Difference between revisions of "Urban stormwater management in the City of Scotts Valley"

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* [http://www.ecoact.org Ecology Action]
 
* [http://www.ecoact.org Ecology Action]
  
==Regulatory Background==
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== Local Regulatory Background==
Legislation has been developed by multiple regulatory agencies to reduce the level of pollutants and contaminants entering the Monterey Bay and bodies of water within the San Lorenzo River watershed.
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===Federal===
 
'''Clean Water Act, Section 402: National Pollution Discharge Elimination System (NPDES)''' - The [http://www.epa.gov/ United States Environmental Protection Agency (EPA)] is required to manage a permit system regulating point sources of water pollution. This system requires industrial and municipal agencies to obtain an NPDES permit before discharging point source pollution into local bodies of water. In addition to regulating pollutant discharge, the permit requires municipal separate storm water systems (MS4s) to develop a Storm Water Management Plan (SWMP) for their region <ref> [http://water.epa.gov/lawsregs/guidance/wetlands/section402.cfm Environmental Protection Agency. Clean Water Act Section 402] </ref>.
 
*'''Phase I''' (1990) requires cities and certain counties with populations of 100,000 or more to acquire NPDES permits for their storm water discharges. Phase I MS4s are covered by individual permits <ref> [http://cfpub.epa.gov/npdes/stormwater/munic.cfm Stormwater Discharges From Municipal Separate Storm Sewer Systems (MS4s)] </ref>.
 
*'''Phase II''' (1999) requires regulated MS4s for cities and certain counties with populations under 100,000 to acquire NPDES permits for their storm water discharges. Phase II MS4s are covered by a general permit <ref> [http://cfpub.epa.gov/npdes/stormwater/munic.cfm Stormwater Discharges From Municipal Separate Storm Sewer Systems (MS4s)] </ref>.
 
'''Endangered Species Act (ESA)''' - The ESA prohibits the impairment of habitats that contain endangered or threatened species <ref> [http://www.fws.gov/endangered/laws-policies/ U.S. Fish and Wildlife Service: Endangered Species Program] </ref>. The San Lorenzo River maintains a population of [http://www.nmfs.noaa.gov/pr/species/fish/steelheadtrout.htm steelhead (''Oncorhynchus mykiss'')], which is listed as threatened under the ESA <ref> [http://ecos.fws.gov/speciesProfile/profile/speciesProfile.action?spcode=E08D U.S. Fish and Wildlife Service: Species Profile] </ref>.
 
 
===State===
 
'''California State Water Resources Control Board (SWRCB)'''
 
 
*'''[http://www.swrcb.ca.gov/water_issues/programs/stormwater/caltrans.shtml CalTrans Program]'''
 
**The [http://www.dot.ca.gov/ California Department of Transportation (CalTrans)] is the governing agency responsible for the management, maintenance, construction, and design of the State highway system, including freeways, bridges, tunnels, CalTrans' facilities, and associated properties. CalTrans is subject to the permitting requirements defined by the Clean Water Act, Section 402(p) NPDES program. Though storm water discharges were originally regulated by individual permits, the State Water Board issued a State-wide permit ([http://www.swrcb.ca.gov/water_issues/programs/stormwater/caltrans_permits.shtml CalTrans MS4 Permit Order No. 99-06-DWQ]) which regulated all discharges from Caltrans MS4s, construction activities, and maintenance facilities <ref> [http://www.swrcb.ca.gov/water_issues/programs/stormwater/caltrans.shtml State Water Resources Control Board, CalTrans Program] </ref>.
 
