a stream without going through a MS4 system (system
maintained by City and County). CMSWS staff can use Mecklenburg County
Stormwater Services Interactive Mapping site
athttp://www.704336rain.com/disclaimer.html to view storm drain inlets and
piping to assist in this evaluation. If the storm drain system meets these criteria,
Phase II is applicable to this property. CMSWS staff will mark the "Applicable"
column as "Y" and add a comment as to why the property is applicable to Phase II
(i.e. storm drainage system discharges directly to a stream). If it is unclear the
property drains directly to the surface water, do not mark anything on the
spreadsheet.
b. Field evaluations will be required for all remaining properties without a "Y" or an
"N" in the "Applicable" column. Field evaluations will be conducted in the
following manner:
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i. The Phase II Parcel Evaluation Sheet will be used to document
applicability. Each step of the flow chart will be circled as evaluated as
well as notes related to applicability or non -applicability.
ii. The operations or activities that have the potential to pollute stormwater
will be noted as well. Photographs will be taken if staff is unclear of
applicability.
iii. The Phase II Parcel Evaluation Sheet will be stapled behind the
ownership records page and re -filed in the appropriate three-ring binder.
iv. CMSWS staff will update the spreadsheet with a "Y" or "N" in the
"Applicability" column as appropriate.
B. SECOND PERMIT TERM
CMSWS changed its evaluation procedures for the second Permit term to include facilities with
the "significant potential for generating polluted stormwater runoff' in the Pollution Prevention
and Good Housekeeping Program described in Section II, Section G.2.a of the Permit. These
new procedures are less inclusive than those applied during the first Permit term; therefore,
facilities and operations identified for coverage prior to 2011 were left in the program thus going
beyond minimum Permit requirements. For the purposes of this Permit, "significant potential for
generating polluted stormwater runoff' shall mean that the facility meets both of the following
criteria:
1. Exposure of significant materials based on the "Exposure Checklist" included in numbers
12 through 14 of NCDEQ's "No Exposure Certification Form" (NCGNE0000) (see
attached Form for Evaluating Exposure of Significant Materials), and
2. No written procedures or controls in place to prevent pollution.
Facilities that meet the above criteria are added to the Pollution Prevention/Good Housekeeping
Program and the co-permittees that own and/or operate these facilities are required to implement
long-term pollution prevention measures to reduce the potential for polluted stormwater runoff,
including (but not limited to) the following:
1. Development of a full Stormwater Pollution Prevention Plan.
2. Development of written Standard Operating Procedures (SOPS) for activities on -site that
have a significant potential to pollute stormwater.
3. Completion of required inspections.
4. Completion of required pollution prevention training for on -site staff.
Based upon guidance documents provided by NCDEQ in the BIMS database, jurisdictions will
review several types of municipal operations in their evaluation. Below is a listing of these
municipal operation types along with a summary of how each has currently been addressed or
will be addressed by CMSWS.
1. Transfer stations — The County operates a total of five (5) solid waste recycling centers,
which are currently included in the Pollution Prevention and Good Housekeeping
Program. One of these, the Old Compost Central, is no longer open to the public and
only receives materials from City operations. It is planned to close in 2023.
2. Fleet maintenance — All fleet maintenance that is performed by the co-permittees is
conducted at the facilities that are currently inspected under the Pollution Prevention and
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Good Housekeeping Program. Fleet maintenance not performed at currently inspected
sites is contracted to outside vendors. This was verified via emails to co-permittee staff
during the week of 9/28/2020 and correspondence can be found on the LAN as follows:
Z:\20-21 City Works Server Attachments\PP-5\Emails on vehicle maintenance from Co
permittees.
3. Airports — None of the co-permittees operate airports.
4. Animal shelters — The Town of Cornelius is the only Mecklenburg County Phase II
jurisdiction that operates an animal shelter. This facility was evaluated in FY2021
utilizing the Facility Exposure Form and was determined not to have a significant
potential to pollute. Appropriate measures will be implemented to minimize storm water
pollution issues based on this evaluation.
5. Wastewater Treatment Plants - None of the co-permittees operate wastewater treatment
plants.
6. Water plants — None of the co-permittees operate water treatment plants.
7. Construction debris sites — Mecklenburg County operates the Foxhole Landfill, which
accepts construction and demolition waste. This facility is currently inspected under the
Pollution Prevention and Good Housekeeping Program.
