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HomeMy WebLinkAboutNCS000335_DOD SJAFB 2017 Annual Report_20170330Seymour Johnson Air Force Base 2016 Comprehensive Storm Water Management Program Annual Report Phase I MS4 Permit Number NCS000335 The 2016 Comprehensive Storm Water Management Program Annual Report has been prepared in accordance with the base National Pollutant Discharge Elimination System (NPDES) Permit - NCS000335, issued April 1, 2016. The North Carolina Department of Environmental Quality (NCDEQ) Phase 1/II MS4 Instructions (Forms SWU-268-091009 & SWU-264-103102) is the guidance document used to prepare this report. On April 1, 2016, NCDEQ Division of Energy, Mineral, and Land Resources authorized and issued the NC NPDES Permit NCS000335 to discharge storm water and continue operation of oil water separators not associated with wastewater discharges from facilities to receiving waters designated as Neuse River and Stoney Creek. This permit shall expire on March 31, 2021. The NPDES Permit, Part III (2), requires an annual review and update of the SJAFB Storm Water Plan (S WP) and Program. SJAFB shall submit a report of this evaluation and monitoring information (including annual deicing and anti -icing usage rates - Section H (2b)) to both the NCDEQ and the Washington Regional Office on an annual basis. The overall objective of the Storm Water Plan is to protect receiving stream water quality by reducing the discharge of pollutants from SJAFB's MS4 to the maximum extent possible through the implementation of the permit programs and the SWP elements described in the plan. TABLE OF CONTENTS 1. STORM SEWER SYSTEM INFORMATION.......................................................................... 1 1.1. Population Served................................................................................................................... 1 1.2. Growth Rate............................................................................................................................ 1 1.3. Jurisdictional and MS4 Service Areas.................................................................................... 2 1.4. MS4 Conveyance System....................................................................................................... 2 1.5. Land Use Composition Estimates........................................................................................... 3 1.6. Land Use Estimate Methodology............................................................................................ 3 1.7. Total Maximum Daily Load (TMDL) Identification.............................................................. 4 2. RECEIVING STREAMS.............................................................................................................. 4 3. EXISTING WATER QUALITY PROGRAMS......................................................................... 6 3.1. Local Programs....................................................................................................................... 6 3.2. State Programs........................................................................................................................ 7 4. PERMITTING INFORMATION................................................................................................ 8 4.1. Responsible Party Contact List............................................................................................... 8 4.2. Organizational Chart............................................................................................................... 9 4.3. Signing Official..................................................................................................................... 10 4.4. Duly Authorized Representative........................................................................................... 10 5. CO -PERMITTING INFORMATION (NO JOINT CO -PERMITTED) ............................... 11 b. RELIANCE ON OTHER GOVERNMENT ENTITY TO SATISFY ONE OR MORE PERMITOBLIGATIONS......................................................................................................... 11 6.1. Name of Entity...................................................................................................................... 11 6.2. Measure Implemented........................................................................................................... 11 6.3. Contact Information for the Responsibility Party ................................................................. 12 6.4. Legal Agreement................................................................................................................... 12 7. STORM WATER MANAGEMENT PROGRAM PLAN.......................................................13 7.1. Public Education and Outreach on Storm Water Impacts....................................................13 7.2. Public Involvement and Participation................................................................................... 18 7.3. Illicit Discharge Detection and Elimination......................................................................... 20 7.4. Construction Site Storm Water Runoff Control ......................................... .......... .............. 24 7.5. Post -Construction Storm Water Management in New Development and Redevelopment.. 25 7.6. Pollution Prevention/Good Housekeeping for Municipal Operations .................................. 27 8. DEICING AND ANTI -ICING CHEMICAL USAGE RATES ............................................... 29 9. STATE ANNUAL MONITORING REPORT FORM............................................................ 30 10. NPDES PERMIT NCS000335 CERTIFICATION STATEMENT ........................................ 33 i TABLES Table 1-1 Installation Population................................................................................................1 Table 2-1 Middle Neuse River Basin - 03020202.......................................................................5 Table 4-1 Contact Information....................................................................................................9 FIGURES Figure1-1 UA Boundary Map......................................................................................................2 Figure 1-2 SJAFB Land Use Chart (Base General Plan).............................................................3 Figure 1-3 SJAFB Land Use Map................................................................................................3 Figure 1-4 2014 Middle Neuse Watershed (3 03 (D) Report) ......................................................... 5 Figure 4-1 CES Organizational Chart.........................................................................................10 ii 1. STORM SEWER SYSTEM INFORMATION 1.1. Population Served: Describe the permanent and seasonal population served by the MS4 system. The source of the permanent population data should be listed. Methodology should be provided for any seasonal population estimates, as well as a description of the seasonal calendar. Seasonal population is an indicator of the stress placed on the MS4 during peak demands. Seymour Johnson (SJAFB) AFB is the home of the 4th Fighter Wing, which is located within the southern boundary of the city of Goldsboro in Wayne County, North Carolina approximately 50 miles southeast of Raleigh. SJAFB has occupied its current location and conducted operations since April 1956. The target audience 4th Fighter Wing, is the base's host wing, and is home to the multi -role, all-weather F -15E Strike Eagle and provides worldwide deployable aircraft and personnel capable of executing combat missions in support of the Aerospace Expeditionary Force. The 4th Fighter Wing provides logistical support to an Air Force Reserve wing, 916th Air Refueling Wing, which is a tenant wing responsible for maintaining and operating the KC -135R Stratotankers. Also the 567th Red Horse Squadron provides the Air Force with a highly mobile civil engineering capability in support of contingency and special operations worldwide. Several military dormitories, a lodging facility, and AAFES (Civilian Gas Station, Shoppette, and Barber Shop) are also located on base. NPDES Permit writer Mr. Mike Randall confirmed on 311612017 that the SJAFB could use the drinking water permit population for the population served. The Drinking Water Permit population served is 6,875. LZ Growth Rate: The population growth rate for the service area should be calculated based on the simple analysis of the relative change between the US Census populations in 1990 and 2000 stated as a percent change, annualized by dividing the percent change by 10. If your jurisdiction incorporated after 1990, use the based population established at the time of incorporation in place of the 1990 Census number to establish the change in population as a percent change as measured in 2000. More recent population data can be used to document the growth rate, ifavailable. According to US Census website — "https://www.census.gov/quickfacts/table/PST045216/3726880,00", the 1990 Census Goldsboro population was 40,709. As of July 1, 2015, it was 35,826. Percent change was 100*(35,826 - 40,709)/40,709 = -12% (divided by 15 = -0.8%). 1.3. Jurisdictional and MS4 Service Areas: List the jurisdictional and MS4 service area in square miles. Seymour Johnson AFB has 3,243 acres (5 square miles) but 977 acres (1.5 square miles) of the base (housing area) is outside of the base's MS4 Urbanized Area (UA). UA is based on the US 2010 Census. The map (Figure 1-1 red line below) shows the UA boundary. Figure 1-1. UA Boundary Map 1.4. MS4 Conveyance System: Briefly describe the composition of the existing MS4 system (pipes, ditches, sheet flow, etc.) and state of maintenance of the system. This narrative should give the reader a generalfeelfor how your storm water is transported to receiving streams and what kind of maintenance activities are currently performed. Seymour Johnson AFB has a network of piped and an open -channel storm water drainage system that collect and transport storm water runoff on and off the installation. The pipe network at SJAFB consists of approximately 50 miles of storm drainage pipes. The pipe system collects and empties storm water from the east side of the base (around Military Family Housing) and distributes runoff to Hospital Creek. Pipes collect storm water runoff from the south side of the base (Flight Line) distributes storm water to outfalls that discharge into either Burge Ditch or Mayfield's Ditch. Storm water runoff from Bulk Fuels area and Hangar Row empties into the Prison Ditch. Lastly, three small ponds collect runoff from the grounds area of the Golf Course. This stone water eventually goes underneath the flight line and empties into Burge Ditch. Storm water from Burge Ditch empties into the Neuse River. Civil Engineering Heavy Repair is responsible for maintaining the storm water draining system. In addition, a landscaping contractor maintains all the grounds, swales, and ditches on base and collect litter and debris from grounds area. The Water Quality Manager, with help from the Storm Water Pollution Prevention Team, monitors streams and ditches to address or report any non -storm water, spills, or illicit discharges. The base will initiate spill response procedures if unauthorized pollutants are discharged to streams. 