 
*'''[http://www.swrcb.ca.gov/water_issues/programs/stormwater/construction.shtml Construction Storm Water Program]'''
 
**This program requires all construction projects greater than or equal to one acre, as well as projects under one acre that are connected to a larger construction plan, to obtain a General Permit for Discharges of Storm Water Associated with Construction Activity ([http://www.swrcb.ca.gov/water_issues/programs/stormwater/constpermits.shtml Construction General Permit Order 2009-0009-DWQ]). This permit requires the development and implementation of a Storm Water Pollution Prevention Plan (SWPPP), which applies BMPs for runoff associated with the construction project, a visual monitoring program for pollutants (or "non-visual" chemical monitoring program if there are failures of BMPs), and a site map(s) illustrating the construction site perimeter, storm water collection and discharge points, existing and proposed buildings, lots, roadways, general topography both before and after construction, and drainage patterns across the project <ref> [http://www.swrcb.ca.gov/water_issues/programs/stormwater/construction.shtml State Water Resources Control Board, Construction Storm Water Program] </ref>.
 
 
*'''[http://www.swrcb.ca.gov/water_issues/programs/stormwater/industrial.shtml Industrial Storm Water Program]'''
 
**This program requires certain industrial facilities to obtain a General Permit for discharges associated with the facilities industrial activities ([http://www.swrcb.ca.gov/water_issues/programs/stormwater/gen_indus.shtml#indus Industrial Storm Water General Permit Order 97-03-DWQ]). The facilities under jurisdiction of this permit include: manufacturing facilities; oil and gas/mining facilities; hazardous waste, treatment, storage, or disposal facilities; landfills, land application sites, and open dumps; recycling facilities; steam electric power generating facilities; transportation facilities; sewage or wastewater treatment works; manufacturing facilities where industrial materials, equipment, or activities are exposed to storm water; and facilities subject to storm water effluent limitations guidelines, new source performance standards, or toxic pollutant effluent standards <ref> [http://www.swrcb.ca.gov/water_issues/programs/stormwater/docs/induspmt.pdf State Water Resources Control Board, Industrial Storm Water General Permit Order 97-03-DWQ] </ref>. This permit requires management measures that will achieve best available technology (BAT) that is economically achievable and best conventional pollutant control technology (BCT). This permit also requires the development and implementation of a SWPPP <ref> [http://www.swrcb.ca.gov/water_issues/programs/stormwater/industrial.shtml State Water Resources Control Board, Industrial Storm Water Plan] </ref>.
 
 
*'''[http://www.swrcb.ca.gov/water_issues/programs/stormwater/municipal.shtml Municipal Storm Water Program]'''
 
**This program regulates storm water discharge from MS4s, which convey untreated runoff containing pollutants from urbanized areas and areas with impervious surface cover to local bodies of water. MS4 permits are issued in two phases ([http://www.swrcb.ca.gov/water_issues/programs/stormwater/phase_i_municipal.shtml Phase I] and [http://www.swrcb.ca.gov/water_issues/programs/stormwater/phase_ii_municipal.shtml Phase II]), depending on the size of the MS4 (see ''Federal Regulations'' section above). The EPA works with State and Regional water management agencies to administer the NPDES permitting program for municipalities. Some of the requirements of the NPDES permits include the creation of a SWMP, BMPs, and measures to reduce pollutants entering waterways to the maximum extent practicable (MEP) <ref> [http://www.swrcb.ca.gov/water_issues/programs/stormwater/municipal.shtml State Water Resources Control Board, Municipal Storm Water Program] </ref>.
 
 
===Regional===
 
'''Central Coast Regional Water Quality Control Board (RWQCB)'''
 
*The Central Coast RWQCB works in conjunction with the EPA to administer the NPDES permitting program.
 
 
===Local===
 
'''Santa Cruz County Code'''
 
 
[http://www.codepublishing.com/ca/santacruzcounty/ Chapter 7.79: Runoff and Pollution Control]
 
  
 
'''Scotts Valley Municipal Code'''
 
'''Scotts Valley Municipal Code'''
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'''BMP 1: Public Education and Outreach'''
 
'''BMP 1: Public Education and Outreach'''
* ''Brochures''
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* The Public Education and Outreach program achieves public outreach through th''Brochures''
 
*''Children's Educational Program''
 
*''Children's Educational Program''
 
*''Local Events''
 
*''Local Events''
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* [[Urban stormwater management in Santa Cruz County]]
 
* [[Urban stormwater management in Santa Cruz County]]
 
* [[Urban stormwater management in the Monterey Bay region]]
 