8. Transit authority - None of the co-permittees operate public transit systems.
9. Public works operations — Public Works facilities have been evaluated and are currently
included in the Pollution Prevention and Good Housekeeping Program.
10. Prisons — None of the co-permittees operate prisons; however, Mecklenburg County does
operate two jails (Mecklenburg County Jail Central and Mecklenburg County Jail North),
which were evaluated in FYI 4. It was determined that they do not have a significant
potential for stormwater pollution and were not be included in the Pollution Prevention
and Good Housekeeping Program. The contact for these jails is Captain Mike Greer (704-
336-8544).
11. Emergency service facilities — Emergency service facilities have been evaluated.
Mecklenburg County operates the Mecklenburg County Medic facility, which is currently
included in the Pollution Prevention and Good Housekeeping Program. The Towns' fire
departments operate emergency services along with the individual fire stations. All fire
stations owned and operated by the Towns, as well as volunteer fire departments that
operate within a co-permittee jurisdiction, were evaluated in FY2020, and were
determined not to have a significant potential to pollute. Therefore, these facilities will
not be included in the Pollution Prevention and Good Housekeeping Program.
12. Fire stations — All of the co-permittees operate one or more fire stations. All fire stations
operated in the Towns are owned by the Towns except one of the four (4) stations in
Huntersville and both stations in Mint Hill, which are owned by independent volunteer
fire departments (VFDs). All fire stations located in the Towns, as well as several VFD
owned and operated fire stations in the County, were evaluated in FY2020 utilizing the
Facility Exposure form and were determined not to have a significant potential to pollute.
Therefore, these facilities will not be included in the Pollution Prevention and Good
Housekeeping Program.
13. Landfills — Mecklenburg County operates one active landfill (Foxhole) and one inactive
landfill (Harrisburg Rd.). The inactive site is now the location of the CT Meyers golf
course where Mecklenburg County Solid Waste still performs ground water monitoring.
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The Foxhole landfill and the CT Meyers golf course are included in the Pollution
Prevention and Good Housekeeping Program.
14. Schools — CMS and CPCC school facilities have been evaluated and are included in the
Pollution Prevention and Good Housekeeping Program. Newly added CMS and CPCC
schools are identified through the municipal inventory process. All new CMS schools are
added to the Pollution Prevention and Good Housekeeping Program for CMS. New CMS
schools are inspected as they are added and then are inspected on a rotational basis with
all other schools going forward. All new CPCC school facilities to date have been
additions to existing campuses which are already included in the Pollution Prevention and
Good Housekeeping Program.
15. Parks — On 9/30/2020, the Park and Recreation Director with each co-permittee was
contacted and informed that CMSWS wanted to ensure that all park properties with a
potential to pollute have been evaluated. They were asked if their parks included
facilities with vehicle or equipment maintenance or storage and/or chemical or fuel
storage. Mint Hill, Matthews, Davidson, and Huntersville stated that they did not have
any such facilities. Cornelius stated that most of their larger parks have a small fuel
cabinet where a couple gallons of gas or diesel fuel for equipment and gators is kept.
They also keep gators at several parks but do not service vehicles in-house. Based on this
information, these facilities do not rise to the level of a significant potential to pollute and
will not be included in the Pollution Prevention and Good Housekeeping Program.
Pineville reported that they have a Park Maintenance Facility that has vehicle/equipment
storage and maintenance as well a chemical storage and diesel fuel tank. This facility
was evaluated in FY2021 utilizing the Facility Exposure Form and was determined not to
have a significant potential to pollute. Appropriate measures will be implemented to
minimize storm water pollution issues based on this evaluation. All email
correspondence with co-permittee staff can be found on the LAN as follows: Z:\20-21
City Works Server Attachments\PP-5\Park and Rec emails on facilities. Contact
information for Parks:
o County Parks — Peter Cook, Deputy Director (980-314-1041Cornelius — John
DeKemper, Asst. Director (704-892-6031)
o Davidson —Jesse Bouk (704-892-7591)
o Huntersville — Michael Jaycocks, Director (704-766-2220)
o Matthews — Corey King, Director (704-708-1263)
o Mint Hill — Steve Frye, Director (704-545-9726)
o Pineville — Kristy Detwiler, Director (704-889-2291)
16. Police Departments — The six (6) Towns operate Police Departments, but the County
does not. The police stations include offices with no significant potential to pollute;
therefore, they are not included in the Pollution Prevention and Good Housekeeping
Program.