1.5. Land Use Composition Estimates: Estimate the percentage of the MS4 service area that is under residential, commercial, industrial, and open space land use (Figure 1-2). Refer to Figure 1-3 for land use map. Othcr 2% Buffer i6% Open Sp Reueatmnal 26% LAND USE Industrial Aircraft Operations and Maimenance sx _AWIeW Sy% Housing 30% sAg M Figure 1-2. SJAFB Land Use Chart (Base General Plan) Ad.mmoatbe M Aircraft Operations.n, M Airfield 0 Community (Comma 0 Community (S e) Housing (Accamp.nle 11111 Housing (On¢comp.r Induatri.l Medk.l 0p 5p.ce 11111111 Outdoor Recnumcn Water.mV., Conti, V Figure 1-3. SJAFB Land Use Map 1.6. Land Use Estimate Methodology: Within the framework of the base General Plan, land use planning is a rational, sequential decision-making process. It is rational in its orderly approach. First, the base identifies and drafts the land use goals and objectives. Next, a needs assessment is completed, with f ll consideration of the unique constraints and opportunities that exist at that particular base. The information collected helps to develop a land use plan, clearly identifying areas by f snctional use. Finally, the plan guides future development. The planning process must be a dynamic one, capable of accommodating change, when change dictates. An Area Development Plan (ADP) is a conceptual long-range plan for a specific area within the base. A charrette process (see explanation below) results in the selection of a preferred alternative from a number ofpreliminary alternatives within ADPs. Charrette stakeholders include personnel within functions/facilities ofADP areas, as well as civil engineering, infrastructure, communications, emergency response, quality of life, and force protection personnel. The Charrette Process Charrette is a French word meaning "little cart." The use of the word charrette to describe a design process stems from the 19th century, when French art and architecture students busied themselves to finish their final projects. As the deadline came, the students would toss their projects into the charrette to be reviewed. A charrette is an intensive design workshop designed to facilitate open discussion between stakeholders of a development project. The charrette team works together to find design solutions that will result in a clear, detailed, realistic vision for future development. The design professionals and the stakeholders share this information. The resulting vision can be based predominantly upon the issues that stakeholders feel are most crucial to them. 1.7. Total Maximum Daily Load (TMDL) Identification: The Environmental Protection Agency (EPA) or the North Carolina Department of Environmental Quality have the authority to establish and issue a TMDL allocation on a body of water or receiving stream. Acknowledge if your M34 discharges into such a controlled body of water or receiving stream. Section 303(d) of the Clean Water Act requires the identification of water bodies that do not meet, or are not expected to meet water quality standards (i.e., impaired water bodies). The affected water body, and associated pollutant or stressor, is then prioritized in the 303(d) List. The Clean Water Act further requires the development of a Total Maximum Daily Load (TMDL) for each listing. On March 30, 2012, the North Carolina Department of Environmental Quality (DEQ), submitted its final 2012 section 303(d) list of impaired waters to the Environmental Protection Agency for review and again in 2014. A draft 2016 303(d) list has been reported for 2016 and does not show any impaired waters near SJAFB in its listing. 2014 Middle Neuse Watershed also shows no impairments for the receiving streams around SJAFB. 2014 303(d) Integrated Report says Insufficient Data. Results are shown on the EPA My Waters Mapper website at: hqp://watersgeo.epa.gov/mwm/?laver=LEGACY WBD&feature=03020202&extraLavers=null 2. RECEIVING STREAMS Complete a table (as shown in the table below - Middle Neuse River Basin -03020202) for each river basin within the M34 service area. The websites and resource contacts listed below under Information Sources will help you locate the information you need. Your river basin table should list the primary streams that receive storm water runofffrom the SJAFB M34jurisdictional area. Primary streams are those that are shown on a USGS topo map or SCS map. Streams that are shown on the USGS or SCS maps but do not have a name shall be listed as an unnamed tributary to the nearest named downstream receiving water body. For each stream, the water quality classification(s) and the NCDEQ Use Support Rating shall be listed. The water quality classification and/or use support rating for a single stream may change El over its length. Therefore, stream segments shall be identified by index number and the corresponding water quality classification and use support rating shall be listed. Your river basin table should also briefly idents any specific water quality issues identified in the most recent NCDEQ river basin water qualityplan, 303(d) List or identified at the local level. Issues can include specific pollutants of concern, pollutant sources and activities of concern, etc. Information Sources: Which river basin are you in? http://h2o.enr.state.nc.us/basinwide/whichbasin.htm Stream Index Numbers: http://h2o.enr.state.nc.us/bims/Renort IreportsWB.html Water Quality Classifications: http://h2o.enr.state.nc.us/biros/Reports/reports WB. html Table 2-1. Middle Neuse River Basin — 03020202, Rep ing Year 2014 Receiving Water Quality Use Support Water Quality 303(d) Stream Name Stream Segment Classification Rating Issues List Stoney Creek 10.7 miles from source QNSW Insufficient No TMDL to Neuse River Data Neuse River 21.5 miles C;NSW Insufficient No TMDL Data Figure 1-4. 2014 Middle Neuse Watershed shows no impairments for the receiving streams around SJAFB. 2014 303(d) Integrated Report says Insufficient Data htta://NCDEO.mays.arcgis.com/anns/Viewer/index.html?anaid=bd3ad327aeea4dl a9802ee -- 2014 Integrated Report 2014 Integrated Report 2 -Supporting except for — statewide fish tissue coi 40, mercury — 3 - Insufficient data 4 -Impaired -has TMDL or ahemafive plan 5 - Impaired (303(d) list) - - needs Ti or ahemative plan '°^°°°^ "• Waters with no data, only statewide fish tissue ri.,r•,.. �� mercury I 1 3. EXISTING WATER QUALITY PROGRAMS 3. 1. Local Programs: List and briefly describe the existing water quality programs that are implemented by your community within the MS4 service area. This includes such programs as Water Supply Watershed Protection, delegated Erosion and Sediment Control, Neuse NSW Urban Storm Water, Land Use Plans, etc. SJAFB Local Programs: Base Comprehensive Planning: The General Plan (GP) is the capstone of the comprehensive planning process. It provides the Commander, 4th Fighter Wing (FW); Commander, 916th Air Refueling Wing (ARW); and subordinate leaders with a synopsis of those factors affecting the development of SJAFB. GP identifies and assesses the natural, cultural, environmental and operational factors (existing land uses) that may impact future construction at SJAFB. Storm Water Pollution Prevention Program: The purpose of the Storm Water Pollution Prevention Program is to satisfy regulatory requirements associated with the base's storm water National Pollution Elimination System Permit No. NCS000335 and facilitate the management of activities that may impact water quality. Illicit and Nonpoint Source Control Program: The Illicit and Nonpoint Source Control Program includes procedures and requirements for completing dry weather flow investigations; spill response; completing corrective actions on discovered pollutants and stopping the source of discharge; and, creating a complaint call number and website. Integrated Natural Resources Management Plan (INRMP): The INRMP reflects the US Air Forces' (USAF) approach to natural resources management and stewardship and summarizes baseline information and agreements through which compliance with regulatory and planning processes, such as those required by the Sikes Act Improvement Act (SAIA) of 1997, National Environmental Policy Act (NEPA), Endangered Species Act (ESA) and the Clean Water Act (CWA) is accomplished. The INRMP is prepared in cooperation with the US Fish and Wildlife Service (USFWS), North Carolina Wildlife Resources Commission (NCWRC), Air Force Civil Engineer Center (AFCEC) and SJAFB natural resources office. Comprehensive Watershed Protection Plan (CWPP): The objective of the CWPP is to implement and enforce a program to address storm water runoff from new development and redevelopment projects, including public transportation maintained by SJAFB, that disturb greater than or equal to one acre. Demolition projects and /or added projects that add impervious areas, other than routine maintenance and improvement projects, that are greater than 5,000 sq. ft., will be reported in the Stormwater Annual Report. Project information will include brief description, permits issued, receiving streams, drainage area, net proposed impervious area (sf), BMPS, impervious area and remaining credits. Seymour Johnson AFB employed a Comprehensive Watershed Protection Strategy (whole base approach) by reducing impervious footprint and runoff volumes beginning in 2007. Through 2016, SJAFB has established a remaining 67.16 acre credit to be used to offset new development 0 until the credit is consumed. Even though SJAFB has an established credit, the base will continue to protect natural resource areas, riparian buffers, utilize low impact development and green infrastructure practices (retrofits) as a part of its design considerations. Spill Prevention, Control, and Countermeasures (SPCC): The purpose of this Spill Prevention, Control, and Countermeasures (SPCC) Plan is to describe measures implemented by Seymour Johnson Air Force Base (SJAFB) to prevent oil/fuel discharges from occurring and to prepare SJAFB to respond in a safe, effective, and timely manner to mitigate the impacts of a discharge. This Plan has been prepared to meet the requirements of Title 40, Code of Federal Regulations, Part 112 (40 CFR 112). 