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4.6 Coordination and Collaboration <br />A successful surface water management program requires extensive coordination with the <br />many regulatory agencies having jurisdiction in the City as well as close collaboration with <br />the local watershed organizations and the developers proposing projects within the City. The <br />best solutions are often found through combined efforts and from building on what others <br />have learned from similar projects and/or similar management activities. Coordination and <br />collaboration will be accomplished through a variety of methods including meetings and <br />Comprehensive Surface Water Management Plan ROSEV120222 <br />City of Roseville Page 24 <br />water bodies. <br />3 <br />The City prohibits non -storm water discharges to the storm drainage system to <br />the maximum extent practicable as described in the Section 803.03 (Storm <br />Water Illicit Discharge and Connection) of the City Code. <br />4 <br />The City shall conduct street sweeping at least three times a year. The first <br />sweep shall be as soon as practical in the spring. Storm water sensitive areas <br />are priority and swept first throughout the year. <br />5 <br />The City prohibits the use of coal tar -based sealer on asphalt driveways and <br />parking lots within the City to prevent Polycyclic Aromatic Hydrocarbons <br />(PAHs) present in coal tar from contaminated stormwater runoff and <br />downstream receiving water bodies (City Code Chapter 410). <br />6 <br />Appropriate City staff shall have training and equipment available to deal with <br />small spills of hazardous material on City property. All spills which cause <br />pollution of the air, land, or water resources must be reported immediately to <br />the State Duty Officer at 651.649.5451. <br />7 <br />Appropriate City staff shall have training on best management practices for the <br />application of road salt and de -icing materials and shall reduce the amount of <br />chlorides to the maximum extent practicable. The City also encourages <br />property owners to reduce salt usage and offers tips to cut salt usage on the <br />City website. <br />8 <br />The City limits phosphate application within the City and prohibits application <br />during certain periods and on impervious surfaces. The fertilizer ordinance <br />(City Code Chapter 408) also includes licensing requirements for commercial <br />applicators. <br />9 <br />The City shall annually inspect and clean all structural pollution control <br />devices. A minimum of 20 percent of the MS4 outfalls, sediment basins and <br />ponds are inspected annually on a rotating basis in accordance with its <br />SWPPP. Cleaning, sediment and debris removal will be performed as <br />necessary. <br />10 <br />The City requires private storm water systems to be maintained in proper <br />conditions consistent with the performance standards for which they were <br />originally designed (City Code Section 1017.26 Subp. B.4). Clean up and <br />removal of settled materials is required every five years. <br />4.6 Coordination and Collaboration <br />A successful surface water management program requires extensive coordination with the <br />many regulatory agencies having jurisdiction in the City as well as close collaboration with <br />the local watershed organizations and the developers proposing projects within the City. The <br />best solutions are often found through combined efforts and from building on what others <br />have learned from similar projects and/or similar management activities. Coordination and <br />collaboration will be accomplished through a variety of methods including meetings and <br />Comprehensive Surface Water Management Plan ROSEV120222 <br />City of Roseville Page 24 <br />