17. Waste recycling centers — The County operates a total of five (5) solid waste recycling
centers, which are currently included in the Pollution Prevention and Good Housekeeping
Program. One of these, the Old Compost Central, is no longer open to the public and
only receives materials from City operations. Plans are to close the facility in 2023.
18. Vehicle maintenance operations — None of the co-permittees operate vehicle maintenance
facilities as dedicated municipal operations. All fleet maintenance that is performed by
the co-permittees is conducted at their municipal facilities that are currently inspected
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under the Pollution Prevention and Good Housekeeping Program. Fleet maintenance that
is not performed by the co-permittee is contracted to outside vendors. This was verified
via emails to co-permittee staff during the week of 9/28/2020 and correspondence can be
found on the LAN as follows: Z:\20-21 City Works Server Attachments\PP-5\Emails on
vehicle maintenance from Co permittees
19. Vehicle wash operations - None of the co-permittees operate Vehicle Wash Operation
facilities as dedicated municipal operations. Three (3) Phase Il municipal facilities
include areas where they wash vehicles and/or equipment as part of their standard
operations, including the Towns of Cornelius, Matthews and Huntersville. These
operations are inspected annually as part of the inspection of the municipal facility under
the Pollution Prevention and Good Housekeeping Program.
20. Pump stations or lift stations - None of the co-permittees operate Pump Station or Lift
Station facilities as dedicated municipal operations.
Co-permittees purchase, and in some case sell, properties necessitating that the inventory be
updated on an annual basis. The process for updating the inventory is described below.
1. Prior to January 3 1 " of every year, staff with CMSWS will use the Mecklenburg County
Open Mapping system to obtain an updated inventory of all properties that are owned by
the co-permittees, including the County, six (6) Towns, CPCC and CMS.
2. Prior to March 3 1 " of every year, staff will complete a comparison of the updated
inventory to the inventory on file from the previous fiscal year. The inventory will be
updated with all new co-permittee properties.
3. Prior to May 31st of every year, staff will evaluate the new properties added to the
inventory to determine if the properties have a significant potential to pollute as defined
above. This process is as follows:
a. The most current aerial imagery available will be used to determine if no
buildings are located on the property in which case the property will be identified
as not having a significant potential to pollute and will not be included in the
Pollution Prevention and Good Housekeeping Program.
b. The inventory will be updated to indicate that the property was not included in the
Program by placing an "N" in the column entitled "Significant Potential to
Pollute" and a "N" in the column entitled "Pollution Prevented or Eliminated." A
comment as to why (i.e. — no building on property) will be added to the inventory.
An Activity Report will be completed in Cityworks to document the identification
process for properties with no significant potential to pollute. Staff will email
their supervisor regarding completion of this evaluation and indicate the Activity
Report number.
c. Properties with one or more buildings (excluding single family homes) will be
field evaluated and the Form for "Evaluating Exposure of Significant Materials"
(see Attachment 2) will be completed. The form is divided into three (3) sections,
including Exposure to Precipitation, Above Ground Storage Tanks, and
Secondary Containment. If the answer is "Yes" to any of the questions under
Exposure to Precipitation or "No" to any of the questions under Above Ground
Storage Tanks and Secondary Containment, then the facility has a significant
potential to pollute unless:
i. Written procedures or controls are in place to prevent pollution; or
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ii. The source(s) of pollution can be permanently eliminated.
If either of these two (2) conditions for exclusion from having a significant
potential to pollute currently exist or can be developed, then staff will select the
appropriate "Yes" or "No" box on the form and indicate under "Comments" at the
end of each section the appropriate exclusion option and whether it currently
exists or needs to be developed. If no exclusion option exists, then the
appropriate box is selected, and no comment provided.
d. If the answer is "No" to all the questions under Exposure to Precipitation and
"Yes" to all the questions under Above Ground Storage Tanks and Secondary
Containment, then the facility does not have a significant potential to pollute.
