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Construction Site Stormwater Management Training Request for Qualifications City of Bozeman, MT Prepared for: Frank Greenhill Stormwater Program Specialist City of Bozeman, MT Prepared by: Andrew Demers President StormwaterONE.com CONTENTS EXPERIENCE .................................................................................... 1 FIRM BACKGROUND .................................................................... 6 FIRM WORKLOAD ......................................................................... 8 CLAIMS ............................................................................................. 8 REFERENCES .................................................................................. 9 TRAINING EXAMPLE .................................................................. 10 NONDISCRIMINATION AFFIRMATION FORM .................... 10 Page 1 COVER LETTER Dear Mr. Greenhill, First, I would like to thank you for taking such a vested interest in protecting the waters of Montana. I have been actively working in stormwater management training across the United States and Canada for over 15 years, and I am still perplexed with how little attention and resources this topic receives. StormwaterONE.com is an occupational trade school that has been developing and delivering custom NPDES training programs since 2007. Although we are primarily known for our on-demand eLearning programs, we do offer live in-person training, live virtual instruction, and hybrid programs which include a combination of on- demand and live training. Our company has extensive experience in developing custom training solutions such as those outlined in this RFQ. Most recently, we have launched the Certified Erosions and Sediment Control Lead Hybrid training program for the State of Washington. We have also created and administered numerous consent decree training programs for large national contractors. We work directly with several stormwater training and service firms across the United States. In order to deliver the most relevant training possible, we typically employ local trainers. Training is most relevant to learners when utilizing instructors with an intimate working knowledge of local regulations and understand of the best practical solutions for local conditions. My team is excited to meet the challenges of this important project. Even if we are ultimately not chosen for this scope of work, please let us know how we can best support the compliance efforts for the City of Bozeman. Sincerely, Andrew Demers President Page 2 EXPERIENCE StormwaterONE has extensive experience performing as contractor on projects of similar size, type, and complexity as the City of Bozeman, MT requires. As a national leader in stormwater management training and credentialing, our school’s mission is to provide our students with the most comprehensive and up-to-date training of individual stormwater permits. PROJECTS OF INTEREST • Washington Department of Ecology - CESCL-Hybrid Contact: Noel Tamboer (360) 407-6467 Project Location: Washington State • Created and Implemented state-specific hybrid certification program – Erosion and Sediment Control Lead. • Developed a Custom Testing Environment with a pre and post examination process to measure program effectiveness. • State of Rhode Island Contact: Lorraine Joubert (401) 874-2138 Project Location: Rhode Island • Developed a grant funded custom State-specific training program regarding the Stormwater Construction General Permit and the principles and practices of Soil Erosion and Sediment Control. • The program provides three levels of education: Awareness, Entry-level, and professional certification. • The educational modules include a testing structure and provide full reporting to DEM and DOT. • The program includes full administrative and technical support for both student and appointed administrators. Page 3 • Each learner is assigned unique learner IDs, have access to a RI-specific library of resources, and retain full access to their training modules, and all updates, for the duration of their certification (3-years). • City of Springfield, MO Contact: Kellie Herman (417) 730-0636 Project Location: Springfield, MO • Creation of custom program requiring contractors to be educated in Erosion and Sediment Control and Pollution Prevention. • Program created to allow contractors flexibility in completing the training while ensuring that they would be fully equipped with the skills need to meet City and State permit requirements. • As a cost-effective solution to address the City of Springfield’s needs, previously existing StormwaterONE.com trainings