3.2. State Programs: List existing programs that are implemented by the state within the MS4 service area. These include programs such as CAMA, State Storm Water Management, Erosion and Sediment Control, Riparian.Buffers, etc. City of Goldsboro is a member of the Clean Water Education Partnership (CWEP). CWEP is a cooperative effort among local governments that provides public awareness and outreach information to members of the Goldsboro community including SJAFB. The CWEP usually runs one television campaign per fiscal year, utilizing both network broadcast and cable television outlets. The CWEP shows its television spots in area cinemas as funding allows. The CWEP typically develops and alternates two radio spots - one "action" spot and one "awareness" spot for each radio campaign. Lastly CWEP created a website in 2002 to provide additional information to the public. Its 2014 CWEP Annual report can be found at: http://www.nccwep.org/ydf/CWEP FY14 Annual Renortmdf Existing State Programs Implemented: Erosion and Sedimentation Program: The NCDEQ Division of Land Resources "Erosion and Sedimentation Program" includes procedures for public input; sanctions to ensure compliance; requirements for construction site operators to implement appropriate erosion and sediment control practices; review of site plans that incorporates consideration of potential water quality impacts; and procedures for site inspection and enforcement of control measures. Sedimentation Pollution Control Act (SPCA) Self -Inspection Program: Effective October 1, 2010, the Sedimentation Pollution Control Act was amended to require that persons responsible for land -disturbing activities larger than one acre to inspect a project after each phase of the project to make sure that the approved erosion and sedimentation control plan is being followed. The self -inspection program is now combined with the weekly self-monitoring program of the General NPDES Storm Water Permit NCGO10000 for Construction Activities. Beginning August 1, 2013, the Division of Energy, Mineral, and Land Resources are responsible for administering both the SPCA and the NPDES General NPDES Permit NCGO10000. Neuse River Basin: Nutrient Sensitive Waters Management Strategy: Nutrient Management (0.239): The following is the management strategy for nutrient management in the Neuse River Basin: Persons shall obtain a certificate, issued within five years of the effective date of this Rule by the Cooperative Extension Service or the Division of Environmental Quality, verifying completion of training and continuing education in nutrient management. Within one 7 year from the effective date of this Rule, the Division of Environmental Quality, in cooperation with the Cooperative Extension Service, shall conduct a sign-up process for persons wishing to take the nutrient management training. 15 A NCAC 02 B .0233 Nutrient Sensitive Waters: The Nutrient Sensitive Waters Management Strategy is required for maintaining and protecting existing riparian buffers in the Neuse River Basin; and, to maintain their nutrient removal functions. This Rule shall apply to 50 -foot wide riparian buffers directly adjacent to 19 surface waters in the Neuse River Basin (intermittent streams, perennial streams, lakes, ponds, and estuaries), 20 excluding wetlands. Because SJAFB lies within the basin, all intermittent and perennial streams on Base fall under this rule. Fifty (50) -foot buffer zones on both sides of the streams are protected and removal of vegetation in the riparian buffer zone requires compliance with the rule. Continuation of existing management practices (such as periodic mowing within the buffer zone) is exempt. All projects that could potentially impact the Neuse River or its tributaries will be reviewed for compliance with the Neuse River Buffer Rule, and practicable avenues of avoidance of buffer zone impacts will be considered. 4. PERMITTING INFORMATION The main office of responsibility for complying with the Seymour Johnson NPDES Permit NCS000335 requirements is the Civil Engineering Installation Management Flight. The base Storm Water Manager is responsible for coordinating, implementing, and addressing all minimum measure goals. 4.1. Responsible Party Contact List. Provide a list or table of each measurable goal and the contact information for the person and/or position that are responsible for implementation of each goal listed. Contact information for existing positions must include name, position, title and a contact phone and fax number. The following table lists the contact list for SJAFB personnel who are responsible for the Storm Water Management Program, include goals: a. Public Education and Outreach; b. Public Involvement and Participation; c. Illicit Discharge and Elimination; d. Pollution Prevention and Good Housekeeping; e. Construction Site Runoff Controls; f. Post Construction Controls. 8 TABLE 4-1. CONTACT INFORMATION Phone/ Contact Tide/Unit Fax Person E-mail Minimum Measures 4 CES/CEIE, 722- Mr. ronnie.wilson@us.afmil 1. Public Education & Outreach Storm Water 51681 Ronnie 2. Public Involvement & Quality 722- Wilson Participation Program 5179 3. Illicit Discharge & Elimination 4. Pollution Prevention & Good Housekeeping 5. Construction Site Runoff Controls 6. Post Construction 4 CES/CEIE, 722- Mr. dean. chastain@us. af mil 1. Public Education & Outreach Environmental 51681 Dean 2. Public Involvement & Management 722- Chastain Participation Leader 5179 3. Illicit Discharge & Elimination 4. Pollution Prevention & Good Housekeeping 5. Construction Site Runoff Controls 6. Post Construction Controls 4 CES/CEI, 722- Mr. donald abrams@us. af mil 1. Public Education & Outreach Installation 51681 Donald 2. Public Involvement & Management 722- (Buck) Participation Flight Chief 5179 Abrams 3. Illicit Discharge & Elimination 4. Pollution Prevention & Good Housekeeping 5. Construction Site Runoff Controls 6. Post Construction Controls 4 CES/CEN, 722- Mr. brian Joyner@us. af. mil 1. Construction Site Runoff Engineering 5145 Brian Controls Flight Chief Joyner 2. Post Construction Controls 4.2. Organizational Chart: Provide an organizational chart that shows where the responsible parties listed above fit into the structure of your organization. 4 CES/CCP (First Sergeant) MSgt Itazue Martinez Emergency Servicxs Leadership Figure 4-1. CES Organizational Chart 4 CES/CEM (Chief Enlisted Manager) .CMSxt Michael rayslt 4 CBS/CCQ (Squadron Section CC) Tony Campbell 4 CES/CED (Explosive Ord2nSG Disposal) SMSgt Nichol.. Schut£ 4 CES/CEF (Fire Emergency Services) Mr. Sean Oulnbv 4 CES/CC (Commander) U Col Andrew Cullen 4 CES/CD(Deputy Base 4CES/CCS Civil Engineer) H(Commander's Mr. Dennis Goodson, PE Secretary) Mx Shirl Warner 4 CFS/CEI (Installation Mgt) Mr. Buck Abram. PE 4 CBS/CES (Operations) Ma) John Casey world ass Support 4 CES/CIX (Readiness and 1 4 LES/CEN EmergencyMM Capt Alex Swanson Brian (Engineering) ) Briav Joyner, PB 4.3. Signing Official: The application and permit application report shall be signed by a principal executive officer, ranking elected official or duly authorized representative. Provide the name, position and a brief explanation of why the signing official is the appropriate person to sign the permit application. Mr. Dennis Goodson is the Deputy Base Civil Engineer for the 4th Fighter Wing, 4th Civil Engineering Squadron (CES). The Installation Civil Engineering Squadron (via 4 CES/CEI) has overall responsibility of the installation's environmental program (AFI 32-1067). 4 CES/CEI (Installation Management Flight) in CES is the installation commander's organization for ensuring the storm water program is in compliance with the base National Pollutant Discharge Permit (NPDES) NCS000335. 4.4. Duly Authorized Representative: If you are delegating permit application responsibility to someone other than the signing official, provide documentation that the person is duly authorized. A person is a duly authorized representative for matters concerning the NPDES storm water application and permit only if • The authorization is made in writing by a principal executive officer or ranking elected official; • The authorization is approved through board action by an appropriate body such as City or Town Council, County Commissioners or similar authority; • The authorization specifies either an individual or a position having overall responsibilityfor environmental/storm water matters; and • The written authorization is submitted to the Director along with the Storm Water Management Program Plan. 10 Air Force Instructions 32-1067 (pg10) instructs and directs the Office of Primary Responsibility (OPR) for the SWP document, applying for permits, ensuring compliance, and establishing local procedures for the storm water program to be the Civil Engineering, Installation Management Flight (CEI). 5. CO -PERMITTING INFORMATION An MS4 may work with another MS4 or group of MS4s to develop and implement the Phase II storm water program within their jurisdictional area. If subject MS4s are working jointly on development and implementation of all required minimum measures, then those entities may apply for a single NPDES permit as co permittees. The Seymour Johnson AFB MS4 is working with the City of Goldsboro's MS4 to ensure available public awareness information is provided to city and to base personnel. 6. RELIANCE ON OTHER GOVERNMENT ENTITY TO SATISFY ONE OR MORE PERMIT OBLIGATIONS If you are relying on another government entity to satisfy one or more permit obligation and are not applying as co permittees, provide the following information on each entity and the permit obligation: 6.1. Name of the entity(s): The NCDEQ Division of Energy, Mineral, and Land Resources, Erosion and Sediment Control Program The City of Goldsboro and Clean Water Education Partnership 6.2. Measures Implemented.- Phase mplemented. Phase II Construction Minimum Measure: Sedimentation and Erosion Control are met via General Permit NCGO10000 Requirements. This program includes state review of procedures for public input, sanctions to ensure compliance, requirements for construction site operators to implement appropriate erosion and sediment control practices, review of site plans that incorporates consideration of potential water quality impacts, and procedures for site inspections and enforcement of control measures. Phase II Public Awareness and Outreach - City of Goldsboro is a member of the Clean Water Education Partnership (CWEP), which provides public awareness information to members of Goldsboro including SJAFB. CWEP usually runs one television campaign per fiscal year, utilizing both network broadcast and cable television outlets. CWEP shows its television spots in area cinemas as funding allows. CWEP typically develops and alternates two radio spots - one "action" spot and one "awareness" spot - for each radio campaign. CWEP usually runs one radio campaign per fiscal year during the summer. CWEP also has a website that provides awareness information to educate citizens about protecting water quality in the Tar -Pamlico, Neuse and Cape Fear River Basins. 