However, there may be pollution sources that are not listed on the form, such as
vehicle washing outside or a leaking drum. In such cases, staff will note this
under "General Comments" at the bottom of the form. In all such situations, staff
must implement immediate actions to remove the pollution source, including
issuing a Notice of Violation and/or requiring that SOPS be implemented to
eliminate/control the source.
e. Staff will complete an Activity Report in Cityworks to document the field
evaluation and the Form will be attached. Staff will indicate in the Activity
Report whether the property has a significant potential to pollute and recommend
a course of action. Staff will submit the Activity Report documenting the
completion of the field evaluation to their supervisor for review and follow up.
f. The supervisor will review the Activity Report and discuss with staff as
necessary. The supervisor will decide the appropriate course of action and the
Activity Report will include a description of that action and document when it is
completed. For example, if it is decided that there is no significant potential to
pollute, the lead staff will explain this in the Activity Report and update the
inventory by placing an "N" in the column entitled "Significant Potential to
Pollute" and a "N" in the column entitled "Pollution Prevented or Eliminated."
The Activity Report number will be indicated in the inventory and then closed.
No further action is required.
g. If it is decided that there is a significant potential to pollute, but that one of the
two (2) exclusion options described above can be implemented, then the
supervisor will assign this work to staff and follow up to ensure completion at
which point the Activity Report will be updated with a description of the actions
taken and the inventory updated by placing a "Y" in the column entitled
"Significant Potential to Pollute" and a "Y" in the column entitled "Pollution
Prevented or Eliminated." A brief description of the actions completed will be
provided in the comment column of the inventory. The Activity Report number
will be indicated in the inventory and then closed. No further action is required.
h. If it is decided that there is a significant potential to pollute and the two (2)
exclusion options cannot be implemented, then the supervisor will explain this in
the Activity Report and update the inventory by placing a "Y" in the column
entitled "Significant Potential to Pollute" and a "N" in the column entitled
"Pollution Prevented or Eliminated." A comment will also be added to the
inventory explaining why. The Activity Report number will be indicated in the
inventory and then closed. The facility will be added to the Pollution Prevention
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and Good Housekeeping Program and the four (4) long-term pollution prevention
measures will be implemented as described in this document.
i. If it is decided that there is no significant potential to pollute but pollution sources
are present at the facility that are not listed on the form, then the supervisor will
ensure that staff complete the necessary follow up actions to eliminate the
source(s). The Activity Report will be updated with a description of the actions
taken and the inventory updated by placing a "N" in the column entitled
"Significant Potential to Pollute" and a "Y" in the column entitled "Pollution
Prevented or Eliminated." A brief description of the actions completed will be
provided in the comment column of the inventory. The Activity Report number
will be indicated in the inventory and then closed. No further action is required.
j. In some situations, the supervisor may decide that even though a significant
potential to pollute does not exist there is a potential to cause negative water
quality impacts and sources cannot be effectively eliminated or controlled. In
such cases, the supervisor may elect to implement one (1) or more of the four (4)
long-term pollution prevention measures described in this document. A brief
description of the actions to be undertaken will be provided in the comment
column of the inventory. The Activity Report will be updated with a description
of the actions taken and the inventory updated by placing a "N" in the column
entitled "Significant Potential to Pollute" and a "Y" in the column entitled
"Pollution Prevented or Eliminated." A brief description of the actions completed
will be provided in the comment column of the inventory. The Activity Report
number will be indicated in the inventory and then closed. No further action is
required.
4. Prior to June 30th of every year, staff will contact all co-permittees either by email or
letter providing a list of all their facilities and/or operations that have been determined to
have a significant potential to pollute and are therefore subject to the Pollution Prevention
and Good Housekeeping Program. Co-permittees will be asked to respond back with any
additional facilities and/or operations that should be added to the list or indicate that the
list is complete. The supervisor may assign field evaluations or other follow up actions
as necessary based on these responses to ensure that the inventory is updated as
necessary. All the above actions will be documented in an Activity Report in Cityworks
with all correspondences attached. The end result will be the completion of the updated
inventory prior to June 30th of every year that has been verified in writing by each co-
permittee.
5. The inventory must be completed by June 30th of every year.
6. If follow up actions are deemed necessary for future fiscal years, the supervisor will be
responsible for incorporating these actions into annual Work Plans.
7. The supervisor will work with the Program Manager to update the SWMP to include new
properties into the Pollution Prevention and Good Housekeeping Program.