were customized. • Contractors had access to the trainings either by the City website or StormwaterONE website. • StormwaterONE manages all of the administrative tasks, allowing the city to focus on proving a better Stormwater solution to the community. • Home Depot Contact: Shad Kazerooni (770) 384-2280 Project Location: National • Developed custom training programs for Home Depot employees, Independent Testing and Inspection firms, General Contractors, and Subcontractors. • StormwateONE is responsible for the complete administration of these programs. Page 4 • Shea Construction Contact: Russel Foster (909) 444-0695 Project Location: Walnut, CA • Creation of Awareness Level Video Training Course to educate trades personnel regarding stormwater management during home construction. • Course delivered in both English and Spanish languages. • Course published to DVD, USB, and MP4 format. PROFESSIONAL PERSONNEL EXPERIENCE AND QUALIFICATIONS Below is a list of members on the project team, accompanied by a brief description of their experience and qualifications. STORMWATERONE STAFF Andrew Demers, Project Management Andrew is the owner and president of StormwaterONE.com and is actively involved in project oversight from project point of engagement through project termination. He has 20 years of business and sales experience and 15 years of experience in the stormwater industry. Andrew has grown StormwaterONE.com to be a leader in stormwater management training and credentialing in the United States. Alisa Peterson, Instructional Designer Alisa is StormwaterONE’s lead instructional designer with 30 years of training development and design experience. She has 30 years of training development and design experience, and 16 years in the stormwater industry. She has developed more than 95 eLearning stormwater courses and conducted MS4 software training nationwide. Alisa has conducted more than 100 stormwater technical presentations to stormwater engineering firms and municipalities in Illinois/Wisconsin. She has also worked with stormwater construction contractors to help identify stormwater separator product sizing and implementation. Alisa spent five years self-employed and conducted sales presentations, webinars and presented at stormwater associations and trade shows. Page 5 Prior to stormwater, spent 10 years in corporate training including Kaiser Permanente and VA IT where she received two plaques of “Honor and Achievement of Excellence” awards. John Denner, Course Developer, Web Developer, Graphic Artist John is a dynamic, resourceful, and collaborative Graphic Designer who specializes in developing custom training solutions in various formats. John also specializes in video creation and editing, web development, motion graphics, and logo creation. He brings 15 years of Digital Media experience to the StormwaterONE team and is successful in achieving the rapidly expanding requirements of the Stormwater Management Training Industry. Kenneth Bracy III, Support Lead Implementation, LMS Support, Quiz Creation, Spanish and English Quality Assurance, Final QA testing SUBCONTRACTORS Scott Olson, Instructor Scott has over 20 years of training experience, delivering 100 programs annually through his company, Altitude Training Associates. He has been actively working with StormwaterONE.com since 2013 when we co-created an online course for Stormwater Management for Oil and Gas Construction Activities. Scott has also presented live for one of our national contractor clients. He is a very competent instructor who delivers high impact lessons in a variety of settings (live virtual training, classroom training, and field events). Scott instructed in the Environmental Compliance degree program for eight years and develop the CO state accredited curriculum used today. He was the former chair of the Environmental & Safety Technology Department at Red Rocks Community College and former director of the Colorado Environmental Training Center. Scott’s extensive training experience has been well recognized in Whos Who Among America’s Teachers and NETAs Who’s Who Among Environmental Instructors. Page 6 Brad Flack, Instructor Brad has done extensive educational work with StormwaterONE instructing live virtual trainings, classroom trainings, and field events. Brad has been in the stormwater management and ESC industry for over 16 years. He has served on several boards and committees in industry-related organizations. Brad is a Certified Professional in Erosion & Sediment Controls (CPESC), Certified Erosion, Sediment and Storm Water Inspector (CESSWI), and Qualified Compliance Inspector of Stormwater (QCIS). Carl Menconi, Instructor Carl has 30 