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COLORADO DEPARTMENT OF PUBLIC HEILTHAND ENYIRONAMT Water Quality Control Dtwlm <br />Ratlondc Page 7, COG-000000 Sand and Gravel General Perm ft <br />77te basin regulations contain information on the adopted standard for the segment (basic standard or site -specyk <br />standard) for stream segments for selenium (see examples below), and should be checked for the specific segment and <br />modifications. When temporary modifications are listed for a stream segment, the acute and chronic aquatic We <br />standards of 18.4 u&4 and 4.6, respectively, may not apply. <br />Regulation No, <br />32 <br />Main Water Bodies <br />Rock Creep Salt Creek, Peck Creels; St. Charles River <br />9wim do Dates <br />1213112012 <br />Greenhorn Creep Swnile Creek Huerfano River, <br />Cucharas Rhwa; Boggs Cr eek Fountain Creek, <br />Arkansas River, Aptshapa River, Purgamire River <br />33 <br />None <br />None <br />34 <br />Animas River, Cement Creep Mineral Creek <br />12131/2011 <br />35 <br />Gunnison River, thscompahgre River, Bear Greek <br />12/31!2011 <br />36 <br />Alamosa River <br />12131/2011 <br />37 <br />Colorado River and tributaries, Johnson Greer Yellow Creek 12/31/2011 <br />38 <br />South Platte and tributaries, <br />12/31/2011 <br />Big Thompson Creek <br />1213112009 <br />I Compliance Schedules- Existing dischargers may be granted compliance schedules for any new effluent limitations applicable <br />to the discharge. Some items for which a compliance schedule may be necessary may require an individual permit Note that <br />compliance schedules cannot be granted for limitations based upon the federal ELGs. <br />ik Monitoring Requirements- See Section LB of the permit for monitoring requirements. <br />m. Permit Termination- Sites that are covered by a bond under the Colorado Division of Reclamation, Mining and Safety will <br />need to prove that bond release has occurred before permit coverage can be terminated. Sites that are not covered under a <br />bond must provide additional information before the permit can be terminated <br />V. STORMWA2 R DOCHARGES <br />As required under the Clean Water Act amendments of 1987, the Environmental Protection Agency (EPA) has established a framework <br />for regulating municipal and industrial stormwater discharges. The Water Quality Control Division ("the Division") has stormwater <br />regulations (3CCR 1002 -61) in place. These regulations require specfc types of industrial facilities that discharge stormwater <br />associated with industrial activity (industrial stormwater), to obtain a CDPS permit for such discharge. The regulations specifically <br />include sand and gravel mining activities as industrial facilities. Facilities which discharge industrial stormwater either directly to <br />surface waters or indirectly. through municipal separate storm sewers, must be covered by a permit. This general permit does not cover <br />stormwater only discharges, which are covered under stormwater permit COR- 340000. <br />The federal effluent guidelines that govern discharges from sand and gravel mining facilities (40 CFR 436) control most surface runoff. <br />However, there are some sources of stormwater from these sites which are not addressed, such as roads and railroad lines, pond <br />outsk pes, inactive loadouts, sites used for storage and maintenance of material handling equipment, etc. <br />StaraewWVr Maxagemertt Plan (SWAP): The stormwater regulations prinuv-dy apply to areas not covered by 40 CFR Part <br />436. They require permittees to develop and implement a Stormwater Management Plan (SWMP) to protect the quality of <br />stormwater leaving the site. The plan shall identify potential sources of pollution (including sediment) which may reasonably be <br />expected to affect the quality of stormwater discharges associated with mining activity . In addition, the plan shall describe the <br />best management practices (BMPs) which will be used to reduce the polhdants in stormwater discharges from the mining site. <br />Some activities required under the SWAP may already be in place However, the SWAP will require the permittee to <br />coordinate these activities with any necessary new activities in an orderly manner, so that the result is the reduction or <br />elimination ofpollutants reaching state waters from areas not limited by effluent limitations. Facilities must inplement the <br />provisions of the SWMP required under this pan as a condition of this permit. <br />It is the perminee's responsibility to notify the Colorado Division of Reclamation, Mining and Safety of any significant changes <br />at their site resulting from the implementation of the SWMP. This is so that the Division of Reclamation, Mining and Safety may <br />review the SWAP and incorporate any potential revisions into the facility's reclamation permit which might be needed. <br />The SWAP shall include the following items, at a minimum: <br />a) Site Map <br />