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2008-03-24_GENERAL DOCUMENTS - M2003016 (2)
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2008-03-24_GENERAL DOCUMENTS - M2003016 (2)
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Last modified
8/24/2016 3:25:54 PM
Creation date
3/25/2008 3:31:31 PM
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DRMS Permit Index
Permit No
M2003016
IBM Index Class Name
GENERAL DOCUMENTS
Doc Date
3/24/2008
Doc Name
Stormwater management plan
From
Civil Resources, LLC
To
DRMS
Media Type
D
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No
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APPENDJX A -SWMP (cont.) Page B-3 <br />The SWMP Administrator becomes the contact for all SWMP-related issues and is the person responsible for its accuracy, completeness, and <br />implementation. Therefore, the SWMP Administrator should be a person in an authoritative position. Larger facilities may want to develop a "SWIvIP <br />team" in order to share the responsibilitiesand generate greater awareness and participation. <br />b) Materials Handling and Sni[l Prevention -Where materials can impact stormwater runoff, BMPs that reduce the potential <br />for contamination shall be described For example, materials should be stored and handled in covered areas whenever <br />possible to prevent contact with stormwater; fuels and other chemicals should be stored within berms or secondary <br />containment devices to prevent leaks and spills from enteringstormwaterruroff. <br />When selecting BIVIPs, the most important ones to evaluate first are those which limit the source of the pollutant. It is much more efficient, from both <br />a cost and environmental standpoint, to prevent the pollution in the first place than to clean up contaminated stormwater. For example, a BMP <br />requiring that any vehicle maintenance that involves fluid exchange must take place indoors, results in the removal of a pollutant source (i.e., <br />oil/hydraulic fluids) from possible contact with stormwater. <br />Good housekeeping measures, such as cleaning and maintenance schedules, trash disposal and collection practices, grounds maintenance, etc., can be <br />included here. <br />c) Erosion and Sediment Controls -Describe BMPs that will be used to reduce erosion and prevent sediment delivery to State <br />waters. These should include structural (such as si/t fences, sediment ponds, drop structures, check dams) and non- <br />structural (such as mulching and revegetation) methods. <br />B1bIPs can describe a wide range of management procedures, schedules of activities, prohibitions or practices and other management practices. BIvIPs <br />can include operating procedures, Treatment requirements and practices to control plant site ninoff, drainage from raw materials storage, spills or leaks. <br />Nonshvctural BI41Ps are mainly definitions of operational or managerial techniques. Structural BMPs include physical processes ranging from <br />diversion structures to oil/water separator; to retention ponds. <br />The B1~IPs selected are up to the judgment of the individual pemrittee. However, it is important to note that a fully <br />implemented SWMP will constitute compliance with Best Available Technology (BAT) and Best Conventional Technology <br />(BCT), as mandated under the Federal Clean Water Act. This means that, in order to comply with your permit, the appropriate measures must be <br />taken in keeping with the pollutant(s) involved and the risk potential at the facility. <br />d) Identircation of Discharges other than stormwater -The stormwater conveyance system on the site shall be evaluated for <br />the presence ojdischarges other than stormwater, such as mine drainage, spoil springs, sanitary waste, or process water of <br />any kind. The SWMP shall include a description of the results of any evaluation for the presence of discharges other than <br />stormwater, the method used, the date ojthe evaluation, and the on-site drainage points that were directly observed during <br />the evaluation. <br />A number ojdrscharges other than stormwater may not require a CDPS Industrial Wastewater Discharge permit and are <br />considered Allowable Non-stormwater Discharges Flows from fire fighting activities, landscaping irrigation return Jlow or <br />springs (except spoil springs) that are combined with stormwater discharges associated with industrial activity must be <br />identified in the SWMP. <br />In other words, only stormwater can be conveyed by the stormwater drainage system. Examples of potential illicit connections include floor drains and <br />toilets in maintenance buildings, chemical storage buildings, etc. There are several methods of detemrining whether or not illicit connections exist. <br />Acceptable procedures include dry weather observations of outfalls or other appropriate locations, analysis and validation of accurate piping <br />schematics, dye tests, etc. <br />Note - if illicit connections are discovered, corrective measures must be taken. <br />
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