years of experience working to keep water clean as a construction stormwater trainer, inspector, and consultant. He is the owner of Environmental Project Consulting LLC and has worked with StormwaterONE.com doing virtual trainings, classroom trainings, and field events. Carl is certified in CESCL, CESC, CESSWI, CISEC and is a CESCL instructor for StormwaterONE.com and the Associated General Contractors Education Foundation, University of Washington. FIRM BACKGROUND StormwaterONE is a private occupational trade school for stormwater management and is located in Rocky Hill, Connecticut. Our school has been in operation since 2007 and, to date, we have trained and credentialed more than thirty thousand professionals about stormwater management through our online learning management system. Our organization was established in Bentonville, Arkansas in 2007. Two of the three founders developed Wal-Mart Inc.’s national stormwater compliance program. In 2012, Andrew Demers, who was one of the original founders, purchased the company and relocated the organization to Connecticut. Page 7 Since the purchase, the school’s operations have been completely overhauled and our curriculum has expanded sevenfold. Today our school is operating on stable integrated platforms driven by standardized policies and procedures. STRENGTHS Our standard of practice is to use the ADDIE Model of Instructional Design in all of our internal and external operations. This framework provides a positive feedback loop with clearly defined stages which effectively facilitates the implementation of effective training tools. By utilizing the ADDIE Model, communication amongst project team members is increased, quality is assured, and project completion is within the required timeframe. WEAKNESSES StormwaterONE.com has never worked directly for the City of Bozeman. Although a weakness in our organization, we hope that our national recognition as a leader in effective stormwater training will override this apparent weakness in our application. CAPABILITIES Beyond our proved track record to deliver high quality training programs, StormwaterONE well known for our technical infrastructure. As a Private Occupational Trade School have developed a fully integrated digital infrastructure. At the hub of our operations is the StormwaterONE eCampus, which is a highly customizable Learning Management System (LMS). We can offer our clients privately branded learning portals, track all modalities of training (online, virtual, in person, etc.), accommodate custom training tracks (require pre-requisites to advance), offer online and in person testing environments, produce learning analytics, and much more. We also provide web infrastructure as required to implement and market training solutions. We develop websites and landing pages, and provide merchant Page 8 checkout solutions for paid courses, or easy to use gateways for the use of pre-paid enrolment codes. Our proudest capability is our superior administrative and technical support. We advertise and provide several methods to contact our team, which is beneficial for the busy professionals we serve. We utilize email, phone, and live chat during business hours and our phone support is available Monday – Friday, 9AM – 11PM EST and Saturday 9AM – 8PM EST. We can and do provide a true turn-key solution from start to finish. FIRM WORKLOAD StormwaterONE is very capable to meet time and project budget requirements. Project deadlines are heavily considered in our team time management process. In terms of budget requirements, all cost is determined up front for each project in the scope of work. Your assigned project manager will watch project scope and will notify you prior to any potential changes that could increase cost. No decisions are made without client approval. CLAIMS There have been no claims against StormwaterONE.com, and we have an A+ BBB rating. Page 9 REFERENCES • State of Rhode Island – University of Rhode Island Contact: Lorraine Joubert (401) 874-2138 • City of Springfield, MO Contact: Kellie Herman (417) 730-0636 • Home Depot, USA Contact: Shad Kazerooni (770) 384-2280 • Shea Construction, CA Contact: Russel Foster (909) 444-0695 • City of Fort Riley, KS Contact: Jeffrey Fuller (785) 239-8615 • City of Pittsburg, KS Contact: Jacob Cochran (620) 235-3069 • Bexar County Public Works, TX Contact: Erin Lowe (210) 335-6663 Page 10 TRAINING EXAMPLE Below are the course description and outlines for two training programs. Click here to view the City of Bozeman, MT Learning Management System with a sample SWPPP Preparer and Administrator Training Program for this RFQ. URL: stormwaterone.training/?KeyName=BozemanMT Click