11 6.3. Contact Information for the Responsible Party: • Name - Dennis G. Goodson • Address - 1095 Peterson Ave, Seymour Johnson AFB NC 27531 • Phone Number - (919) 722-5142 6.4. Is a legal agreement in place to establish the relationship and responsibilities of both parties? Yes, via Financial Responsibility/Ownership Form and the approved Sedimentation and Erosion Control Plans for construction sites greater than 1 acre: 12 7. STORM WATER MANAGEMENT PROGRAM PLAN: You must implement and enforce a storm water management program (SWMP) designed to reduce the discharge of pollutants from your small MS4 to the maximum extent practicable (MEP), to protect water quality, and to satisfy the appropriate water quality requirements of the Clean Water Act. 7.1. Public Education and Outreach on Storm Water Impacts (NCS000335 - SECTION B): 13 Y Y Y Y Y Responsible R R R R R Org/ Current/Future Status of Narrative Description Start Date FundingMeasurable Goals 1 2 3 4 5 Position ` Activities BMP 1: Define Goals and objectives of the Bases Public Education and Outreach Program based on at least three high priority community wide issues. The success of SJAFB Public Education and Outreach program depends on the Storm Water Pollution Prevention Team's (SWPPT) commitment to building lasting partnerships. Member partnerships with SJAFB and the surrounding area include: City of Goldsboro, Grounds Contractor "Ashley -Marie Group, Inc., Elizabethtown, NC", 4 CES/CEI, 4 CES Heavy Repair, 4 CES Construction Mgt, 4 CES Entomology, 4 CONS Contracting, Bioenvironmental, Legal, 4 FW Public Affairs, Corvias, UECs, etc. The Storm Water Pollution Prevention Team is responsible for the Public Education and Outreach program. The team's message will be "No Dumping, Do Not Pollute the Neuse." The effectiveness of the program will be assessed through surveys, emails, EDASH, and analyzing the results of inspections (amount of pollutants or debris in streams, qualitative and quantitative results, amounts of complaints or discharge reports). SJAFB collaborates with the City of Goldsboro in meeting some of the requirements of SJAFB Phase 11 Permit. The City of Goldsboro is a member of the Clean Water Education Partnership (CWEP) which provides public awareness information to members of Goldsboro including SJAFB. The CWEP usually runs one television campaign er fiscal year, utilizing both network broadcast and cable television outlets. The CWEP shows its televisionspots in area cinemas as funding allows. Goals and Objectives were identified: 4/1/16 Define Goals and X SWPPT Completed. Three high • The base will continue to generate storm water objectives of the Public 4 CES/CEIE priority community issues awareness by educating base personnel about Education and Outreach have been defined and listed. the drainage system and its relationship to the Program based on three health of the local waterways and the high priority community environment. wide issues. • Track and reduce the amounts of illicit discharges and/or spills. • Reduce Sediment Reduction through inspections and awareness information. BMP 2. 1dent & and maintain a description of the target pollutant and/or stressors and likely sources. The 4 CES/CEI (Installation Management Office) determined the target pollutants and/or stressors and likely sources of storm water pollution through facility inventory and stream analysis. Inventory (via ESOHCAMP visits and Qualitative/Quantitative Storm Water Inspections) data was collected from shops and areas that were most likely to contribute industrial pollutant discharges to the storm water distribution system. Stressors: The "Assessment Report: Biological Impairment in the Stoney Creek Watershed, June 2003" stated that toxicity is considered a primary cause of aquatic organism impairment to the Stoney Creek Watershed. In addition, sediments from construction site activity can threaten creatures in the benthic environment, exposing worms, crustaceiecs and insects to hazardous concentrations of toxic chemicals. Trash, debris, and other types of solid waste from normal human activities in rivers or streams can impair the recreation value and habitat quality of a water body. The primary target pollutants are likely sources 4/1/16 Maintain a description of X X X X X 4 CES/CEIE Completed. SJAFB of pollutants to storm water at SJAFB: target pollutants and/or I Industrial Wastewater 1. Toxicity from nonpoint sources - Total stressors and like/y Evaluation Report, 13 14 Y Y Y Y Y Responsible R R R R R Org/ CurrentlFuture Status of Narrative Description Start Date Funding Measurable Goals 1 2 3 4 5 Position Activities Petroleum Hydrocarbons - likely sources sources. Appendix B, and GIS Map includes GOV vehicle and aircraft parking list likely target pollutants, areas. descriptions of potential 2. Total Suspended Solids and Turbidity from contaminants, sources, and improper management of construction site discharge points. SPCC plan activities could be a source. also provides list of all oil 3. Garbage in streams from on and off base fuel equipment, tanks, and sources could affect streams. refueling areas. BMP 3: Identify Target Audiences The main target audience, due to the base flying mission, is the 4th Fighter Wing. It is the host wing and home to the multi -role, all-weather F - 15E Strike Eagle. It provides worldwide deployable aircraft and personnel capable of executing combat missions in support of the Aerospace Expeditionary Force. The 4th Fighter Wing provides logistical support to an Air Force Reserve Wing, 916th Air Refueling Wing, which is a tenant wing responsible for maintaining and operating the KC -135R Stratotankers and the soon proposed KC -46A MOB 3 mission. The Water Quality Manager, along with the base Geographic Information System (GIS) Section - 4 CES/CENME, will ensure the base GIS storm water system map is updated and will identify target audience locations and potential pollutant sources. The target audiences will be assessed annually through surveys, discussions with SWPPT, and analyzing the results of inspections of discharge outfalls at industrial facilities (amount of pollutants or litter in streams, qualitative and quantitative results, amounts of complaints or spill reports). Base Housing Area is now Privatized and managed by a contractor. Maintenance and operation control of stormwater distributions stem in housing is the resp nsibility of Corvias(housing contractor . 1. The GIS system map update included a review, 4/1/16 Internal Cost Idents, assess annually, X X X X X 4 CES/ Completed. GIS data layers modification, and revision of target audience and update as necessary CENME are used to map target activities with associated outfalls that have the target audiences likely to 4 CES/CEIE audience locations (Vehicle potential to pollute waterways. have significant storm and Aircraft Maintenance). 2. Facilities that are associated with industrial water impacts and why Non -Storm Water Illicit facilities like aircraft and vehicle refueling, they were selected. Discharge Survey and the deicing, and construction site activities have been Industrial Wastewater identified. Evaluation Report were used to assess the impacts of target audience. BMP 4. Identify residential and industrial/commercial issues Three important issues identified by 4 CES/CEIE in the base residential area concern vehicle maintenance, vehicle washing, and base reporting of water quality issues. Single enlisted members in the ranks of E-1 to E-4 reside in ten dormitories. Per the Base Housing and Dorm Policy Bulletin: The only vehicle maintenance allowed by airmen is flat tire changes, battery and lawn equipment maintenance. The Auto Skills Center, 722-1309, is available for all other maintenance. PETROLEUM, OIL, AND LUBRICANT (POL) PRODUCTS DISPOSAL: The dumping or disposing of POL products, such as grease, engine oil, brake fluid, and hydraulic fluid, into the storm drains, under fences, and onto the grass violates state and federal EPA laws in addition to Air Force Instructions. Take petroleum, oil, and lubricant products to the Auto Skills Center for proper disposal. For more information, please call 722-1309. An on base vehicle wash rack is designated for private vehicle washing at the Services building 3702 so that releases of soaps and other contaminants to storm water is limited and discharged to sanitary sewer. SJAFB partners with Corvius (housing contractor) to ensure public education and awareness information is distributed to housing residence. Goals include investigating residential areas at 4/1/16 Identify three residential X 4 CES/CEIE Completed. SWPPT SJAFB MS4 that consist of dormitories and issues and three identified three issues for temporary lodging facilities located in the main industrial/ commercial residential and base area. Main Housing is Privatized and issues. Issues such as industrial/commercial. maintained by Corvias. Three issues targeted on specific ollutants, the 14 15 Y Y Y Y Y Responsible R R R R R Org/ Current/Future Status of Narrative Description Start Date Funding Measurable Goals 1 2 3 4 51 Position Activities the residential side are: sources of those 1. Vehicle Washing (Foam from wash racks) pollutants, impacts on 2. Vehicle Maintenance (Oils and fuels — refueling biology, and the physical areas ) attributes ofstorm water 3. Spill reporting (non-stormwater discharges runoff, have been base -wide) identified for actions in the educationloutreach Three issues that will be targeted on the industrial program. side of the base second year are: 1. Litter Prevention 2. Reporting of Sediment and Fuel Discharges 3. Illicit Discharge Detection and Elimination Observations BMP S: Identify and describe watersheds in need ofprotection and the issues that may threaten the quality of the waters. The Storm Water Plan, Section 4.4, identifies and describes the industrial storm water subareas and potential pollutant sources that may threaten the quality of these waters. The state classified the Stoney Creek watershed as a C - NSW (C -Aquatic Life, Secondary Recreation; NSW -Nutrient Sensitive Waters); and, is in the Middle Neuse River Basin (10.7 miles). For the Neuse River (21.5 miles), mercury in fish tissue is the probable cause of the impairment. SWP, Section 4.4, describes the delineated 1/4/16 Idents and describe X 4 CES/CEIE Completed. watersheds or sub -basins. SWP, Section 4.5, and watersheds in need of base GIS Geodatabase describes the base industrial