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Phase II Municipal Facility Inventory (PP-5)
CMS, CPCC, County or Town of XXXX
PID
Physical Address
Property
Use
No. of
Buildings
Total
Acres
Date
Evaluated
Staff
Performing
Evaluation
Significant
Potential to
Pollute (Y/N)
Pollution
Prevented or
Eliminated
/N
Activity
Report #
Comment /
Justification
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`-`� WATER
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Form for Evaluating Exposure of Significant Materials
Facility Name (PID):
I Facility DB#:
Inspector:
Date:
I Town:
Exposure to Precipitation: Are any of the following materials
or activities exposed to precipitation, now or in the
foreseeable future? (Please check either "Yes" or "No.") If
you answer "Yes" to any of these items, the facility is
determined to have a significant potential for generating
polluted stormwater runoff and is to be incorporated into
CMSWS's Pollution Prevention and Good Housekeeping
Program unless written procedures or controls are in place to
NA
Yes
No
reventpollution.
Using, storing, or cleaning industrial machinery or equipment,
❑
❑
❑
and areas where residuals from using, storing or cleaning
industrial machinery or equipment remain and are exposed to
storm water.
❑
❑
❑
Materials or residuals on the ground or in stormwater inlets from
s ills/leaks
❑
❑
❑
Materials or products from past industrial activity
❑
❑
❑
Material handling equipment (except adequately maintained
vehicles
❑
❑
❑
Materials or products during loading/unloading or transporting
activities
Materials or products stored outdoors (except final products
❑
❑
❑
intended for outside use [e.g., new cars] where exposure to
stormwater does not result in the discharge ofpollutants)
❑
❑
❑
Materials contained in open, deteriorated or leaking storage
drums, barrels, tanks, and similar containers
❑
❑
❑
Materials or products handled/stored on roads or railways owned
or maintained by the discharger
❑
❑
❑
Waste material (except waste in covered, non -leaking containers
[e.g., dum sters]
❑
❑
❑
Application or disposal of process wastewater (unless otherwise
ermitted
Particulate matter or visible deposits of residuals from roof stacks
❑
❑
❑
and/or vents not otherwise regulated (i.e., under an air quality
controlpermit) and evident in the stormwater outflow
Empty containers that previously contained materials that are not
❑
❑
❑
properly stored (i.e., not closed and stored upside down to
prevent precipitation accumulation
For any exterior ASTs, as well as drums, barrels, tanks, and
❑
❑
❑
similar containers stored outside, has the facility had any releases
in the past three 3 ears?
Comments:
NA
Yes
No
Above Ground Storage Tanks (ASTs): If you answer "No" to
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any of the following items, the facility is determined to have a
significant potential for generating polluted stormwater
runoff and is to be incorporated into CMSWS's Pollution
Prevention and Good Housekeeping Program unless written
rocedures or controls are in place to prevent pollution
❑
❑
❑
Are exterior ASTs and piping free of rust, damaged or weathered
coating, pits, or deterioration, or evidence of leaks?
Is secondary containment provided for all exterior ASTs? If so,
❑
❑
❑
is it free of any cracks, holes, or evidence of leaks, and are drain
valves maintained locked shut?
Comments:
Secondary Containment: If you answer "No" to any of the
following items, the facility is determined to have a
significant potential for generating polluted stormwater
runoff and is to be incorporated into CMSWS's Pollution
Prevention and Good Housekeeping Program unless written
NA
Yes
No
rocedures or controls are in place to prevent pollution.
Is secondary containment provided for all single above ground
❑
❑
❑
storage containers (including drums, barrels, etc.) with a
capacity of more than 660- allons?
Is secondary containment provided for above ground storage
❑
❑
❑
containers stored in close proximity to each other with a
combined capacity of more than 1,320- allons?
Is secondary containment provided for Title III Section 313
❑
❑
❑
Superfund Amendments and Reauthorization Act (SARA) water
riori chemicals*?
❑
❑
❑
Is secondary containment provided for hazardous substances**
design ed in 40 CFR § 116?
❑
❑
❑
Are release valves on all secondary containment structures
locked in the closedposition?
❑
❑
❑
Is accumulated water within an open secondary containment
berm inspected prior to release(using a standard form)?
❑
❑
❑
Is water that is contaminated disposed of properly, in accordance
with a SOP?
Comments:
General Comment:
Inspector:
Inspector Signature:
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Appendix E: Storrawater Inspection Checklist for Municipal Facilities
187
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WATER Facility Inspection
Services
Facility Name:
Inspection#
Contact:
Permit #
Receiving Stream
Inspector:
SIC #
Inspection Date:Entry Time: Exit Time:
Facility Description:
File Review/History:
Inspection Summary:
Site Inspection Deficiency Comm
Stormwater system (catch basins,
inlets, outfalls, etc.)