here to view training samples for this RFQ URL: stormwatercertification.com NONDISCRIMINATION AFFIRMATION FORM CP 241 ONLINE PROGRAM QPswppp QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana Market Type: Construction Level: 2 info@StormwaterONE.com 1-877-257-9777 1-877-25-SWPPP Enroll Now at StormwaterONE.com +Choose Montana StormwaterONE.com • 175 Capital Blvd., Suite 402 • Rocky Hill, CT 06067 | 1-877-25-SWPPP / 1-877-257-9777 | info@StormwaterONE.com © 2021 Stormwater ONE, LLC Rev. Sep. 2020 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana Price: $739.00 | Type: Online Credits: 18.5 PDHs / 1.85 CEUs | Course Length: 18.5 Hourst 241CP n Program Overview: The 18.5-hour, Qualified Preparer of Stormwater Pollution Prevention Plan (QPSWPPP) online credentialing program is comprised of six (6) courses and corresponding exams. The initial certificate of completion is valid for three (3) years from the date of issuance. This program educates individuals to prepare Construction Stormwater Pollution Prevention Plans (SWPPPs) in compliance with the Montana General Permit for Construction Dewatering. As a QPSWPPP, you will receive a dual credential as a QCIS, which qualifies you to inspect and maintain construction sites for stormwater compliance. This program covers the principles and practices of erosion and sediment control as well as the proper reporting and documentation requirements for ensuring compliance under the Montana Construction General Permit program. This program has been reviewed and recognized by the EPA and is a Level 300 United States Green Build Council approved training. n Program Objectives: Identify the components and framework of the Montana General Permit for Construction Dewatering Describe the proper installation and maintenance of stormwater Best Management Practices (BMPs). Identify the steps necessary to inspect a construction sites and determine possible causes of BMP ineffectiveness and how to correct them. Explain how to complete an inspection report and document corrective actions. Summarize the communication process necessary between owner, operators, contractors, and stormwater pollution prevention plan designer so the site stays in compliance throughout the construction project.© 2021 Stormwater ONE, LLC Rev. Sep. 2020 n Courses Included: 1.Montana Construction General Permit 2.Principles and Practices of Erosion Control 3.Principles and Practices of Sediment Control 4.Principles and Practices of Pollution Prevention 5.On-Site Construction Inspections 6.Preparation of a Construction Stormwater Pollution Prevention Plan 241CP © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 1 Montana Construction General Permit The Montana General Permit for Storm Water Discharges Associated with Construction Activity online course is designed to educate students on the permitting requirements and Best Management Practices used for managing pollutants and stormwater for construction projects within the state of Montana. The full title of this permit is the Montana DEQ General Permit for Storm Water Discharges Associated with Construction Activity – Authorization to Discharge Under the Montana Pollutant Discharge Elimination System. At the end of this course, students will have a comprehensive understanding of the regulatory mandates and requirements associated with storm water management for construction project sites authorized to discharge storm water and remain in compliance with the Department of Environmental Quality. In compliance with the Montana Code Annotated, Administrative Rules of Montana, owners and operators (permittees) with authorization under this General Permit are permitted to discharge storm water resulting from construction activities as described in this permit and subject to: · Effluent limitations, · Monitoring requirements, and · Other conditions detailed in this permit. 1.0 - Introduction to NPDES History 1.1 - The Water Pollution Control Act 1.2 - The Clean Water Act 1.3 - Water Quality Testing 1.4 - Tiered Water System 1.5 - The National Pollutant Discharge Elimination System (NPDES) 1.6 - Phase I and Phase II Construction and the Construction General Permit 1.7 - NPDES Stormwater Program 2.0 - Definitions, Acronyms and Resources 2.1 - Definitions 2.2 - Keywords, Phrases, and Concepts 2.3 - Acronyms 2.4 - Course Resources 4 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 1 Montana Construction General Permit continued... 