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SVVMP Guidance <br />Page 3 <br />Ia addition, there aze several other fees which could be included to make th a more comprehensive <br />and usable plan. For example, later sections of the SWMP will include requirements for spill prevention and <br />response procedures, which should include a site map showing where materials aze stored. By including the <br />" wing items on the site map, all information would be in one place on a single base map. <br />materials handling and loading azeas <br />materials storage azeas <br />azeas where industrial activities take place <br />paved and unpaved areas (for hydrologic assessments) <br />3. Stormwater ~Ylanagement Controls. Each facility covered by this permit shall develop a description of <br />stormwater management controls appropriate for the facility, and implement such controls. The <br />appropriateness and priorities of controls in a plan shall reflect identified potential sources of <br />pollutants at the facility. The description of stormwater management corsttols shall address the <br />following minimum components, including a schedule for implementing such controls: <br />a. SWMP Administrator -The SWMP shall identify a specific individual(s) within the plant <br />organization who is responsible for developing the SWiYIP and assisting the plant manager in its <br />implementation, maintenance, and revision. The activities and responsibilities of the <br />administrator shall address all aspects of the facility's StiYMP. <br />The SW~ Administrator becomes the contact for all SWMP-related issues and is the person responsible for its <br />accuracy, completeness, and implementation. Therefore, the SWiviP Administrator should be a person in an <br />'- '~~rirative position. Lazger facilities tray want to develop a "SWl4P team" in order to shaze the responsibilities <br />generate greater awazeness and parscipation. <br />b. Identification of Potential Pollutant Sources and Besr 3anagement Practices -The SAiYIP shall <br />identify potential sources of pollutants at the site, and assess the potential of these sources to <br />contribute pollutants to stormwater discharges associated wish industrial activity. The SW4IP <br />must also describe appropriate Best lYlanagement Practices (BMPs) to reduce the potential of these <br />sources to cantrivute pollutants to stormwater discharo es. <br />At a minimum, each of the following shall be evaluated for the reasonable potential for <br />contributing pollutmus to runoff.• <br />-Loadin, and unloading operations <br />-Outdoor storage activities <br />-Dutdoor manufacturing or processing activities <br />-Significant dusz or particulate generating processes <br />-On-sire waste disposal practices <br />-The presence of salt piles <br />-SARA Title III Section 3I3 Water Priority Chemicals <br />-Areas where significant spills and significant leaks of tonic or ha;ltrdous substances have <br />occurred at the facility from three years prior to permit certification to the time of SWYfP <br />preparation. <br />Factors to consider include the toxicity of chemicals; quantity of chemicals used, produced, or <br />discharged; the likelihood of contact with stormwater; and history of significant leaks or spills of <br />toxic or hazardous substances. <br />