Erosion issues
Structural stormwater
control measures (SCMs)
Illicit discharges/connections
Aboveground storage tanks) (ASTs)
and any associated venting and/or
dispensers) — list tank sizes) and
contents
Underground storage tank(s) (USTs)
and any associated fill port area(s) and
dispenser(s)—Iisttan ksize (s) and
contents
Outdoor material storage area(s)
Outdoor processing areas)
Site Inspection Deficiency Comments
Loading/unloading area(s)
Vehicle/equipment area(s) - fueling,
maintenance, washing, storage, etc.
Oilfwater separator and/or pretreatment
Waste storage/disposal area(s) - open
tops, waste containers, scrap metal bins,
etc.
Food service area(s)
Indoor material storage area(s)
Indoor processing area(s)
Floor drains
Spill response equipment
SWPPP Section Observed Comments
Does the facility have a SWPPP?
Reviewed and updated annually
Date(s):
Res onsible party
General location (USGS) map
The facility's location in relation to transportation routes
and surface waters
Detailed site map
Property line, topography, buildings, outfall locations,
SCMs, onsite and adjacentsurface water or wetlands
Narrative description of industrial processes
Feasibility study
Evaluation of stormwater outfalls (non-stormwater
discharge evaluation) annually
Date(s):
Stormwater best management practice (BMP) summary
Secondary containment plan (all necessary
secondary containment provided and
documented)
Records on every release from a secondary
containment system (for the last 5 years) if applicable
Spill prevention and response procedures (SPRP)
List of significant spills or leaks (for the last 3 years)
Solvent management plan (SMP)
03, 06, 08, 09, 10, 12, 19 only
Preventative maintenance and good
housekeeping program (PMGHP)
Facility inspections conducted as required
Quarterly. 02, 03, 06, 08, 09, 10, 12, 18 All others semi-annually
Date(s):
Employee training (provided and documented)
Date(s):
189
Qualitative/Analytical Monitoring Observed Comments
Qualitative monitoring conducted as required
Quarterly: 02, 03, 06, 08, 09, 10, 1Z 19 All others semi-
annually
Analytical monitoring conducted as required
Quarterly: 02, 03, 06, 08, 09, 10, 12, 19 All others semi-
annually
Analytical monitoring for onsite vehicle and equipment
maintenance as required
more than 55 gallons of new motor oil andlor hydraulic oil per month when
averaged over the calendar year
Permit and Outfalls Observed Comments
Copy of permit and certificate of
coverage onsite
All outfalls observed
Number of Outfalls Observed
Representative outfall status
documented by DEMLR
Annual no -exposure self re -certification
documented
190
Phase II Permit Requirements Observed Comments
Is the permittee properly disposing of
wastes removed from the streets,
parking lots and the MS4 and
documenting the quantity (lbs., cubic
yards)?
Were any public transportation (road
way) projects constructed within the
last year?
Is the permittee implementing BMPs
(and maintaining records) to reduce
polluted stormwater runoff from the
municipally owned streets, roads,
and public parking lots?
Is the permittee implementing BMPs
(and maintaining records) to reduce
polluted stormwater runoff from the
municipally owned or maintained
stormwater catch basins and
conveyance systems?
Did the Co-Permittee provide
pesticide license numbers (indicate
license #) for all employees and
contractors performing application
activities and was license verified on
the NC Dept. of Agriculture website (i
ndicate Expiration date)?
Does the permittee document areas
treated with pesticides/herbicides for
comparison to annual thresholds?
Did permittee comply with pesticide
limitations specific to the Goose
Creek Watershed?
Is the permittee implementing BMPs
to reduce polluted storm water runoff
from vehicle and equipment cleaning
areas?
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Appendix F: Co-Permittee Responsibilities for Compliance with Phase Permit
Requirements
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Co-Permittee Responsibilities for Compliance with Phase Permit Requirements
February 24, 2021
Provided below is a list of those activities that each co-permittee must complete to comply with
Permit requirements working in cooperation with Charlotte -Mecklenburg Storm Water Services
(CMSWS). According to the terms of the Permit, each co-permittee is responsible for
compliance within their respective jurisdiction.
1. Work with CMSWS to ensure an effective public outreach regarding stormwater quality
by making educational materials available in newsletters and/or other regular
communications by the co-permittee and by maintaining brochures in a location
available to the public as requested by CMSWS. Contact CMSWS if new educational
materials are needed.
