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It provides technical assistance and support to all facilities subject to pollution prevention requirements established under National Pollutant Discharge Elimination System NPDES permits for storm water point source discharges. EPA's storm water program significantly expands the scope and application of the existing NPDES permit system for municipal and industrial process wastewater'discharges. It emphasizes pollution prevention and reflects a heavy reliance on BMPs to reduce pollutant loadings and improve water quality.
This manual provides essential guidance in both of these areas. This document was issued in support of EPA regulations and policy initiatives involving the development and implementation of a National storm, water program. This document is Agency guidance only. It does not establish or affect legal rights or obligations.
Agency decisions in any particular case will be made applying the laws and regulations on the basis of specific facts when permits are issued or regulations promulgated. This document will be revised and expanded periodically to reflect additional pollution prevention information and data on treatment effectiveness of BMPs.
Comments from users will be welcomed. Send comments to U. However, human activities, particularly urbanization, can alter natural drainage patterns and add pollutants to the rainwater and snowmelt that runs off the earth's surface and enters our Nation's rivers, lakes, streams, and coastal waters. A number of recent studies by the U. Environmental Protection Agency EPA , State water pollution control authorities, and various universities have shown that storm water runoff is a major source of water pollution, declines in fisheries, restrictions on swimming, and these conditions limit our ability to enjoy many of the other benefits that the Nation's waters provide.
In response to this problem, the States and many municipalities have been taking the initiative to manage storm water more effectively. In acknowledgement of the importance of the storm water problem, the Congress has directed EPA to undertake a wide range of activities, including providing technical and financial assistance to States and other jurisdictions to help them improve their storm water management programs.
In addition, through recent amendments to the Clean Water Act, the Congress has instructed EPA to develop a regulatory program for certain high priority storm water sources.
In carrying out its responsibilities, EPA is committed to promoting the concept and the practice of preventing pollution at the source, before it can cause environmental problems costing the public and private sector in terms of lost resources and the funding it takes to remediate or correct environmental damage. Owners and operators of industrial facilities will find that putting together a Storm Water Pollution Prevention Plan is a straightforward process that can be accomplished by facility managers and employees.
EPA is publishing this manual for several reasons. The primary purpose of this manual is to provide guidance for industrial facilities that are subject to requirements under EPA's General Permits for storm water discharges associated with industrial activity. Facilities located in the 12 nondelegated States or 6 Territories are subject to these requirements see Section 1.
EPA anticipates that most storm water discharge permits issued under the Storm Water Program will require a pollution prevention plan. Throughout this manual, specific EPA General Permit pollution prevention requirements are given in the shaded boxes as seen below.
Although the requirements for a Storm Water Pollution Prevention Plan may vary from one permit to another, and from State to State, EPA expects that most of the general concepts described in this manual are common to all plan requirements.
Please also note that, although this manual presents EPA General Permit requirements that apply to facilities located in nondelegated States and Territories, some of the nondelegated States required modifications or additions to the pollution prevention plan requirements to ensure that the permit complies with State laws and standards. Facilities roust implement the provisions of the Storm Water Pollution Prevention Plan required under this part as a condition of this permit.
In addition to providing guidance for facilities that are subject to storm water permit requirements, this manual contains information that is generally useful for controlling storm water pollution from almost any type of developed site.
EPA hopes this manual is widely used in furthering the prevention of pollution at its sources and the adoption of management practices that help us protect the overall quality of the environment. If you are subject to requirements under the general permit for storm water discharges associated with construction activities, that manual is designed to help you comply with those somewhat different requirements. Step-by-step guidelines and accompanying worksheets will walk you through the process of developing and implementing a Storm Water Pollution Prevention Plan.
This approach allows you to complete this process in the simplest and most efficient way. The worksheets are designed to help you organize the required information. The remainder of this manual is divided into three sections: Chapter 2 provides information on how to develop a plan; Chapter 3 serves as a resource for selecting activity-specific Best Management Practices BMPs ; and Chapter 4 discusses site- specific BMPs.
As you complete each section, you will move through each of the following steps and end up with a fully developed Storm Water Pollution Prevention Plan. Each step is important and should be completed before moving on to the next step. The Organization Phase starts the process by helping you to get organized and by identifying who is going to develop and implement the plan and by identifying site-specific pollution prevention objectives. The Assessment Phase involves gathering information about your site and identifying potential sources of storm water pollution.
Using the information collected during the Assessment Phase, you can. The fourth stage of the Storm Water Pollution Prevention Planning process is the : Implementation Phase, during which you put the plan into action. The final step, the Evaluation Phase, allows you to determine if your plan is actually accomplishing your pollution prevention objectives.
Periodic reviews, inspections, and evaluations will allow you to keep the plan effective and up-to-date. In Chapter 3, which details activity-specific BMPs, you will find a number of measures you can use to prevent or reduce the contamination of storm water caused by specific industrial activities. Chapter 4 describes site-specific BMPs. From the list of site-specific BMPs, you can select prevention and control measures that are most appropriate for the physical characteristics of your facility.
Appendix A lists the references used to develop this manual. Appendix B includes a glossary of terms. Appendix C provides a model of what a pollution prevention plan might look like for a small industry. Appendix D provides State and Federal storm water and pollution prevention contacts and additional information on pollution prevention. Appendix E provides technical and design fact sheets for some of the storm water BMPs described in Chapter 4.
Appendix F describes tests for non-storm water discharges. Appendix G compares Storm Water Pollution Prevention Plan requirements with plan requirements under other environmental programs.
