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HomeMy WebLinkAboutSW3221001_Response To Comments_20230216ROY COOPER Governor ELIZABETH S. BISER Secretary DOUGLAS R. ANSEL Interim Director Latham -Walters Engineering, Inc. Attn: Carlos L. Ruano, PE 16507-A Northcross Drive Huntersville, NC 28078 Niblock Homes, LLC Attn: William Niblock, Member 759 Concord Parkway North, Suite 20 Concord, NC 28027 NORTH CAROLINA Environmental Quality December 15, 2022 Subject: Request for Additional Information Stormwater Permit No. SW3221001 Brighton Park Subdivision Cabarrus County Dear Mr. Ruano and Mr. Niblock: The Division of Energy, Mineral and Land Resources (DEMLR), received a Stormwater Management Permit Application for the subject project on October 3, 2022. A review of that information has determined that the application is not complete. The following information is needed to continue the stormwater review: 1. Please QA/QC the submission. There were a number of inconsistencies noted in the submission materials. The following items are not an exhaustive list of issues, but rather demonstrative of the types of consistency issues noted during review. Please revise the submittal items as needed. a. The drainage area information shown in the Application (Section IV, 10) does not correspond to the information shown in the Supplement-EZ Form. For example, the total impervious area in the drainage area to SCM 1 is shown as 390,298 sf in the Application and 390,257 sf. Tables were revised b. The sum of the BUA allocated to the individual lots (178 lots @ 4,700 sf/lot = 836,600 sf) does not correspond to the value shown in the Supplement-EZ Form (843,650 sf) for the entire site. Tables were revised E Q�� North Carolina Department of Environmental Quality I Division of Energy, Mineral and Land Resources _ 512 North Salisbury Street 1 1612 Mail Service Center I Raleigh, North Carolina 27699-1612 NORTH CAROLINA uepaa ,t 0 eommomwW Qm. /`� 919.707.9200 c. The depth of the WQv for Sand Filter 1 is not calculated correctly. The WQv of 32,511 cf is interpolated between elevations 609 (cumulative volume of 0 cf @ 609') 610 (cumulative volume of 16,488 cf @ 610'). Corrected 2. As designed, this project proposes new BUA that is not being captured & treated in SCMs which is required in order to meet "Runoff Treatment" (15A NCAC 02H .1002(43)). Please either direct this untreated BUA to an SCM or, if that is not practicable, you may permit the portions of the project area that do not drain to the SCMs as low -density areas (provided that this area meets the low -density requirements). If either of these options are not practicable, a variance can be sought in accordance with 15A NCAC 02H .1003(6). Location of new BUA was not identified in comment. However, storm was revised to catch additional stormwater near the entrance. Calculations were also included to demonstrate improvements along the existing storm network. 3. Please correct the following issues with the Application: a. Section II, 4a — Please indicate that a 404/401 permit is required for this project. Application was revised b. Section IV, 6 — McAllister Creek appears to be partially located within the project area. Please include this on -site surface water area in Section IV, 6 of the Application, recalculate the Total Project Area (Section IV, 7), and the Project Percent Impervious Area (Section IV, 8). Please revise as needed. Application was revised c. Section IV, 8 — Please do not forget to include the new BUA that does not drain to the SCMs in this calculation. Please revise as needed. Ok 4. Please correct the following issues with the Supplement-EZ Form: a. Cover Page: i. Line 2 — Please remove the on -site surface water area (Line 4) from the Project Area. Corrected ii. Line 4 — This item (2.08 ac) does not correspond to the value in Section IV,6 of the Application (0 ac). Please revise either as needed. Corrected b. Drainage Areas Page: i. General: 1. See earlier comment with regard to the consistency of the drainage area information as shown on this form, the Application, and the calculations. Please revise as needed. Corrected 2. Line 19 — The design storm depth in this part of the State is 1.0 in. Please revise. Corrected 3. Line 21 — "HydroCAD" is not an acceptable calculation method, Please select either "Simple Method" or "Discrete NRCS Curve Number Method" (The provided calculations appear to indicate that the Simple Method was used). Corrected ii. Entire Site Column: 1. General — The entire site column should be an accounting of the entire project area, not just a summation of the other columns. New BUA that does not drain to the SCMs should be accounted for in this column. Please revise as needed. Ok 2. Lines 5 & 6 — Please ensure that the on -site surface water area is not included in these items. Ok 3. Line 18 — This item should correspond to the value shown in Section IV, 8 of the Application. Please revise as needed. Ok c. Sand Filter Page: i. Line 18 — Please include the SHWT elevations. If the SHWT elevation was not encountered in the boring (or the SCM is being built in fill), please indicate the lowest elevation that the absence of the SHWT is known. For example, if a boring is done down to elevation 100 and the SHWT was not encountered to that depth, use "<100" as the SHWT elevation since the SHWT elevation is