protection. watersheds, potential pollutants, and industrial vehicle and aircraft maintenance activities. BMP 6: Informational Website SJAFB personnel have intranet access through the web portal. The intranet website used by the target audience has been developed, maintained, and updated as necessary to address pollutant discharges and provide training. The Water Quality Manager updates the EDASH website with awareness information that promotes and educates the base on storm water issues. Corvias (housing contractor) provides information to base housing residents concerning operations and maintenance and resident responsibilities in base housing at httt)://airforce.corviasmilitaryliviniz.com/seymour-iohnson/resident-responsibilities. ESOHTN website is used as the main base website for environmental training. Updated awareness information is placed on the 4/1/16 Internal Cost Promote, maintain, X X X X X 4 CES/CEIE Ongoing. Presently the base intranet websites "EDASH" and "ESOHTN' assess, and update as 4 FW/PA websites are meeting the (and CWEP website) to promote and educate the necessary the intranet goal of providing adequate base community on storm water issues. Site link is website. education and awareness at located at: information to the target https://csI.eis.af.mil/sites/edash- audience. ins 1/Seymour/Pages°/o20%20Proarams/ W ater%20 Oualitv.aspx 15 li, Y Y Y Y Y Responsible R R R R R Org/ Current/Future Status of Narrative Description Start Date Funding Measurable Goals 1 2 3 4 5 Position Activities CWEP continues to maintain its Facebook FY16 presence. The site began FY14 with 67 followers (users who "like" the page and see the posts in their news feed), and it was concluded FYI with 101 followers (a 51% increase). Resident Responsibility Guide regarding FY16 maintenance, lawn care, dog waste, and recycling is posted on the Corvias website at http://airforce.corviasmi litarvl ivinp.com/seymour- iohnson/resident-resoonsibilities. BMP 7: Distribute public education materials to identified target audiences and user groups. The Installation Management Flight will distribute educational materials to the SJAFB community to raise and improve public awareness on causes that impact storm water and inform citizens on steps and measures to take to prevent storm water pollution. The S WPPT will partner with 4 FW/PA (Public Affairs) to assist in developing and distributing articles to target audience. Most of the base awareness information is placed on the base EDASH Website in the Environmental Document Library. In addition, the City of Goldsboro and Clean Water Education Partnership httu://www.nccleanwater.org/outreach/ also provides education and awareness information to personnel at Seymour Johnson AFB. Potential Exposure to the base intranet EDASH and FY16 Internal Cost Distribute, assess, and X X X X X SWPPT Ongoing. City of Goldsboro ESOHTN websites is 12,478 base personnel. Partnership update as necessary 4 CES/CELE & the CWEP produces Cost storm water education Corvias valuable Public Awareness materials to appropriate and Outreach Programs Bioenvironmental Office added stormwater target group in such a which include SJAFB. awareness information in the 2016 Annual 7/1/2016 Internal Cost way designed to convey Drinking Water Consumer Confidence Report that the program's message to is distributed to base and housing residents. Shows the target audience each how erosion and runoff from fertilizers, septic year. Instead of tanks, and sewage can affect drinking water developing its own sources. materials, SJAFB may rely on Public Education Grease Interceptor Management Plan was updated and Outreach materials and placed on EDASH and forwarded to 10/6/2016 Internal Cost supplied by state, and/or organizations (residential and commercial) to use other entities through to manage their grease operations. cooperative agreement, https://csl.eis.af mil/sites/.d.sh- as available, when ins1/sevnour/5hamdi2000<uments/Environmentalxl cumentx20 implementing its own Library/Grease%ielnterceotor= Manaeewnt=OPlan/I016=Kre li, 17 Y Y Y Y Y Responsible R R R R R Org/ Current/Future Status of Narrative Description Start Date Funding Measurable Coals 1 2 3 4 5 Position Activities ase%201nterceotorX20Manaeewnt%Mlan%202e16.doc program. Record # of AFCEC Contract to provide Pollution Prevention FY 16 $37,131 items, topic covered, # of people receiving items. Awareness Outreach Pamphlets — 1,000 copies Storm Water Newsletter was forwarded to SWPPT and UEC members. Has articles on OWS, Grease 12/2/2016 Internal Cost Mgt, Illicit Discharges, Wash Racks, and how base and personnel can help to stop pollutant discharges. 7/18/2016 BMP 8: Maintain and Promote Hodin&Welp Line SJAFB utilizes an existing hotline/helpline 722-5168 maintained by 4 CES/CELE that addresses storm water concerns or can transfer calls to the base Storm Water Manager. The Storm Water Plan and the EDASH website list the phone number to the hotline/helpline. In addition, the base promotes The Division of Land Resources Erosion and Sedimentation Program Hotline Phone Number "1-866-STOPMUD" on the base EDASH Website. SJAFB will continue to publicize the state 1-866- FY16 Maintain and promote X X X X X 4 CES/CELE Ongoing STOPMUD hot line and the CE Storm Water storm water hotline. SWPPT Manager Phone # 722- 5168 for complaints or issues concerning storm water in the SWP and SW Bulletin. BMP 9: Implement a Public Education and Outreach Program SJAFB will continue to utilize the local events, adopt a highway programs, meetings, CWEP programs, and conferences to provide information to the public. The base Public Education Program is mainly FY16 Outreach program shall X X X X X SWPPT Ongoing. Total exposure to facilitated by the CWEP, EDASH and ESOHTN include a combination of 4 CES/CEIE base via CWEP is all base Websites. These sites are used by SJAFB approaches that are personnel at SJAFB. personnel to share ideas, plans, documents, effective at reaching the bulletins, train procedures, instructions, and identified target guidance documents. audiences based on data FY16 and information collected Information on Trash, Recycling, Lawn Care, and by SJAFB. For each Resident Responsibilities are provided by Corvias media event or activity, Housing Manager and posted on the base housing including those elements website at: implemented locally or http://airforce.corviasmilitarvlivinp.com/seymour- through a cooperative agreement measure and of hnson record the extent of exposure. 17 7.2. Public Involvement and Participation (7VCS000335 - SECTION C): 18 Responsible RRRRR Org/ Narrative Description Start Date Funding Measurable Goals 1 2 3 4 5 Position Current/ Future Status of Activities BMP 1: Allow the public an opportunity to review and comment on the Storm Water Plan. 2016 Phase II MS4 Audit Checklist was reviewed 7/20/16 Hold at least one public X X X X X 4 CES/CEIE Ongoing and completed by the SWPPT (29 Team Members). event to increase public awareness of storm water Storm Water Prevention Team completed comments 3/24/16 issues and comment on and review on the Storm Water Plan (25 Members) Storm Water Plan. The CFT Team meets quarterly and is briefed on 11 Feb 16; subjects including tank inspections, (EMS System, 11 May 16; Stormwater, and SPCC Awareness Training), Grease 12 Oct 16 Control Program, EDASH, and MICT Stage 1 Inspections. BMP 2: Volunteer community involvement program. SJAFB has several volunteer community involvement programs including Adopt a Highway, Stream Clean, and Storm Drain Marking Program. Several organizations on SJAFB have "Adopt a FY16 Internal Cost Include and promote X X 4 CES/ 30 people normally spends a total of 2 Highway" Programs in which they clean streets volunteer opportunities as CEOH hours to clean up about 20 bags worth of periodically (EOD, OSS, EMS, CONS, CES). CES part of the storm water 4 CONS trash. 4 CONS adopted a 2 mi stretch of has adopted Miller Chapel Rd. For approximately program designed to 4 EMS highway along Main St in Pikeville (SR seven years, 4 CONS has been participating in promote ongoing Volunteers 1002).4 CES adopted Millers Chapel "Adopt a Highway." The North Carolina Sponsor- participation. SWPPT Road, right off of US 70 to about East A -Highway Program provides a means for 4 CES/ CEIE New Hope Road (9/17/2016 and businesses, individuals and other organizations to 12/17/2016). sponsor roadside litter removal. Base "Pride Team" which consist of Airman (23 FY16 personnel), goes throughout the base collecting trash and debris from parking lots, parks, running -tracks, and various buildings. Tier 1 Shop Level Inspections. Environment Checklist is used by Supervisors to oversee their FY16 environmental programs. The checklist identifies common problems identified by MICT. Stormwater presentation at Eastern Wayne High 1 9 April 2016 JProvided stormwater and energy 18 19 Responsible RRRRR Org/ Narrative Description Start Date Funding Measurable Goals 1 2 3 4 5 Position Current/ Future Status of Activities School "The Great Outdoors and Night Sky" 1135 presentation to Eastern Wayne High New Hope Rd. April 9, 2016 @ 6:00 p.m. an event School event. which is part of the 2016 North Carolina Science Festival BMP 3: Provide and promote a mechanism or public involvement - SPPT, UEC, ESOHC. AFI 90-801 established the Environment, Safety and 1/12/2016 Internal Cost Provide and promote a X X SWPPT ESOHC was briefed on 1/12/2016 with Occupational Health Council (ESOHC) as the forum mechanism for public 4 CES/CEIE updates on all the environmental for engaging senior leadership in ESOHC involvement and that programs. management. The team meets quarterly at the 4 FW provides input on storm Conference Room and the Vice Wing Commander. water issues and the storm chairs the meeting. water program. May use establish stand-alone or DLA Energy Oil Spill Response Training and use existing group or Exercise Program. About 20 to 30 people were 1-3 June 2016 processes. involved in a fuel spill exercise. Response team members included Fire Dept., CEI, Fuel, Security Police, etc. Schedule involved: Training at Fire Department Classroom, spill supply inventory at Bldg. 2625, and Tabletop exercise and MSG conference room. Wastewater Audit Checklist provided to CE Utility Shop for Fort Fisher and SJAFB Wastewater 7/20/2016 and " Collection Systems. Base MS4 Audit was reviewed 6/1/2016 and completed by SWPPT. Annual Grounds Maintenance Contract is maintained FY 16 $337,653 by CE Heavy Repair Shop. The 2016 Storm Water Annual Report was sent to 2/14/2017 Internal Costs members of the SWPPT for review and comment. BMP 4: Establish and maintain HotfinelHelp Line. Base hotline 722-5168 and state 1-866-STOPMUD FY16 Promote and maintain a X X X X X SWPPT Ongoing. Hotline/Helpline is