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Minimum Control Measure 3: Illicit Discharge Detection and Elimination [V.G.3] ( *Required fields) <br /> The permit requires permittees to develop, implement, and enforce a program to detect and eliminate illicit discharges as defined <br /> in 40 CFR 122.26(b)(2). You must also select and implement a program of appropriate BMPs and measurable goals for this <br /> minimum control measure. <br /> A. *Did you update your storm sewer system map? ❑ Yes [(No <br /> If yes, please explain which components (ponds, pipes, outfalls, waterbodies, etc.) were <br /> updated /added: <br /> Note: The storm sewer system map was to be completed by June 30, 2008. [Part V.G.3.a) <br /> B. *Have you modified the format in which the map is available? ❑ Yes 0 No <br /> C. If yes, indicate the new format: <br /> ❑ Hardcopy only ❑ GIS system ❑ CAD ❑ Other system: <br /> D. *Did you inspect for illicit discharges during the reporting year? P(Yes ❑ No <br /> E. If you answered yes in question D above, did you identify any illicit discharges? ❑ Yes L�No <br /> F. If you answered yes in question E above, how many illicit discharges were detected during the <br /> reporting period: <br /> G. If you answered yes in question F above, did the illicit discharge result in an enforcement action? ❑ Yes ❑ No <br /> If yes, what type of enforcement action(s) was taken (check all that apply): <br /> ❑ Verbal warning ❑ Notice of violation ❑ Fines ❑ Criminal action <br /> ❑ Civil penalties ❑ Other (describe): <br /> Minimum Control Measure 4: Construction Site Stormwater Runoff [V.G.4] ( *Required fields) <br /> The permit requires that each permittee develop, implement, and enforce a program to reduce pollutants in any stormwater <br /> runoff to your small MS4 from construction activities within your jurisdiction that result in a land disturbance of equal to or greater <br /> than one acre, including the disturbance of less than one acre of total land area that is part of a larger common plan of <br /> development or sale if the larger common plan will ultimately disturb one or more acres. [Part V.G.4.1 <br /> A. The permit requires an erosion and sediment control ordinance or regulatory mechanism that must include sanctions to <br /> ensure compliance and contains enforcement mechanisms [Part V.G.4.a]. Indicate which of the following enforcement <br /> mechanisms are contained in your ordinance or regulatory mechanism and the number of actions taken for each <br /> mechanism used during the reporting period (enter "0" if the method was not used or "NA" if the data does not exist). <br /> Check all that apply. <br /> Enforcement mechanism Number of actions <br /> ❑ Verbal warnings # p <br /> ❑ Notice of violation # D <br /> ❑ Administrative orders # D <br /> ❑ Stop-work orders # <br /> Fines # <br /> Forfeit of security of bond money # <br /> ❑ Withholding of certificate of occupancy # <br /> Criminal actions # D <br /> Civil Penalties # <br /> Other: # <br /> B. *Have you developed written procedures for site inspections? U.Yes ❑ No <br /> C. *Have you developed written procedures for site enforcement? 19Yes ❑ No <br /> D. *Identify the number of active construction sites greater than an acre in your jurisdiction during <br /> the reporting period year: <br /> E. *On average, how frequently are construction sites inspected (e.g., weekly, monthly, etc.)? <br /> F. *How many inspectors, at any time, did you have available to verify erosion and sediment control �- <br /> compliance at construction sites during the reporting period: ' <br /> www.pca.state.mn.us • 651 - 296 - 6300 • 800 657 - 3864 TTY 651 - 282 -5332 or 800- 657 -3864 • Available in alternative formats <br /> wq- strm4 -06 • 112312013 <br /> Page 3 of 5 <br /> 4 <br />