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EPA Proposes New GCP for Stormwater Discharges on Construction Sites

2017 CGP has noteworthy changes

May 05, 2016

Dykema’s Environmental Practice Group in Michigan recently posted changes to the permitting regulating stormwater discharges from construction sites. The current 2012 Construction General Permit (CGP) is set to expire February 16, 2017, at which time the 2017 GCP will go into effect.

Building contractors and developers need to be aware of the EPA’s newly proposed National Pollution Discharge Elimination System (NPDES) general permit regulations that apply to construction site operators disturbing one or more acres of land or less than one acre, but part of a larger common plan or development.

Here is the proposed draft of changes to the 2012 permit:

  • Prohibits hazardous substances, such as paint or caulk containing polychlorinated biphenyls (PCBs), from authorized non-stormwater discharges of external building washdown waters
  • Contractors  will be required to include the EPA’s contact information in the public notices that are already required to be posted in a prominent location near construction sites
  • Contractors will be required to cover or use another method of temporary stabilization for inactive soil stockpiles and land clearing debris piles where the piles will be unused for 14 or more days (Change: 2012 CGP only requires coverage “where practicable”)
  • Contractors will be required to keep waste container lids closed or provide some other secure cover where containers do not have lids
  • For demolition of structures with at least 10,000 square feet of floor space built or renovated before 1980, contractors are required to implement controls to minimize the exposure of PCB-containing building materials to precipitation and stormwater
  • Contractors will be required to state on their Notice of Intent (NOI) form the type of construction activities that will be involved.

The EPA is also soliciting comments on numerous potential changes that it has not included in the draft general permit, but is apparently considering. These potential changes include:

  • Requiring sites with multiple operators to submit a group Stormwater Pollution Prevention Plan (SWPPP);
  • Modifying the standard deadline to complete site stabilization once initiated to seven calendar days from 14 days (currently only sensitive sites are subject to the seven day deadline);
  • Requiring additional controls to ensure that pollutants in construction dewatering discharges are minimized;
  • Increasing the minimum site inspection frequency from (a) an option of once every seven days, or once every 14 days and within 24 hours of a storm event producing 0.25 inches or more, to (b) a single requirement of every seven days and within 24 hours of a storm event producing 0.25 inches or more;
  • Requiring this same minimum site inspection frequency for snowmelt runoff discharges (in the 2017 draft permit, the EPA “clarifies” that snowmelt runoff qualifies as a stormwater event, thereby triggering the inspection requirement); and
  • Requiring operators to make the SWPPP (or at least a portion of it) available to the public by either posting it online or providing it to the EPA.

The 2017 CGP will cover all eligible construction operators located in geographic areas where the EPA is the NPDES permitting authority, including Idaho, Massachusetts, New Hampshire, New Mexico, and Washington, D.C. Although state-issued NPDES permits don’t need to be identical to the EPA’s general permit, state-issued permit requirements must be at least as stringent and extensive as those promulgated by U.S. EPA in NPDES regulations. In practice, many state permitting authorities simply use the content and format of the U.S. EPA general permit.

These potential permit changes may increase the time, effort, and resources required to comply with stormwater management obligations and construction operators not familiar with the new regulations risk enforcement actions from permitting agencies.

Source: Dykema’s Environmental Practice Group

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