advertised hotline phone number is posted and promoted at on storm water 4 CES/CEIE and published on EDASH website. the base EDASH Website at: hotline/helpline. hLtps://acc.eim.acc.af.mil/orp-la`7/A7A/edash/seyLnour iohnson/Web%20Part%20Pa es%200/o20Environme ntal/Stormwater.as x?Pa eView=Shared 19 7.3. Illicit Discharge Detection and Elimination (NCS000335 - SECTIOND): 20 Y Y Y Y Y Responsible R R R R R Org/ Narrative Description Start Funding Measurable Goals 1 2 31.4 5 Position Current/ Future Status of Activities BMP 1: Maintain a Storm Water Sewer System Ma 17 of Major Out alts. Base maps are updated by the Base GIS Office with help from the Water Quality Manager. Major outfalls were visited and inspected by base FY 16 Internal Cost Base GIS map will be X X X X X 4 CES/ Ongoing. Storm Water Map will be contractor H&S / ZAPATA. Storm water and maintained and/or CENME continually updated to reflect any sanitary sewer maps are being updated and are updated as necessary 722-5554 major changes, identify major outfalls, maintained by 4 CES/CENME Geobase Office with to idents major SWPPT and all receiving streams. Civil assistance from 4 CES/CEIE and 4 CES/CEOIU. outfalls, receiving 4 CES/CEIE Engineering has procured contracts to GIS geodatabase continues to be updated to include streams conveyances, resurvey the stormwater distribution identification of major outfalls, receiving streams, and pipes. For closed system and to repair major defects in storm water pipes, industrial activities, and pipe system idents FY2017. conveyances. material, shape, and size. BMP 2: Detect dry weather,flows. The base Water Quality Mgr is responsible for completing dry weather flow inspections. Dry weather flow field observations are being completed in accordance with written field screening procedures in the SWPPP for detecting and tracing the sources of illicit discharges. A Non -Storm Water Illicit Discharge Survey was completed after field observations were made. Because SJAFB did not exceed any of the cut-off concentrations limits in their 9/19/16 sample data, SJAFB does is not required to complete any further quantitative sampling for the duration of the permit IAW Section J (c), NPDES Permit NSCO00335 . Dry Weather Inspections of storm water discharge FY16 Internal Cost Develop a program to X X X X X 4 CES/CEIE Inspections were completed during locations will be conducted to identify and develop and conduct qualitative and quantitative sampling investigate any illicit, inappropriate, or dry weather flow field periods 4/26/16, 9/19/16, and undocumented non -storm water discharges to the observations in 10/27/2016. storm sewer system. Upon identification, the accordance with potential illicit discharge will be investigated and written field screening traced back to its source and corrective action will procedures in the be taken and documented. Field observations will SWPPP for detecting take place during the semiannual qualitative and and trace the sources quantitative analysis periods. of illicit discharges. Non-Stormwater and Illicit Discharge Survey 1212016 Internal Cost Completed BMP 3: Conduct investigations into the source of all identified illicit discharges. The base Water Quality Mgr., UECs, 4 CES Utility Shop, and members of SWPPT conduct investigations concerning illicit discharges IAW the SWP and SPCC Plans. Additional inspections for illicit discharges to storm water are completed during the qualitative and quantitative sampling periods, if complaints or reports are issued, and/or during regular maintenance checks. Assessment: Current procedures for investigation of illicit discharges appearto be working. Illicit discharges or cross -connections discovered have been fixed or correction actions have been planned/ programmed for fixes. The results of the inspections was placed in the 2016 Non -Storm Water and Illicit Discharge Survey, Appendix C of the SWP. 20 21 Y Y Y Y Y Responsible R R R R R Org/ Narrative Description Start Funding Measurable Goals 1 2 3 4 5 Position Current/ Future Status of Activities 4 CES/CEN is designing a project to survey and FY16 $168,000 Maintain, assess X X X X 4 CES/CEOI DESIGN PROJECTS ARE BEING inventory the stormwater distribution system. annually and update as 4 CES/CEN COMPLETED FOR STORMWATER necessary written 4 CES/CEIE SURVEY AND REPAIR PROJECTS procedures for (VKAG15-1040 AND VKAG17-1037). 4 CES/CEN is managing a project designed to conducting WASTEWATER IMPROVEMENT repair major defects in the wastewater collection FY16 $4 M investigations into the PROJECT IS STILL BEINGCOMPLETED. ALL CCTV WORK system. sources of all identified COMPLETE (VKAG09-1117). illicit discharges, 4 CES/CEN is designing a project to repair sections FY16 $82 K including approaches of the stonnwater distribution system. to requiring such discharges to be eliminated. BMP 4: Track investigations and document illicit discharges. The 4 CES Water Quality Manager maintains a database that tracks and documents illicit discharge reports. Summary of investigations and database entries are included in the Non -Storm Water and Illicit Discharge Survey in Appendix H of the SWPPP. Illicit discharge connections will be minimized through the work order review process. The Water Quality Manager completes qualitative and quantitative sampling and reports are documented on state forms and added to the SWPPP. Quantitative sampling results are mailed to Washington Regional the state Office and the Division of Energy, Mineral and Land Resources. In addition, reportable spills, IAW SPCC Plan, that made it to a storm drain or cause sheen, are repo ed and added to the Air Force SIRIS (Spill Incident Report Internet S stem online database. Non -storm water discharges and spills (via spill FY16 Internal Cost Track all X X X X X 4 CES/CEIE Completed. Descriptions of illicit and reports or phone calls) are reported to the 4 investigations and non -storm water discharges reported CES/CEI Office. Four spill reports were entered document the date(s) were updated in the 4 CES/CEIE into a Microsoft Access Database and GIS for the illicit discharge Microsoft Access Database. record keeping for FY16. Calls received after was observed; the business hours are reported to the base Fire results of the Department. investigation; any follow-up of the investigation; and the date the investigation was closed. BMP 5. Employee Training. The 4 CES/CEI provides primary training to the base on illicit discharges via the EDASH and ESOHTN websites and other publications. Training is documented annually either on AF Form 55 or in ESOHTN. The ESOHTN info below is for FY16: Stone Water Awareness Training - 124 people completed Hazardous Waste IAP Manager Training - 869 people completed SPCC Training — 98 people completed POL Training —1,242 people completed Sediment & Construction Training - 302 Yearly Training Initial Training involved: 1. Implement and X X X X X 4 CES/CEIE document an em to ee 21 22 Y Y Y Y Y Responsible R R R R R Org/ Narrative Description Start Funding Measurable Goals 1 2 3 4 5 Position Current/ Future Status of Activities (See Above). Internal Cost training program for appropriate personnel SJAFB Storm Water Illicit Discharge Detection and 4/5/2016 and/or staff who may Slides described what an illicit Elimination Training — Power Point Slide Show (31 come in contact with discharge is, how to discover an illicit personnel). For personnel who may observe illicit or observer illicit discharge, and what to do if one is discharges as a part of normal operations and what connections (as apart found. they could do to help prevent discharges. of their normal job). 2. Training shall identify appropriate personnel, the schedule for conducting the training and proper procedures for reporting and responding to an illicit discharge or connection. Follow-up training will be provided as needed to address changes in personnel, procedures, or techniques. BMP 6: Provide Public Education ' In addition to base events, SJAFB partners with the 4/1/16 Prepare educational X X X X 4 CES/CEIE Ongoing. EDASH website continues to City of Goldsboro and the Clean Water Education material and distribute be modified and information added to Partnership to provide public education articles to to target audiences. inform base of the dangers of illicit base populace. Inform target audience discharges and improper disposal of of hazards associated wastes and grease. Storm Water Storm Water News Bulletin was distributed (Ways 7/6/16 with illegal discharges Bulletin and Fact Sheet were also to help eliminate Illicit Discharges, OWS, Vehicle and improper disposal provided to base personnel in FYI 6. Washing, Ways you can Help) - 34 People (UECs, of waste. CEPN, CEI) BMP 7: Reporting MechanisnL Base personnel are able to contact the Storm Water Manager and the Spill Response Coordinator at 722-5168 or CE Customer Service 722-5924 if they see illicit discharges, find illicit connections, sees ills, or discover sanitary sewer disc hares. Base personnel contact the Fire Department to report oils ills. . Report procedures are publicized on base EDASH 4/1/16 1. Promote, publicize, X X X X 4 CES/CEIE Ongoing. Inspections and corrective Website, the SWP, and Spill Prevention Control & facilitate a reporting actions will continue to be addressed, and Countermeasures Plan. On base personnel mechanism for the reported, and actions documented in report spills to the 4 CES/CEI and the base Fire public & businesses to the 4 CES/CEIE spill database and 22 23 Y Y Y Y Y Responsible R R R R R Orgi Narrative Description Start Funding Measurable Goals 1 2 3 4 5 Position Current/ Future Status of Activities Department. Base leadership is informed about report illicit SIRIS Reports. After -hour spills are storm water issues at the ESOHCOUNCIL and at discharges & reported to the base Fire Department the Environmental Management Cross Functional establish/implement and to 4 CES/CEI. Team meetings. Reportable spills and corrective citizen request actions are documented on the SIRIS website (Spill response procedures. Incident Report Internet System) and 4" CES/CEI 2. SJAFB must Access Database. conduct reactive inspections in response to complaints & follow-up inspections as needed to ensure that corrective measures have been implemented by the responsible party to achieve & maintain compliance. BMP 8. Procedures to identify and report sanitary sewer overflows. The NC Sanitary Sewer Overflow Enforce Guidance was implemented by the NC Division of Water Quality in April 2009. The state program depends almost entirely on self -reporting of violations. The Washington Regional Office will evaluate the reports to determine if no further action is required or if other measures will have to be taken. Assessment: Procedures for re rtin SSO have been established and are b ing ade tely followed. Reporting procedures for illicit discharges were 4/1/16 SJAFB shall establish X X X X 4 CES/CEIE Ongoing. Sanitary Sewer Overflows added to the EDASH Website. Procedures for and implement and (SSO) written procedures will continue conducting investigations and reporting are listed in assess annually, and to be updated and entered in the SWP Section 4.10 and 4.11 of the SWP. Spill update as necessary, as required. SJAFB also follows the Prevention, Control, and Counter Measures Plan written procedures to North Carolina reporting procedures procedures are initiated for any oil spills. identify and report for SSO. Procedures are adequate. Corrective actions are completed and documented sanitary sewer either in the SIRIS Database (reportable spills) or in overflows and sewer the 4 CES/CEIEC Spill Response Access Database. leaks to the system operator. 