* [[Urban stormwater management in the Monterey Bay region]]
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* [[Urban stormwater regulations applicable to central coast region]]
  
 
==References==
 
==References==

Latest revision as of 16:47, 9 April 2013

Image 1. View of Carbonera Creek - Branciforte Creek intersection

Summary

Scotts Valley is a small city within Santa Cruz County, California, located approximately six miles north of the city of Santa Cruz. Scotts Valley lies within the San Lorenzo River watershed [1], with the primary land use represented by medium- to low-density residential development with a growing commercial/industrial sector [2]. Carbonera Creek, a perennial stream that eventually flows into the San Lorenzo River, is the central waterway and main recipient of urban storm water within Scotts Valley.The city of Scotts Valley published a Storm Water Management Plan (SWMP) in 2009 in accordance with the National Pollution Discharge Elimination System (NPDES) General Permit requirements for small Municipal Seperate Storm Sewer Systems (MS4) [3].

Stakeholders

Local Regulatory Background

Scotts Valley Municipal Code

Chapter 12.14: Stormwater and Urban Runoff Pollution Control

Timeline

Resources at Stake

The most common pollutants entering the Carbonera Creek via storm water runoff within Scotts Valley include sediment, pesticides and herbicides, nutrients, heavy metals, toxins, oil and grease, solvents, viruses, and bacteria [4]. These pollutants impair waterways physically, through sediment transport affecting turbidity and flow rate, and biologically, through nitrification and exposure of harmful toxins to the biological community. Steelhead, listed as a threatened species under the ESA, are commonly found within the San Lorenzo river and its tributaries; impairment of riparian habitats within the San Lorenzo River Watershed could significantly affect the rehabilitation of Steelhead within this region [5].

Management Strategies

The following lists Scotts Valley's Best Management Practices (BMPs) for storm water runoff, as listed by the Scotts Valley SWMP of 2009 [6]:

BMP 1: Public Education and Outreach

  • The Public Education and Outreach program achieves public outreach through thBrochures
  • Children's Educational Program
  • Local Events
  • Storm Water Information on the City's Website
  • Evaluate Community Based Marketing Strategies
  • Education/Outreach for Commercial Activities

BMP 2: Public Involvement and Participation

  • Storm Drain Labeling
  • Storm Water Hotline
  • Interagency Coordination
  • Public Meetings

BMP 3: Illicit Discharge Detection and Elimination

  • Non Storm Water Discharge
  • Develop a Storm Water Ordinance that Addresses Illicit Discharge
  • Maintain a Master Storm Drain Map
  • Illicit Discharge/Connection Investigation and Abatement
  • Respond to Reported Spills, Sewer Overflows and Illegal Discharges

BMP 4: Construction Site Storm Water Runoff Control

  • Grading Ordinance
  • Construction Site Inspections
  • Public Comment

BMP 5: Post-Construction Storm Water Management in New and Re-developments

  • Enforceable Mechanisms
  • Project Review Process
  • Post Construction BMP Inspection
  • Hydromodification Control Criteria
  • Applicability Thresholds
  • Implementation Strategy for LID and Hydromodification Control
  • Long Term Watershed Protection
  • TMDL for Carbonera Creek and Camp Evers Tributary

BMP 6: Pollution Prevention/Good Housekeeping for Municipal Operations

  • City Storm Drain Maintenance
  • Street Sweeping Operations
  • Citywide BMPs
  • Municipal Inspections
  • Training

BMP 7: Program Effectiveness Assessment

Links

References

  1. Santa Cruz County Watersheds
  2. City of Scotts Valley Zoning Map
  3. City of Scotts Valley Storm Water Management Plan, 2009
  4. City of Scotts Valley Storm Water Management Plan, 2009
  5. U.S. Fish and Wildlife Service: Species Profile
  6. City of Scotts Valley Storm Water Management Plan, 2009

Disclaimer

This page may contain student work completed as part of assigned coursework. It may not be accurate. It does not necessary reflect the opinion or policy of CSUMB, its staff, or students.