3.0 - Coverage Under the Montana General Permit 3.1 - Eligibility 3.2 - Construction Activities Covered 3.3 - Allowable Storm Water Discharges 3.4 - Allowable Non-Storm Water Discharges 3.5 - Limitations on Coverage 3.6 - Authorization under this Permit 3.7 - New Authorizations (Not Previously Authorized) 3.8 - Continuing Authorizations Under the 2013 General Permit 3.9 - Public Sign or Other Notice Requirement (Effective January 1, 2021) 3.10 - Modification to NOI-SWCs 3.11 - Transfer of Coverage 3.12 - Termination of Coverage 3.13 - Storm Water Rainfall Erosivity Waiver Form 4.0 - Effluent Limitations and Water Quality Standards 4.1 - Technology-Based Effluent Limitations 4.2 - Erosion and Sediment Controls 4.3 - Soil Stabilization 4.4 - Dewatering 4.5 - Pollution Prevention Measures 4.6 - Surface Outlets 4.7 - Prohibited Discharges 4.8 - Water Quality-Based Effluent Limitations 4.9 - Water Quality Standards 4.10 - Storm Water Discharges to Impaired Waterbodies 5.0 - Inspections, Monitoring and Reporting 5.1 - Compliance Evaluation Inspections and Objectives 5.2 - Inspection Preplan 5.3 - Components of an Inspection 5.4 - Frequency of Inspections 5.5 - Weekly Routine Inspections 5.6 - Biweekly Routine and Post-Storm Event Inspections 5.7 - Reductions in Inspection Frequency 5.8 - Severe Winter Conditions Delay 5.9 - Inspection Requirements 5.10 - BMP Maintenance, Replacement, and Failures 5.11 - Corrective Actions 5.12 - Recordkeeping 5.13 - Reporting 5 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 1 Montana Construction General Permit continued... 6.0 - The Storm Water Pollution Prevention Plan (SWPPP) 6.1 - SWPPP-General Requirements 6.2 - SWPPP Preparer and Administrator 6.3 - Site Description 6.4 - Identification of Potential Pollutant Sources 6.5 - Selection of BMPs 6.6 - Dewatering 6.7 - Major Construction Activity and BMP Phasing 6.8 - Final Stabilization 6.9 - Post-Construction Storm Water Management 6.10 - Site Map 6.11 - Inspection and BMP Maintenance Procedures 6.12 - SWPPP Revisions and Updates 7.0 - Standard Conditions 7.1 - Duty to Comply 7.2 - Penalties for Violations of Permit Conditions 7.3 - Duty to Reapply 7.4 - Need to Halt or Reduce Activity not a Defense 7.5 - Duty to Mitigate 7.6 - Proper Operation and Maintenance 7.7 - Permit Actions 7.8 - Property Rights 7.9 - Duty to Provide Information 7.10 - Inspection and Entry 7.11 - Bypass 7.12 - Upset Conditions 7.13 - Fees 7.14 - Removed Substances 7.15 - Oil and Hazardous Substance Liability 7.16 - Severability 7.17 - Reopener Provisions 7.18 - Toxic Pollutants 8.0 - Monitoring and Records 8.1 - Availability of Reports 8.2 - Monitoring and Monitoring Reporting Requirements 8.3 - Monitoring and Records- Representative Sampling 8.4 - Monitoring and Records- Retention of Records 8.5 - Monitoring and Records- Records Content 8.6 - Monitoring and Records- Test Procedures 8.7 - Monitoring and Records-Penalties for Falsification of Reports and Tampering 6 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 1 Montana Construction General Permit continued... 9.0 - Signatory and Reporting Requirements 9.1 - Signatory Requirements 9.2 - Reporting Requirements - Planned Changes 9.3 - Reporting Requirements- Anticipated Noncompliance 9.4 - Reporting Requirements- Transfers 9.5 - Reporting Requirements- Compliance Schedules 9.6 - Reporting Requirements- 24-Hour Reporting 9.7 - Reporting Requirements- Other Noncompliance 9.8 - Reporting Requirements- Other Information 7 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 2 Principles and Practices of Erosion Control Throughout Montana and the world, erosion is one of the leading contributors to water impairment. Erosion is the process by which soil particles are dislodged by water or wind. This course covers erosion and how it occurs; impacts of erosion on the environment and the economy; the factors that affect erosion; information on vegetation establishment; topsoil and fertilizers; mulch and compost; rolled erosion control devices; and surface roughening. Are you a Montana-based construction professional seeking further Stormwater qualifications for your resume and professional expertise? At StormwaterONE, our Montana-based erosion control experts have designed this course and made it available as part of our 18.5 hour CP241: QPSWPPP - Qualified Preparer of Stormwater Pollution Prevention Plans - Montana 1.0 - What is Erosion? 1.1 - Accelerated Erosion 1.2 - Environmental and Economic Impacts 1.3 - Water Erosion 1.4 - Wind Erosion 1.5 - Factors of Erosion 2.0 - Erosion Control 2.1 - Erosion Controls Overview 2.2 - Vegetation 2.3 - Cool vs. Warm Season 2.4 - Nurse Crop 3.0 - Soil Preparation 3.1 - Organic Matter 3.2 - Fertilizer 4.0 - BMPs for Erosion Control 4.1 - What is a BMP? 4.2 - Erosion Control Devices 4.3 - Perimeter Controls 4.4 - Details of BMP Controls 5.0 - Stabilization 5.1 - Site Stabilization 5.2 - Perimeter Buffers 5.3 - Stockpiles 6.0 - Mulch and Compost 6.1 - Types of Mulch 6.2 - Compost 6.3 - Hay Implementation 6.4 - Poor Design 6.5 - Hydromulch 8 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 2 Principles and Practices of Erosion Control continued... 