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2018-09-12 CC Packet
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2018-09-12 CC Packet
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a ntec <br /> CITY OF CENTERVILLE -2018 LOCAL WATER PLAN <br /> The city shall not monitor or maintain water bodies which are not part of the city's MS4 system. <br /> Potential capital improvement projects are described in Chapter 8, Capital Improvements Plan. <br /> These projects should aid in addressing maintenance concerns within their respective areas. <br /> As described in Section 3.8, Utility Systems, eleven residences and two commercial/industrial <br /> sites remain on Individual Sewage Treatment Systems (ISTS). The City will work closely with <br /> the County to inspect these systems and assure that they are operated properly. <br /> 6.2 SUPPORT OF RCWD PROGRAMS AND EXISTING AGREEMENTS <br /> The City recognizes the benefit of a governmental entity such as the RCWD for purposes of <br /> water resource management. An agency such as the RCWD can best handle sensitive <br /> intercommunity issues such as water and drainage rights and management. As a result, the City <br /> will continue to support and coordinate with the RCWD on all water resource management <br /> issues, and it recognizes the role of the RCWD to continue to administer all water resource <br /> permitting and regulation responsibilities within the City. <br /> The City also cooperates with the City of Lino Lakes under a Joint Powers Agreement with <br /> street sweeping and rock hauling efforts. The City and RCWD recently entered into a <br /> programmatic stormwater maintenance agreement, which is attached to this Plan as an <br /> appendix. This agreement details inspection, maintenance and permitting responsibilities that <br /> will be completed by the City and RCWD. <br /> The RCWD identified a Centerville volume control debit previously incurred under the RCWD <br /> regulatory control program. The City of Centerville and the RCWD are working together to <br /> determine the City's volume debit/credit "account" balance. The City continues to enhance the <br /> LaMotte Pond/LaMotte Memorial Park reuse facility, under the 2011 MOA, by expanding reuse <br /> irrigation as indicated in Table 8.1 in the Capital Improvements section. <br /> 6.3 PHASE II NPDES MS4 PERMIT AND SWPPP <br /> The MPCA is the permitting authority in Minnesota for the National Pollutant Discharge <br /> Elimination System (NPDES). Under this system, the City is considered a municipal separate <br /> storm sewer system (MS4) community and must obtain a Phase II NPDES MS4 Permit. Under <br /> the provisions of its MS4 Permit, the City has developed and implemented a Stormwater <br /> Pollution Prevention Program (SWPPP). <br /> The SWPPP addresses six minimum control measures: <br /> 1. Public education <br /> 2. Public involvement <br /> 3. Illicit discharge detection and elimination <br /> 4. Construction site runoff control <br /> 5. Post-construction runoff control <br /> 23 <br /> 118 <br />
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