23 7.4. Construction Site Storm Water Runoff Control (7VCS000335 - SECTION E): Seymour Johnson AFB relies on *the NCDEQ Division of Division of Energy, Mineral and Land Resources (DEMLR) to meet Section E. The state's Stormwater Permitting Program, through the NC Division of Energy, Mineral and Land Resources (DEMLR), effectively meets the requirements of the Construction Site Runoff Controls minimum measure 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. The NCDEQ Division of Land Resources Erosion and Sediment Control Program includes procedures for public input, sanctions to ensure compliance, requirements for construction site operators to implement appropriate erosion and sediment control practices, review of site plans which incorporates consideration of potential water quality impacts, and procedures for site inspection and enforcement of control measures. 24 7.5. Post -Construction Storm Water Management in New Development and Redevelopment (NCS000335 - SECTION F): 25 Y Y Y Y Y Start R R R R R Responsible Current/Future Status of Narrative Description Date Funding Measurable Goals 1 2 3 4 5 Orgt Position Activities BMP 1: Seymour Johnson AFB has developed and implemented a Comprehensive Watershed Protection Plan, approved by the State, to meet the requirements for a post - construction program. The Comprehensive Watershed Protection FY16 Internal Provide at least three CE X X X X 4 CES/CEN Completed Plan. It includes a BMP sizing tool that Cost Engineering policies and/or 4 CES/CEIE incorporates the results of the BMP guidance documents that will optimization efforts. It also provides tools to enhance LID goals. assist project planners with comprehensive watershed planning and BMP designs. Construction projects with footprint >5,000 sq. ft. are listed and reviewed by CEN and CEI to ensure post -construction requirements are addressed and credits adjusted. Contract specifications have been revised to FY16 instruct contractors to follow local, state, and federal regulations, use LID, tree protection, buffer rules, and post -construction runoff control methods. Contractors are required to follow procedures FY16 in AFI 32-1067 (Water and Fuel Systems) and ETL Ltr. 14-1 (Construction and Operation and Maintenance Guidance for Storm Water Systems). BMP2: Report impervious pavement and building projects and demo that add or reduce amounts of impervious surfaces with > 5,000 sq. footprint Provide remaining credit numbers, structural SCMs, and watershed impacted, and project descriptions. Total Credit For Future Development (after subtracting resulting imperviousness from table below - 4.15 acres) for FY16 is 67.16 acres (71.31 acres due to additional demo — 4.15 acres). Projects are tracked using SJAFB LID Toolbox Software. Coordination and project review is made between CEI, USACE, and CEN using AF 1354 forms and other data to determine eligible projects. Comprehensive Watershed Protection Plan shows watershed protection areas, volumes, land use, soils, streams, and drainage areas. List of projects meeting the 5,000 sq. threshold is listed in the table below. Phase O shows projects which have not exceeded the credit limit,. Phase I and Phase II will display projects which have exceeded the remaining credits. FY2007 baseline was 69.33 acres. 25 Post Construction Site LID Toolbox Table New Curren(-Eii,tin9 Cumulative s Wry C.Zr ``ad fa. ..lain imp<. "'re 9 projectOmcr peion! Oata Entry SCM No, Poet Aird naw projost � P , ,k mea. impervioac mea, Pes,.rrd VKAGB Netm 0ae. 6speetions P imperviouc Gnpbmentatioe '�a) iodtPrRM tapped hr] tapped in the <,s(sr) (ar) (ar) rant phase(rr] stor water Hydet.t Type 3 Ref.eli.g Yard o. M.C.lpa Road. Control FY2006 Project batik before tracking cormpli... c M ..... -To year but has a BMP. Design Sterni (1 :o. Volpe B. Inspected 1 0.00 id 0.00 Phas<0 nh 0.00 0.00 0.00 0.00 R.rok VKAGO03005 19.733..1-. Brand -Time -3 Day, Basi. V.I.Q. 1011612015 by 4416 Wilson Protide 25.700 c.f.) 6d.d<s a 401 and a 404 Permit. CE8ICEOH BMPS-Bioresteatioa Bazin. O.tllows to Barge Ditch. (722- VKAGO03005. ELSC r.,.i,cd- A.a.al lazpeetioaz /059)AND 4TH Regd. CESICEI (722- 5168] S ter C ... olidated Mason. Personnel Sapeer t Center. C. aI' Cool Northwest teeter of Brothers Ate and eInspec To S - Bi Bas:.. Mdre�s Street. BLIPS Be ed B Rennie oHo, r rth. E&eC . OKAGS s to Hospital Creek. E48C req,.ilc by 4tLtetl b 4th y 2 -0.18 23 -0.18 pM1a,ee n!a 0.00 0.00 0.00 0.00 Wilson yKAG98301181 VKAtrvct4 R0.870-2 10!20!2015 CEBICEOH Coaztetct 43.152 ,qft ad Duol:zh 50.8702 zq it .15 sgft mod (722 (Bldgs 3001. 5601. 5612. 5654. 4 3635). Ezi,ti.g 4TH Site 1-Y... St... Volans posed Site Vole - 29.359 c1- Pro CESICEI CESIC(T22- ( 1 -Year Storm Volpe - 26,092 $168) Co.stetctlRepatr Parking Lot Slash ARV Camp.,. 3 0.36 12 0.27 Pha,<0 eh 0.00 0.00 0.00 0.00 R ... is VKAG109012PI-P3 VKAG109012P1-P3. Oatfloms to Barge Ditch. Rewe 10!2012015 No SCM. Wilnen 21.660 sq of ezisting impertioms.ess and add 40.960 sq IC Laos.. net 13.300 sq It_ Tanker Pirking Apron Ezpa.sien. 316ARV orreatty hs 4 roma (A -Dl with 16 parki.g sports far KC -135. Project Protides porkbg for .Irpa.Ao. (so- 8 to 16 aircraft. Two a e bei., ezpa.ded. here...:. 3 5.a0 12 5.67 OM1a,e 0 &h 0.00 0.00 0.00 0.00 Rennie VKAG083003 ito .,,a...a. in Leis, offset by gree. space at 1012612015 No SCM, Wben r base location. Project will distb 196 netkv2 s. 7-38 acres of nen Pate.saI for .Pro. ..d 1.98 acres of ezistiag patentor removed. Post - development of 5.4 acres. E4SC plat .... mcd. VKAG069009. 0.0lows to Barge Ditch. Co.str.ctlR.pair 916 ARV Ca.p.s Pavements. 18502.4 sq ft of new concrete mod asphalt and 5 0.32 td 5.98 Pha,<0 nh 0.00 0.00 0.00 0.00 Rennie VKAGIO.3025A root:., 4700 zq It of eaaa.te leaving 13802-4 zq 1211612015 No SCM, Vlen It of imp ... I.., zvifatt, VKAG10-3025A. O.tflerits to Barge Ditch. Medical Clinic Replacement (Wright Bras and eormmateI Control Aadrems). New Hospital and Demo of Old Clinic aad Meazve, to Bi.ot:r0oot.1. BMP, installed are BMP/ -Partial be Inspected 6 -2.82 23 3.16 Pha,e 0 nh 0.00 0.00 0.00 0.00 Ronma VKAGO53001 Gree. Roof. BMP2-SAFE Baflles (nine]. BLIPS- 111112016 by 4416 Ml,on Vegetative Strips (two]. Outflows to Hospital Creek. MO88ISGSIF VKAGO53001. A .... I l.sp<ctio.z Regd. Eaisti.g (722-1059] Iaper.ie...... - 12-T8 acres. Post-de.clepmaat 9.96 ANO 4TH .erea. Project Not Complete. CESICEI (722- Cm.stl..t 65 space parka., let to s.ppert 316 Air 7 0.83 16 3.99 Ph- 0 nh 0.00 0.00 0.00 0.00 R ... k VKAGIS-9018 Raw.11aaapa. g Wing Tanker Ce NDevelopment 1.1112018 No SCMs Wilson Ple.- VKAGIS-9018.Lecatad.... to LOCH., 5013. Ontflows to Barge Ditch. Co.str.se Parking Lot for F -15E Mod Malaita...... 8 0 IT 16 6.15 K,a 0 eh0 0 0 0 Ronnie VKAGIS-106TA VKAG15-104TA-It is street side porkiag on the west 1.1112016 No SCM, Wilsen side of Andrews St across from bldg.- 4820. O.tflews to B.rge Ditch. 26 Z 6 Pollution Prevention/Good Housekeeping for Municipal Operations (NCS000335 - SECTION G): YJ YJ Y YJ YJ Responsible Start RI RI R RI RI Org/ Narrative Description Date Funding Measurable Goals 11213 4 51 Position Current/Future Status of Activities BMP 1: Inventory offaciftfies and operations with the dalfor generatin olluted storm water runoff, An inventory of base industrial vehicle and FY 16 Internal Maintain an inventory of facilities X X X X X 4 CES/CEIE Ongoing. Inventory is updated on GIS equipment maintenance, aircraft maintenance, Cost and operations with the potential after qualitative and quantitative annual oil water separators, and deicing facilities was for generating polluted storm water inspections and Industrial Facility reviewed and updated in the base geodatabase. runoff. Assessment. Inventory also includes requirements IA W SPCC planning. BMP 2: Maintain Map facilities and operations with the potential for generating polluted storm water runoff. 4 CES/CEPT GIS Office and the Water Quality Mgr are responsible for updating the storm water map. The Water Quality Mgr will provide map updates on facilities that have the potential to pollute storm water. Industrial facility map showing vehicle, FY16 Internal Maintain Map offacilities and X X X X X 4 CES/CEIE Map will continue to be updated in GIS equipment, and aircraft maintenance facilities Cost operations with the potential for if new information is discovered. is located in the base GIS System. generating polluted storm water runoff. The map must idents the storm water outfalls corresponding to each of the facilities as well as the receiving waters to which these facilities discharge. The map must be maintained and updated annually and be available for review by the permitting authori . BMP 3: Maintain Operation and Maintenance (O&11P Plan_ or facilities and operations with the Potential for generatinP polluted storm water runoff. Air Force Pamphlet 32-1004, Volume 5, 1 September 1998 "Working in the Operations Flight Infrastructure Support" and AFI 32-1001 "Operations Management" describe the Air Force Engineer's role in activities required to operate, maintain, repair, and construct real property using an in-house military and civilian work force and recurring and nonrecurring service contracts. The Infrastructure Support Element provides operation and maintenance of base utilities. The Recurring Work Program prioritizes work FY 16 Internal Maintain an Operation and X X X X X 4 CES/CEIE Current O&M plan is the Recurring — TRIRIGA. In addition, the Grounds Costs Maintenance (O&M) program 4 CES/ Work Program — TRIRIGA. The Maintenance Contract FA4809-09-C-V002 for facilities and operations with CEOH benefits of TRIRIGA are: paperless, requires the contractor to provide all services the potential for generating 4 CES/CEOI 24/7 access for Facility Managers necessary to ensure grounds (mowing of grass, polluted storm water runoff. service requests, shows frequencies of weeds, vegetation, fertilization, leaf removal, The O&Mprogram shall speck inspections and routine maintenance, and removal of litter) is completed. Periodic the frequency of inspections and and the Air Force's visibility over each surveillances are also required. Also, the routine maintenance base that is using this program... Facility Manager's Guide instructs the facility requirements. manager to coordinate work request and Annual Contract ensure the facility is safe and clean. Oil Water Separators are on a maintenance contract to be serviced by "Southeast FY 16 $19,505 Annual Contract Industrial Services Company." Grease Trap Maintenance Contract FY 16 $21.184 27 BMP 4: Written Spill Response Procedures for facilities and operations with the potential for generating polluted storm water runoff. Spill Response Procedures for facilities are identified in the Spill Prevention Control and Countermeasures Plan (SPCC) and updated by 4 CES/CEIE. SPCC plan documents response procedures for facilities and operations with the potential for generating polluted storm water runoff. SPCC plan details the spill response Oct 2015 Internal Provide an approved written Spill X X X X X 4 CES/CEIE SPCC plan was updated as October procedures for the base. 1 Cost I Response Plan. I 2015. BMP S: Evaluate streets, roads, and parking lot maintenance to reduce pollution. Street sweeping and seasonal leaf pickup shall be included in this evaluation. The CE Grounds Con- tractor is required to maintain the grass areas, remove debris, leaf removal, and fence lines. 