2. Maintain a link from the co-permittee web site to the CMSWS web site.
3. Assist as requested with volunteer programs, including working with CMSWS to
maximize volunteer participation, schedule events, collect trash following events, etc.
4. Receive and respond as necessary to reported problems with the storm sewer system
within the co-permittee's jurisdiction.
5. Work with CMSWS to update and adopt ordinances required for Permit compliance as
requested.
6. Notify CMSWS of any actions necessary to improve the effectiveness of the Phase II
Permit compliance program.
7. Ensure compliance with erosion and sediment control requirements at co-permittee
construction sites.
8. Ensure that all co-permittee projects comply with post -construction ordinance
requirements, including transportation projects. Guidance for ensuring compliance by
transportation projects is provided at the following link:
http://charlottenc.gov/StormWater/Regulations/Documents/PostConstructionPolicyforP
blicTransportationProje1 cts.pdf).
9. Maintain and implement an Operation and Maintenance (O&M) program for
municipally -owned or maintained structural stormwater controls installed for compliance
with the post -construction ordinances adopted by Mecklenburg County and the Towns of
Cornelius, Davidson, Huntersville, Matthews, Mint Hill, and Pineville on June 30, 2007
and by the City of Charlotte on July 1, 2008. At a minimum, the O&M program shall
specify that annual inspections are to be performed and the routine maintenance that is to
be performed.
10. CMSWS performs the required annual inspections of these stormwater control measures
and provides a written report to the co-permittee who is responsible for ensuring that all
deficiencies indicated in the report are properly resolved. The co-permittee is to submit
documentation of completion to CMSWS.
11. Ensure that co-permittee employees receive the training provided by CMSWS regarding
proper pollution prevention and good housekeeping practices at municipal facilities as
well as training on recognizing and reporting illicit discharges and improper waste
disposal. Keep records of employee training for a minimum of five (5) years.
12. CMSWS performs the required annual inspections of the co-permittee facilities
identified as having a significant potential to pollute and provides a written report to the
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co-permittee who is responsible for ensuring that all deficiencies indicated in the report
are properly resolved. The co-permittee is to submit documentation of completion to
CMSWS.
13. Implement the co-permittee's Storm Water Pollution Prevention Plan, including (but not
limited to):
a. Perform semi-annual inspections of material storage areas.
b. Perform annual outfall inspections during dry conditions.
c. Keep records of inspections for a minimum of five (5) years.
d. Follow procedures when spills occur.
e. Keep records of spills for a minimum of five (5) years.
14. Inform CMSWS if properties are purchased or sold so that an inventory of the co-
permittee's municipal facilities subject to Permit requirements can be maintained.
15. Implement the following to reduce polluted storm water runoff from the municipally
owned streets and public parking lots:
a. Continue enforcement of existing litter ordinances.
b. Continue existing solid waste collection and recycling services.
c. Continue public education to encourage the proper disposal and recycling of waste.
d. Sweep municipally owned streets and parking lots in identified problem areas.
These problem areas are identified by staff based on accumulations of leaves,
trash, debris, blockages, flooding, etc. Parking lot cleaning may also be
performed after special events and festivals where additional trash and other
pollutants are expected.
e. Continue providing trash receptacles at public parking lots and performing
scheduled trash pick-up.
f. Maintain written records documenting the location and number of parking lots and
streets swept and the pounds of pollutants removed as well as costs for a
minimum of five (5) years. Make these reports available to CMSWS by July 31st
of every year.
g. Ensure that waste collected from street sweeping and parking lot cleaning is
properly disposed of.
16. Implement the following to reduce polluted storm water runoff from the municipally
owned storm sewer systems:
a. Perform catch basin and conveyance system cleaning as well as make repairs to
the storm sewer system in identified problem areas. These problem areas are
identified by staff based on accumulations of leaves, trash, debris, blockages,
flooding, etc.
b. If catch basin and conveyance system cleaning reveals the presence of pollutants,
such as oil, paint, chemicals, etc., notify CMSWS immediately for the initiation
of follow up actions aimed at identifying and elimination pollution sources.
c. Maintain records documenting the number of inlets, outlets, and pipes cleaned
and the pounds of pollutants removed as well as costs for a minimum of five (5)
years. Make these reports available to CMSWS by July 3 1 " of every year.
d. Ensure that waste collected from storm sewer system cleaning is properly
disposed of.
e. Receive and respond to information provided by CMSWS regarding potential
maintenance issues.
