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2016-04-26_PWETC_AgendaPacket
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2016-04-26_PWETC_AgendaPacket
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Public Works Commission
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Agenda/Packet
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4/26/2016
Commission/Committee - Meeting Type
Regular
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BMP categories to be implemented Measurable goals and timeframes <br /> 4. Do you have procedures for record-keeping within your Illicit Discharge Detection and Elimination (IDDE)program as <br /> specified within the Permit(Part III.D.3.h.)? ®Yes ❑ No <br /> If you answered no, indicate how you will develop procedures for record-keeping of your Illicit Discharge, Detection and <br /> Elimination Program,within 12 months of the date permit coverage is extended: <br /> 5. Provide the name or the position title of the individual(s)who is responsible for implementing and/or coordinating this <br /> MCM: <br /> MS4 Permit Coordinator <br /> D. MCM 4: Construction site stormwater runoff control <br /> 1. The Permit(Part III.D.4)requires that, within 12 months of the date permit coverage is extended,existing permittees shall <br /> revise their current program, as necessary, and continue to implement and enforce a construction site stormwater runoff <br /> control program. Describe your current program: <br /> D.1. The City currently has measures in place for Construction Site Storm Water Runoff Control.An erosion control <br /> ordinance was adopted in 2006. Construction specifications, which are included in all construction projects through out <br /> the City, require the Contractor to follow certain criteria that ensure environmental compliance. Site plan review and <br /> pertinent State and Federal permits also are required prior to construction to ensure environmental regulations are met. <br /> Applicants are required to use temporary and permanent erosion and sediment control measures and use best <br /> management practices on the site to preserve shoreland and vegetation as defined in the erosion and sediment control <br /> ordinance. The City has developed an information sheet with a list and description of minimum erosion and sediment <br /> control measures/best management practices. This information sheet is made available to developers/contractors/ <br /> construction site personnel. <br /> The City receives and logs reports on non-compliance on construction sites by means of calls to City Hall and letters or <br /> comments submitted on the City website. The City's erosion control inspector follows-up on the reports and works with <br /> the contractor to bring sites into compliance when appropriate. <br /> 2. Does your program address the following BMPs for construction stormwater erosion and sediment control as required in <br /> the Permit(Part III.D.4.b.): <br /> a. Have you established written procedures for site plan reviews that you conduct prior to the start of ®Yes ❑ No <br /> construction activity? <br /> b. Does the site plan review procedure include notification to owners and operators proposing ®Yes ❑ No <br /> construction activity that they need to apply for and obtain coverage under the MPCA's general <br /> permit to Discharge Stormwater Associated with Construction Activity No. MN R100001? <br /> c. Does your program include written procedures for receipt and consideration of reports of ®Yes ❑ No <br /> noncompliance or other stormwater related information on construction activity submitted by the <br /> public to the permittee? <br /> d. Have you included written procedures for the following aspects of site inspections to determine <br /> compliance with your regulatory mechanism(s): <br /> 1) Does your program include procedures for identifying priority sites for inspection? ❑Yes ® No <br /> 2) Does your program identify a frequency at which you will conduct construction site ❑Yes ® No <br /> inspections? <br /> 3) Does your program identify the names of individual(s)or position titles of those responsible for ❑Yes ® No <br /> conducting construction site inspections? <br /> 4) Does your program include a checklist or other written means to document construction site ®Yes ❑ No <br /> inspections when determining compliance? <br /> e. Does your program document and retain construction project name, location, total acreage to be ❑Yes ® No <br /> disturbed, and owner/operator information? <br /> f. Does your program document stormwater-related comments and/or supporting information used to ®Yes ❑ No <br /> determine project approval or denial? <br /> g. Does your program retain construction site inspection checklists or other written materials used to ®Yes ❑ No <br /> document site inspections? <br /> If you answered no to any of the above permit requirements, describe the tasks and corresponding schedules that will be <br /> taken to assure that, within 12 months of the date permit coverage is extended, these permit requirements are met. <br /> D.2. The City will review and update their Construction Site Stormwater Runoff Control program as necessary to meet <br /> the requirements found in the Permit(Part III.D.4.b). The City will review current procedures and ensure they are in a <br /> written format and housed so they are easy to access. This effort will be completed within 12 months of the date permit <br /> coverage is extended. <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-strm4-49a • 5131113 Page 11 of 15 <br />
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