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b. Sixth paragraph,first sentence: Easements required by the City are dedicated to the City.This is not <br /> a RCWD requirement, but rather a City requirement.This should be clarified. <br /> 6. Section 6.2 Support of RCWD Programs and Existing Agreements: <br /> a. RCWD does not have a formal agreement with the City for public drainage system maintenance. <br /> This can be removed.The RCWD and City recently entered into a programmatic stormwater <br /> maintenance agreement that the City could add. <br /> b. The City should acknowledge an existing volume credit agreement for LaMotte Pond that was <br /> approved by RCWD.The City should address its volume banking plan and how it will achieve its <br /> volume reduction goals. <br /> i. The plan must identify the remaining volume control debit previously incurred through the <br /> RCWD regulatory program and describe previous and future activities to ensure reasonable <br /> progress toward eliminating the volume control debit within the next plan cycle.The debit <br /> amount can be obtained from RCWD.The City and RCWD previously discussed a possibility of <br /> adding an iron enhanced sand filter to the LaMotte Pond system to help eliminate the City's <br /> debit. If the City would like to include this project in its plan, RCWD staff are available for <br /> further discussion. <br /> 7. Section 6.4 TMDL Studies: <br /> a. The City is a named regulated MS4 for the Upper Mississippi River Bacteria TMDL and must add a <br /> discussion of this TMDL to the plan.The City should identify specific strategies or policies it will take <br /> to help address this TMDL, such as the City's pet waste education efforts discussed in Section 5.2 <br /> Objective 6 (a). <br /> b. RCWD recommends adding a discussion of the City's Trail Side Park Phase 1 & 2 stabilization <br /> projects and how they help address the goals of the Peltier&Centerville Lakes and Lino Lakes Chain <br /> of Lakes TMDLs. <br /> c. Clearwater Creek is impaired for aquatic macro invertebrate bioassessments and fishes <br /> bioassessments,which should be added to the plan. A TMDL has not yet been completed for <br /> Clearwater Creek. <br /> 8. A copy of the City's SWPPP is missing from the plan and should be added. <br /> 9. Section 6.8 Erosion Control and Sediment Control: <br /> a. Third paragraph: RCWD's erosion control trigger should be revised to: "...or where soil <br /> disturbance/vegetative removal occurs on 10,000 square feet or more of land if any part of the <br /> disturbed area is within 300 feet of any lake, stream,wetland, or ditch." <br /> b. The City could also include in this section that it has MS4 responsibilities for erosion and sediment <br /> control. <br /> 10. Section 6.10 Floodplain Administration: A report titled Future Land Use Conditions Hydrology and Hydraulics <br /> Analysis for Upper Rice Creek, dated February 29, 2016, identifies potential increases in flooding of lots <br /> adjacent to JD 3 that are slated for future development (see attached report and excerpts below). <br /> f <br /> 100E <br /> a <br /> 1001 f <br /> h <br /> 1/al�1UO" � Sa <br /> 100H. - <br /> -10 OJ <br /> 74 <br />