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f Receive and respond to service requests from the public regarding storm drain
system maintenance issues.
17. Implement the following to ensure that municipal employees and contractors are
properly trained and all Permits, certifications, and other compliance measures for
pesticide applicators are followed:
a. Verify that employees and/or contractors that apply pesticides are properly licensed
and maintain copies of these licenses (update at least annually and within 30 days
of hire) and/or license numbers.
b. Comply with pesticide application thresholds described in Table 1 below. Each co-
permittee is responsible for maintaining a list of all locations treated with the
pesticides listed in this table and documenting the date and quantity of material
applied. To obtain guidance for compliance with Permit requirements, notify
Rusty Rozzelle with CMSWS at 980-314-3217 or at
rusty.rozzelle(d),mecklenbur cg ountync.gov when either or both of the following
conditions are met when applying the pesticides listed in Table 1:
• Co-permittee believes a treatment event may reasonably exceed an annual
applicable threshold quantity as described in the table below.
• Co-permittees discharges pesticide in response to a declared pest
emergency situation.
c. Comply with pesticide application limitations in the Goose Creek Watershed
specified in Table 2 below.
18. Implement the following to reduce polluted storm water runoff from vehicle and
equipment cleaning areas:
a. Vehicle washing areas should drain to a permitted sanitary sewer system, if
available.
b. If no sanitary sewer connection is available, the facility should either wash
vehicles at a car wash facility or designate an on -site vehicle washing area that is
not directly connected to a storm drain system, such as grassed areas, gravel
parking areas, or a water quality BMP. This washing area must be designated on
the Site Plan Map within the SWPPP. The following restrictions apply to these
designated washing areas not connected to the sanitary sewer system:
i. Only biodegradable detergents can be used with a pH between 4.0 and 9.0.
ii. Solvents cannot be used to clean vehicles in this area.
iii. Only vehicle exteriors should be washed. Engines or oily equipment /
parts cannot be washed in these areas.
iv. Water usage should be minimized to the extent practicable by using a
pressure washer or low flow nozzle.
Table 1: Pesticide Treatment Thresholds
Pesticide Use
Annual Threshold
Mosquitoes and Other Flying Insect Pests
15,000 acres of treatment area (adulticide
applications only) (1)
Aquatic Weed and Algae Control - In
Water
1,000 acres of treatment area
Aquatic Weed and Algae Control - At
200 linear miles of treatment area at water's
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Pesticide Use
Annual Threshold
Water's Edge
edge (2)
Aquatic Nuisance Animal Control - In
Water
200 acres of treatment area
Aquatic Nuisance Animal Control - At
Water's Edge
200 linear miles of treatment area at water's
edge (2)
Forest Canopy Pest Control
10,000 acres of treatment area
Intrusive Vegetation Control
500 linear miles (3)
(1) Multiple applications to the same area are added together only for mosquito and other flying
insect pest control.
(2) Applications that occur at the water's edge in a ditch or canal are counted only once when
one or both sides are treated.
(3) Applications to both sides of a road are added together for the total miles.
Table 2: Pesticide Application Limitations in the Goose Creek Watershed
Pesticide Active Ingredient
Code/Limitations
Azinphos-methyl
(2)
Benomyl
(1)
Captan
(1)
Carbaryl
(2)
Carbofuran
(1)
Chlorpyrifos
(3)
Diazinon
(2)
Dicofol
(2)
Dimethoate
(2)
Endosulfan
(2)
Esfenvalerate
(1)
Ethion
(2)
Ethoprop
(1)
Fenamiphos
(2)
Fonofos
(2)
Malathion
(2)
Methidathion
(2)
Methomyl
(1)
Mevinphos
(2)
Naled
(1)
Parathion (ethyl)
(2)
Pendimethalin
(2)
Permethrin
(1)
Phorate
(1)
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Pesticide Active Ingredient
Code/Limitations
Phosmet
(1)
Phosphamidon
(1)
Propiconazole
(1)
Pyrethrins
(2)
Terbufos
(2)
Trichlorfon
(2)
Code/Limitations:
(1) This pesticide shall not be applied within 20 yards from the edge of water for ground
applications and within 100 yards for aerial applications;
(2) This pesticide shall not be applied within 40 yards from the edge of water for ground
applications and within 200 yards for aerial applications;
(3) This pesticide shall not be applied within 100 yards from the edge of water for ground
applications and within one-fourth mile for aerial applications.
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