7.0 - Rolled Erosion Control Products 7.1 - Rolled Erosion Control Products 7.2 - Netting 7.3 - Blankets 7.4 - Installation 7.5 - Turf Reinforcement Mats (TRMs) 8.0 - Surface Roughening 8.1 - Tracking 8.2 - Bucket Teeth 9 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 3 Principles and Practices of Sediment Control Sediment controls are devices or products which slow or pond the overland flow to dissipate water energy so that sediment will fall or settle out. This course is specifically designed for Montana stormwater management, and covers proper installation and placement of silt fence; check dams; wattles; inlet protection; pond types; outlet structures; flocculants; dewatering; and turbidity barriers as they relate to Montana Department of Environmental Quality - Water Quality Division regulations. 1.0 - Sediment Control 1.1 - Sediment Control Definition 1.2 - Examples of Sediment Control (BMPs) 2.0 - Silt Fence 2.1 - Installation Methods 2.2 - Alternative Perimeter Controls 3.0 - Wattles 3.1 - Types of Wattles 3.2 - Biodegradable Wattles 3.3 - Fiber Filtration Tubes 3.4 - Reusable Wattles 4.0 - Check Dams 4.1 - Proper Installation and Spacing 4.2 - Types of Check Dams 5.0 - Level Spreaders 5.1 - Level Spreaders 5.2 - T-Pipe Spreader 5.3 - Swale Level Spreader 6.0 - Slope Drains 6.1 - What is a Slope Drain? 6.2 - Proper Installation 7.0 - Inlet Protection Devices 7.1 - Inlet Protection Overview 7.2 - Inlet Protection Design 7.3 - Silt Fence as Inlet Protection 7.4 - Manufactured Inlet Protection 8.0 - Polyacrylamides (PAMs) 8.1 - Polyacrylamides (PAMs) Explained 8.2 - Flocculent Polymers 8.3 - Long Chain Polymers 8.4 - Chitosan 10 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 3 Principles and Practices of Sediment Control continued... 9.0 - Sediment Ponds 9.1 - Types of Sediment Ponds 9.2 - Pond Dewatering 9.3 - Outlets 9.4 - Short Circuiting 9.5 - Turbidity Curtains 11 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 4 Principles and Practices of Pollution Prevention Montana stormwater regulations mandate that construction projects impliment effective waste management practices. This course covers good housekeeping practices, as mandated by the State of Montana, the proper installation and maintenance requirements of best management practices (BMPs), management of solid waste, sanitary waste, and hazardous waste; concrete washout; dust control; and construction exits. 1.0 - Good Housekeeping 1.1 - Solid Waste 1.2 - Sanitary Waste 1.3 - Hazardous Waste 2.0 - Material Storage 2.1 - Material Storage and Delivery 2.2 - Fuel Storage and Secondary Containment 2.3 - Vehicle Maintenance 3.0 - Concrete Washout 3.1 - Concrete Washout Areas 3.2 - Concrete Washout Systems 3.3 - Batch Plants 4.0 - Spill Reporting 4.1 - Spill Reporting and Clean Up 4.2 - Spill Kits and Spill Centers 4.3 - Accidental Spills 5.0 - Phasing BMPs and Sequencing of Construction 5.1 - Phasing BMPs 5.2 - Sequencing of Construction 5.3 - Stockpile Carryover 6.0 - Dust Control 6.1 - Different Methods of Controlling Dust 6.2 - Water Trucks 6.3 - Polymer Emulsions 6.4 - Soil Tackifiers 7.0 - Track-Out 7.1 - Track-Out and all of its Components 7.2 - Design Variables 7.3 - Maintenance 7.4 - Wheel Washing and Hybrid Designs 12 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 5 On-Site Construction Inspections This course covers inspection rules and protocol; reviewing the SWPPP for compliance; forms in the SWPPP; updating the SWPPP; site inspections of best management practices (BMPs): proper installation and maintenance of devices; and documentation of inspections. For construction professionals in Montana seeking to reduce and prevent pollution from stormwater, this course is for you as part of our CP241: QPSWPPP - Qualified Preparer of Stormwater Pollution Prevention Plans - Montana program. 1.0 - Inspection Rules and Protocol 1.1 - Who Is the Inspector? 