somewhere below that observed elevation. Ok ii. Lines 23, 26, 30, & 32 — See later comment with regard to Sand Filter MDC 2. Corrected iii. Line 31 — The bottom of the sand chamber refers to the top of the sand layer. Corrected iv. Line 33 — The physical depth of the sand chamber does not refer to the depth of the sand layer that is provided, but rather the physical depth provided above the sand layer (similar to Line 27 for the sediment chamber). Ok v. Lines 35 & 36 — The bypass device refers to the lowest weir/orifice that allows stormwater runoff to bypass filtering through the sand layer. For example, for Sand Filter 1, the lowest bypass device is the 6" orifice at elevation 61 F as this allows stormwater runoff directly into the outlet structure without first going through the sand layer. Corrected vi. Line 39 — This item refers to the depth of the sand layer above the underdrain pipe. Corrected 5. Please correct the following issues with the sand filter design: a. General MDC 4 — Please provide calculations showing that the inlet and outlet protection is adequate. Provided b. Sand Filter MDC I — Please provide a map so that the soil borings provided in the geotechnical report can be matched up with the proposed SCMs (The geotechnical report references 7 SCMs while the final design only has 6 sand filters). A BMP was eliminated & numbering was revised. SHWT Report is updated. Map is provided. c. Sand Filter MDC 2 — This MDC requires the sand chamber and sediment chamber to have equivalent storage volume. For example, Sand Filter 1 shows a provided sediment chamber volume of 18,600 sf and a provided sand chamber volume of 8,700 cf. Guidance in the Manual does allow the sediment chamber to be oversized, however, you must still provide at least half of the design volume in each chamber. For example, if the design volume is 2,000 cf, 1,000 cf must be provided in both chambers, but the sediment chamber could be sized to provide additional storage (say, 1,500 cf). Ok, corrected d. Sand Filter MDC 6 — Please include the sand media specification in the plans. Labeled on plans ASTM C33 e. Sand Filter MDC 8 — The provided calculations assume that the sand media has a permeability of 3.5 ft/day (1.75 in/hr). Please revise as needed to ensure sufficient drawdown. Also, while not required, it is recommended that each underdrain line have its own connection to the outlet structure, otherwise directing all of the underdrain lines to a single pipe creates a chokepoint (Please refer to Part A-5 of the Manual for more information). Drawdown was revised to 2in/hr as listed on Sand Filter MDC 8 f. While not required, it is strongly recommended to limit the amount of impervious area draining to the sand filters (each proposed sand filter has a drainage area with a percent impervious cover of approximately 40%-50%) and to limit the drainage areas to the sand filters to 5.0 acres or less. These design constraints are recommended to limit the amount of fines entering the sand filters (fines cause the sand filter to become clogged which necessitates more frequent maintenance to bring the sand filters back into compliance). 6. Provide PDFs of all revisions, 2 hardcopies of revised plan sheets, 1 hardcopy of other documents, and a response to comments letter briefly describing how the comments have been addressed. a. PDFs must be uploaded using the form at: https://edocs.deq.nc.gov/Forms/SW-Supplemental-Upload b. Hard copies must be mailed or delivered to the following address: i. For FedEx/UPS: Jim Farkas 512 N. Salisbury Street, Office 640E Raleigh, NC 27604 ii. For LISPS: Jim Farkas 1612 Mail Service Center Raleigh, NC 27699-1612 iii. Hand Delivery: Please reach out to me prior to hand delivering a submission to make sure that I (or someone else in my group) will be able to receive the submission. Do not leave the package in the foyer with the security guard. NOTE: Hard copies should not be sent to a Regional Office. Doing so will delay the review process and the submission package may be lost while being sent from the Regional Office to me in the Central Office. Please note that this request for additional information is in response to a preliminary review. The requested information should be received by this Office prior to January 14, 2023, or the application will be returned as incomplete. The return of a project will necessitate resubmittal of all required items, including the application fee. Please reference the State assigned project number SW3221001 on all correspondence. Extension was provided by Jim Farkas on 2/8/2023 If you need additional time to submit the information, please submit your request for a time extension to the Division at the contact below. The request must indicate the date by which you expect to submit the required information. The Division is allowed 90 days from the receipt of a completed application to issue the permit. The construction of any impervious surfaces, other than a construction entrance under an approved Sedimentation Erosion Control Plan, is a violation of NCGS 143-215.1 and is subject to enforcement action pursuant to NCGS 143-215.6A. If you have any questions concerning this matter please feel free to contact me at Jim.Farkas@ncdenr.gov or (919) 707-3646. Sincerely, V"VI Jim Farkas Environmental Engineer Stormwater Program cc: Mooresville Regional Office