4 CES Grounds Shop is responsible for maintaining streets and parking lots (street sweeping is completed on recurring work schedule). Street sweeping schedule is maintained in TRIRIGA. Streets are swept periodicall to ensure roads are well maintained. The recurring work (TRIRIGA) schedules the On-going Internal Implement BMPs selected to reduce X X X X X 4 CES/CEO CE Heavy Repair crews sweep flight maintenance program for streets, roads, and Cost polluted stormwater runofffrom 4 CES/CEIE line and main base areas as needed. CE public parking lots. Presently the maintenance municipally -owned streets, roads, Heavy Repair Grounds Contractor is of roads and streets are adequate and street and parking lots. required to do leaf pickup. Common sweeping and leaf pickups have reduced landscape areas around the installation flooding impacts on base and sediment to and community facilities are streams. maintained by a SJAFB Pride Team. BMP 6. Operation and Maintenance (O&M) Program for catch basins and conveyance systems. The Base Recurring Work Program allows the 4 CES Infrastructure Support Element to accomplish periodic, scheduled maintenance of the storm water distribution system and controls (AFPAM 32-1004V5 and AFI 32-1001). Infrastructure Support's mission is to provide the operation and maintenance of base utilities. The Recurring Work Program TRIRIGA On-going. Internal Maintain and implement O&M X X X X X 4 CES/CEO AFI 32-1001provides the directive applies to all routine, redundant, recurring Cost program for the storm water sewer 4 CES/CEIE requirements for the operations work involving real property or systems and system including catch basins and management of Air Force Civil other equipment maintained by CE. conveyance systems. The O&M Engineering. TRIRIGA System is used to control, manage, program shall include route maps plan, and schedule program work and speck the frequency of requirements (AFI 32-1001). inspections and routine maintenance requirements. Hydrant Type III and the Consolidated Support Center Bioretention Ponds were inspected (Non-stormwater & Illicit 12/5/2016 Discharge Survey) BMP 7. Identify and map for municipally owned or maintained structural storm water controls. The base GIS Office (4 CES/ CENME), Programming (4 CES/CEN) and the Water Quality Mgr 4 CES/CEIE will provide identification and map updates for all structural storm water controls. Structural storm water controls are being 8 May 13 Contract Idents & map structural storm X X X X X 4 CES/CEIE Ongoing reviewed and mapped on the base GIS System Cost water controls. Map must identify 4 CES/ and in as-builts. Structural controls from the storm water outfalls CENME construction site activities > One acre are corresponding to each structural being identified and maps are sent to the state storm water control as well as the for approval as a part of Sedimentation and receiving waters to which these Erosion Control Plans. facilities discharge. Map must be maintained and updated regularly and be available for review by the permitting authority, BMP 8: O&M or structural storm water controls. O&M Program has been established. The FY 16 Internal Maintain an O&M program for X X X X X 4 CES/CEIE Ongoing recurring work (TRIRIGA) provides Cost structural storm water controls. Shop schedules, documentation, and frequencies for The O&M program shall speck Managers the maintenance program. the frequency of inspections and 4 CES/CEOI routine maintenance requirements. Grounds 28 8. FV 16 DEICING & ANTI -ICING CHEMICAL USAGE RATES NCS000335 - SECTION H AND NCG 150000 - SECTION C 5 ITEM DEICING FLUID USED ANTI- ICING (Safeway SF) FLUID Seymour Johnson AFB shall inspect LOCATION USE CONTACT ORG DATE Contractor 0 None Reported and maintain if necessary, all 0 None Reported structural storm water controls in accordance with the schedule developed by Seymour Johnson AFB. Seymour Johnson AFB shall document inspections and maintenance of all structural storm water controls. BMP 9: Pollution Prevention and Good o eeping Staff training. Storm Water, Hazardous Waste, and Spill 4/1/2016 Internal Maintain and implement training X X X X X 4CES/CEIE Ongoing Response Planning all involve training for Costs program for personnel involved in implementing requirements for pollution implementing pollution prevention prevention and good housekeeping practice. and good housekeeping practices. The base environmental training programs are supported main) b ESOHTN and EDASH. BMP 10. Prevent or Minimize Contamination of Storm Water Runofffrom all areas used jar Vehicle and Equipment Cleaning. All government vehicle and equipment cleaning are required to be done inside facilities or at wash racks where all discharges are sent to the base sanitary sewer system. Discharges of non -storm water into storm sewer are prohibited unless authorized by NPDES Permit NCS000335 and Air Force Instructions 32-7041-341SWSUP I - 12/10/07). All goverment vehicle and equipment Fy16 Internal Implement measures that prevent or X X X X X 4 CES/CEIE Reoccurring requirement cleaning are required to be completed inside Cost minimize contamination ofthe of facilities or at wash racks where all storm water runofffrom all areas discharges can be sent to the base sanitary used for vehicle & equipment sewers stem. cleaning. 8. FV 16 DEICING & ANTI -ICING CHEMICAL USAGE RATES NCS000335 - SECTION H AND NCG 150000 - SECTION C 5 ITEM DEICING FLUID USED ANTI- ICING (Safeway SF) FLUID UNIT LOCATION USE CONTACT ORG DATE AMOUNTS 0 None Reported 0 None Reported 29 9. STATE ANNUAL MONITORING REPORT FORM STORMWATER DISCHARGE OUTFALL (SDO) ANNUAL SUMMARY DATA MONITORING REPORT (DMR) Calendar Year 2016 Individual NPDES Permit No. NCS000335 or Certificate of Coverage (COC) No. NCG❑❑❑❑❑❑ This monitoring report summary of the calendar year is due to the DWQ Regional Office no later than March 1st of the following year. Facility Name: Seymour Johnson Air Farce Base County: Wayne County Phone Number:( 19) 722-5168 Total no. of SDOs monitored 3 SJAFB must complete sampling the first year of the permit. If analytical results fall at or below cutoff concentrations listed in in Section J of NCS000335, SJAFB is not required to sample that parameter at that outfall for the remainder of the permit. If analytical results exceed a parameter cutoff concentration, then sampling will be required annually. All of SJAFB sample results fell at or below all cutoff concentrations at each outfall. Outfall No 2 Is this outfall currently in Tier 2 (monitored monthly)? Yes ❑ No X Was this outfall ever in Tier 2 (monitored monthly) during the past year? Yes ❑ No X If this outfall was in Tier 2 last year, why was monthly monitoring discontinued? Enough consecutive samples below benchmarks to decrease frequency ❑ Received approval from DWQ to reduce monitoring frequency ❑ Other ❑ Was this SDO monitored because of vehicle maintenance activities? Yes ❑ No X Parameter, (units) Oil and Total Event Total Rainfall, Total Flow Grease Suspended Duration, inches MG (mg/L Solids (mg/L H minutes Cut -Off N/A N/A 30 mg11 100 mg1l 6-9 Standard NIA Concentrations Units Date Sample Collected, mm/dd/ 9/19/16 3.61 54.29 ND 73.0 6.44 240 30 Additional Outfall Attachment Outfall No. 3 Is this outfall currently in Tier 2 (monitored monthly)? Yes ❑ No X Was this outfall ever in Tier 2 (monitored monthly) during the past year? Yes ❑ No X If this outfall was in Tier 2 last year, why was monthly monitoring discontinued? Enough consecutive samples below benchmarks to decrease frequency ❑ Received approval from DWQ to reduce monitoring frequency ❑ Other ❑ Was this SDO monitored because of vehicle maintenance activities? Yes ❑ No X 31 Parameter, (units) Total Oil and Total Event Rainfall, Total Flow Grease Suspended Duration, inches MG m /L Solids (mg/L H minutes Cut -Off 6-9 Standard Concentrations N/A N/A 30 mg/1 100 mg/I Units N/A Date Sample Collected, mm/dd/yy 9/19/16 0.13 13.72 ND 38.5 6.46 240 31 Outfall No. 4 Is this outfall currently in Tier 2 (monitored monthly)? Yes ❑ No X Was this outfall ever in Tier 2 (monitored monthly) during the past year? Yes ❑ No X If this outfall was in Tier 2 last year, why was monthly monitoring discontinued?' Enough consecutive samples below benchmarks to decrease frequency ❑ Received approval from DWQ to reduce monitoring frequency ❑ Other ❑ Was this SDO monitored because of vehicle maintenance activities? Yes ❑ No X 32 Parameter, (units) Oil and Total Event Total Rainfall, Total Flow Grease Suspended Duration, inches MG m /L Solids (mg/L H minutes Cut -Off N/A N/A 30 mg/l 100 mg/i 6-9 Standard N/A Concentrations Units Date Sample Collected, mm/dd/yy 9/19/16 0.13 13.47 ND 9.O1 6.86 240 32 10. NPDES PERMIT NCS000335 CERTIFICATION STATEMENT (PART IV, 2(C)): I certify under penalty of law that this document and all attachments were prepared under my direction and 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 of submitting false information, including the possibility of fine and imprisonment for knowing violations. Type or Print the following information: Name: DENNIS G. GOODSON Area Code & Telephone No.: (919) 722-5142 Official Title: Deputy Base Civil Engineer Signature: 33 Date Signed:?, 1 /Ia r l %