1.2 - Proper and Safe Protocol 1.3 - Construction Site Areas of Concern 1.4 - Recommended Inspection Sequence 1.5 - Common Compliance Problems During Construction 2.0 - SWPPP Overview 2.1 - The Stormwater Pollution Prevention Plan (SWPPP) 2.2 - SWPPP Components 3.0 - Paperwork Inspection 3.1 - Paperwork Overview 3.2 - Contractor Certificate Statement 3.3 - Inspection Form Guidelines 3.4 - Hazardous Material (Spill Kit and Spill Center) 3.5 - Forms and Documentation: Initial Review 3.6 - Public Posting Sign 3.7 - Inspection Reports 4.0 - Updating the SWPPP 4.1 - Record of Soil Disturbances 4.2 - Site Map 5.0 - Site Planning and Erosion Control Inspections 5.1 - Limit of Work and Site Access Control 5.2 - Protecting Post-Construction BMPs 5.3 - Tree Protection 5.4 - Stockpile and Staging Area Management 5.5 - Hydro-Mulch 5.6 - Rolled Erosion Control Products (RECPs) 5.7 - Turf Reinforcement Mats (TRMs) 5.8 - Outlet Protection 5.9 - Check Dams 5.10 - Topsoiling and Soil Stabilization 13 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 5 On-Site Construction Inspections continued... 6.0 - Runoff, Sediment and Perimeter Control Inspections 6.1 - Inlet Protection 6.2 - Silt Fence 6.3 - Straw Wattles, Compost Filter Socks and Fiber Rolls 7.0 - Good Housekeeping and Pollution Prevention Inspections 7.1 - Trash, Dumpsters, and Port-a-Potty 7.2 - Concrete Washout Areas 7.3 - Hazardous Waste and Secondary Containment 7.4 - Entrance/Exits and Track-Out 7.5 - Wheel Washing Systems 8.0 - Notice of Termination (NOT) 8.1 - Final Stabilization 8.2 - Notice of Termination (NOT) 8.3 - Filing the NOT and Acceptable Grasses for Vegetation 8.4 - Inspections 14 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 CP241 QPswppp - Qualified Preparer of Storm Water Pollution Prevention Plans – Montana 6 Preparation of a Construction Stormwater Pollution Prevention Plan This course covers the proper life cycle of a construction Stormwater Pollution Prevention Plan (SWPPP); gathering the information needed; how to prepare the Construction General Permit application notice of intent (NOI); documents and forms; site maps and details; and proper design procedures. 1.0 - What Is a Stormwater Pollution Prevention Plan SWPPP 1.1 - Construction SWPPP 1.2 - Life of The SWPPP 2.0 - Gathering Information 2.1 - Asking Questions 2.2 - Where To Get Information 2.3 - Review the Regulations and Construction General Permit (CGP) 3.0 - Components of the SWPPP 3.1 - Contents 3.2 - Certifications 3.3 - Standard Permit Conditions 4.0 - BMP Design 4.1 - BMP Framework 4.2 - Do’s and Don’ts of BMP Design 4.3 - BMP Details 5.0 - SWPPP Site Map 5.1 - Required Information 5.2 - SWPPP Site Map Location 6.0 - Inspections, Corrective Actions and Monitoring 6.1 - Inspection 6.2 - Corrective Action and Monitoring Documentation 7.0 - Recordkeeping and Training 7.1 - Recordkeeping 7.2 - Training Requirements 7.3 - Documenting Changes to the SWPPP 8.0 - Required SWPPP Modifications 8.1 - Modification Mandates 8.2 - Logging Modifications 8.3 - Modification Deadlines 8.4 - Multiple Operator Notification 15 © 2021 Stormwater ONE, LLC Rev. Sep. 2020 241CP StormwaterONE.comFill & Fax Enrollment Please fill out and fax completed form to (203) 440-9664 * First * Last * Address * City * State * Zip * Phone Cell * Email Company Title For multiple enrollments, please call (877) 257-9777. Contact me for payment Bill my credit card (Check one) Card Type: Visa MC American Express Discover Other Card Number CSV Number Expiration Date / Signature Billing Address (same as above) Address City State Zip Phone/Online Enrollment Phone: (877) 257-9777 | Support@StormwaterONE.com TRAIN TODAY FOR A SMARTER TOMORROW Enrollment Made Easy! Dial (877) 257-9777 to talk to our Student Support Specialist. Monday - Friday 9:00am - 11:00pm EST | Saturday 9:00am - 8:00pm EST Email us at Support@StormwaterONE.com for enrollment assistance. Powered by TCPDF (www.tcpdf.org)© 2021 Stormwater ONE, LLC Rev. Sep. 2020 MS 299 ONLINE PROGRAM MS4 Bundle MS299: MS4 Bundle - Six Minimum Control Measures Market Type: Construction, Green Infrastructure/LID, Municipal Level: 2 info@StormwaterONE.com 1-877-257-9777 1-877-25-SWPPP Enroll Now at StormwaterONE.com +Choose Montana StormwaterONE.com • 175 Capital Blvd., Suite 402 • Rocky Hill, CT 06067 | 1-877-25-SWPPP / 1-877-257-9777 | info@StormwaterONE.com © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299: MS4 Bundle - Six Minimum Control Measures Price: $499.00 | Type: Online Credits: 14.0 PDHs / 1.4 CEUs | Course Length: 14 Hourst 299MS n Program Overview: This is a bundle of StormwaterONE online courses regarding the Six Minimum Control Measures (MCMs) for Phase II Small Municipal Separate Storm Sewer System (MS4) operators. Operators of regulated small MS4s are required to design their programs to: reduce the discharge of pollutants to the “maximum extent practicable” (MEP), protect water quality, and satisfy the appropriate water quality requirements of the Clean Water Act. The implementation of these six elements and associated Best Management Practices (BMPs) are expected to result in significant reduction of pollutants discharged into receiving waterbodies. Curriculum Includes: 1) Public Education and Outreach Distributing educational materials and performing outreach to inform citizens about the impacts polluted stormwater runoff discharges can have on water quality. 