Appendix H is a list of reportable quantities for hazardous substances under 40 CFR Parts and This manual describes the practices and controls, tells how, when, and where to use them, and how to maintain them.
However, the effectiveness of these controls lies fully in your hands. Although specific recommendations will be offered in the following chapters, keep in mind that careful consideration must be given to selecting the most appropriate control measures based on site-specific features, and on properly installing the controls in a timely manner.
Finally, although this manual provides guidelines for maintenance, it is up to you to make sure that your controls are carefully maintained or they will prove to be ineffective.
However, requirements may vary from permit to permit. You should read your permit to determine the required components of your pollution prevention plan. Although this manual describes "typical" permit requirements, do not assume that the typical permit requirements described in this manual are the same as your permit requirements even if you are included under an NPDES general permit for storm water discharges associated with industrial activities.
EPA has issued a number of regulations addressing pollution control practices for different environmental media i. Although Storm Water Pollution Prevention Plans primarily focus on storm water, it is important to consider the impacts of selected storm water management measures on other environmental media i.
For example, if the water table is unusually high in your area, a retention pond for contaminated storm water may also lead to contamination of a ground water source unless special preventive measures are taken. Permittees must take these issues into consideration in selecting appropriate pollution prevention measures and should make certain that adoption of storm water measures is consistent with other Federal, State, and local environmental laws. Your facility's efforts to control storm water should be compatible with the ground water protection objectives reflected in your State's program.
Pollution Prevention Plan The first term of importance is "storm water pollution prevention plan. As you will learn in Chapter 2, Storm Water Pollution Prevention Plans consist of a series of steps and activities to, first, identify sources of pollution or contamination on your site, and, second, select and carry out actions which prevent or control the pollution of storm water discharges.
BMPs are measures or practices used to reduce the amount of pollution entering surface water, air, land, or ground waters. BMPs may take the form of a process, activity, or physical structure. Some BMPs are simple and can be put into place immediately, while others are more complicated and require extensive planning or space. They may be inexpensive or costly to implement. Chapters 3 and 4 describe numerous specific BMPs that will help you comply with these requirements.
For example, the original sources of the pollutants transported in storm water can be diffuse or spread out over a wide area. So, small oil and grease spills at hundreds of different facilities within a single city can collectively represent a major pollution problem. In addition, the nature of storm water is such that the amount of pollutants that enter receiving waters will vary in accordance with the frequency, intensity and duration of rainfall and the nature of local drainage patterns.
Considering the wide variety of types of industries in the United States and the wide range of materials and chemical compounds that are used as part of different industrial activities, a site-specific pollution prevention plan tailored for each facility is considered the most effective, flexible, and economically practical approach to achieve effective storm water management.
Yet, the BMP framework established by the pollution prevention plan requirements must be fully implemented to meet these standards. According to the November 16, , final rule, facilities with a "storm water discharge associated with industrial activity" are required to apply for a storm water permit. Operators of industrial, facilities that are Federally, State, or municipally owned or operated that meet the above description must also submit applications.
If you have questions about whether or not your facility needs to seek permit coverage, contact the EPA Storm Water Hotline at The storm water regulation presents three permit application options for storm water discharges associated with industrial activity.
The first option is to submit an individual application consisting of Forms 1 and 2F. The second option is to participate in a group application. Regardless of the permit application option a facility selects, the resulting storm water discharge permit will most likely contain a requirement to develop and implement a Storm Water Pollution Prevention Plan. Even though storm water permit requirements will vary from State to State depending on water quality concerns and permitting priorities for the permitting authority, EPA expects that most NPDES storm water discharge permits will contain Storm Water Pollution Prevention Plan requirements similar to the requirements presented in this manual.
Figure 2. In addition, Storm Water Pollution Prevention Plans also must address a number of general requirements, including developing a schedule or deadlines for the accomplishment of tasks, and an identification of signature authority, where required by Federal regulations. Some types of facilities will also have to meet other special requirements. For example, special requirements apply to facilities that discharge through municipal separate storm water systems as well as those facilities that are subject to reporting requirements under EPCRA, Section for water priority chemicals.
These worksheets are located at the end of Chapter 2. You can pull them out, photocopy them, and simply incorporate the completed forms in your plan. The five planning phases, general requirements, and special requirements are discussed in turn in the remainder of this chapter.
To help you follow along, a simplified version of the flowchart for the entire planning process is shown at the beginning of each section, with a highlighted box showing the particular phase that is being discussed. So, for example, you will find that the Planning and Organization Phase is highlighted on the flowchart at the top of page , signaling the beginning of our detailed discussion of this first step.
The designated individual or team will be the driving force behind the development, implementation, maintenance, and revision of the facility's Storm Water Pollution Prevention Plan. One of the first tasks of those responsible is to define and agree upon a clear and reasonable set of goals for the facility's overall storm water management program.
Where a team is involved, the responsibilities or duties of specific team members should be clearly defined. Areas of responsibilities include initial site assessment, identification of pollutant sources and risks, decision making on appropriate BMPs, directing the actual implementation of the BMPs, and then, regular evaluations to measure the effectiveness of the plan.
Details of these procedures are described in the latter part of this chapter.
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It provides technical assistance and support to all facilities subject to pollution prevention requirements established under National Pollutant Discharge Elimination System NPDES permits for storm water point source discharges. EPA's storm water program significantly expands the scope and application of the existing NPDES permit system for municipal and industrial process wastewater'discharges. It emphasizes pollution prevention and reflects a heavy reliance on BMPs to reduce pollutant loadings and improve water quality. This manual provides essential guidance in both of these areas.
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