2) Public Participation/Involvement Providing opportunities for citizens to participate in program development and implementation, including effectively publicizing public hearings and/or encouraging citizen representatives on a stormwater management panel. 3) Illicit Discharge Detection and Elimination Developing and implementing a plan to detect and eliminate illicit discharges to the storm sewer system (includes developing a system map and informing the community about hazards associated with illegal discharges and improper disposal of waste). 4) Construction Site Runoff Control Developing, implementing, and enforcing an erosion and sediment control program for construction activities that disturb 1 or more acres of land (controls could include silt fences and temporary stormwater detention ponds). 5) Post-Construction Runoff Control Developing, implementing, and enforcing a program to address discharges of post-construction stormwater runoff from new development and redevelopment areas. Applicable controls could include preventative actions such as protecting sensitive areas (e.g., wetlands) or the use of structural BMPs such as grassed swales or porous pavement. 6) Pollution Prevention/Good Housekeeping Developing and implementing a program with the goal of preventing or reducing pollutant runoff from municipal operations. The program must include municipal staff training on pollution prevention measures and techniques (e.g., regular street sweeping, reduction in the use of pesticides or street salt, or frequent catch- basin cleaning).© 2021 Stormwater ONE, LLC Rev. Sep. 2019 n Courses Included: 1.Public Education, Outreach and Involvement 2.Illicit Discharge Detection and Elimination (IDDE) 3.Construction Site Runoff Control 4.Post-Construction Stormwater Maintenance 5.Pollution Prevention and Good Housekeeping 299MS © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 1 Public Education, Outreach and Involvement The first and second of six (6) Minimum Control Measures (MCM) in the MS4 Phase II of the NPDES permit are highlighted as follows: 1.Public Education and Outreach 2.Public Participation and Involvement 3.Illicit Discharge Detection and Elimination (IDDE) 4.Construction Site Runoff Control 5.Post-Construction Runoff Control 6.Pollution Prevention and Good Housekeeping 1.0 - Introduction to NPDES 1.1 - Water Pollution Control Act and The Clean Water Act 1.2 - Nationwide Urban Runoff Program (NURP) 1.3 - Water Quality Testing 1.4 - Tiered Water System 1.5 - NPDES Stormwater Program 2.0 - Definitions, Acronyms and Resources 3.0 - Introduction to MS4s 3.1 - What is an MS4? 3.2 - NPDES Phase I MS4s and Construction Activity 3.3 - What is a Small, Medium or Large MS4? 3.4 - NPDES Phase II Minimum Control Measures (MCMs) 3.5 - NPDES Phase II MS4 and the Construction Permit 3.6 - MS4 Program Tool Box 4.0 - MS4 Phase II Overview 4.1 - Why Is the Phase II Stormwater Program Necessary? 4.2 - MS4 Phase II Final Rule 4.3 - What Is an Urbanized Area? 4.4 - Stormwater Discharges from MS4s in Urbanized Areas 4.5 - Stormwater Discharges and Pollution 4.6 - Who Is Covered by the Phase II Final Rule? 4.7 - The Phase II Program Approach 4.8 - Phase II Final Rule Requirements 4.9 - Small MS4s and Small Construction Activity 4.10 - What is a SWMP? 4.11 - Small MS4 Requirements 4 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 1 Public Education, Outreach and Involvement continued... 5.0 - Public Education and Outreach (MCM #1) 5.1 - Intro to Public Education and Outreach (MCM #1) 5.2 - Why is Public Education and Outreach Necessary? 5.3 - Public Education and Outreach Requirements 5.4 - MS4s Requirement to Educate Their Community 5.5 - Guidelines for Developing and Implementing This Measure 5.6 - Forming Partnerships 5.7 - Using Educational Materials and Strategies 5.8 - Reaching Diverse Audiences and Communities 5.9 - Public Education and Outreach and Your SWMP 5.10 - Public Education and Outreach BMPs 5.11 - What are Appropriate Measurable Goals? 5.12 - Measurable Goal Requirements and Guidance 5.13 - Measurable Goal Examples 6.0 - Public Participation and Involvement (MCM #2) 6.1 - Intro to Public Participation and Involvement (MCM #2) 6.2 - Why is Public Participation and Involvement Necessary? 6.3 - Public Participation and Involvement Requirements 6.4 - Development and Implementation Guidelines 6.5 - Implementation Challenges 6.6 - Public Participation and Involvement and Your SWMP 6.7 - Public Participation and Involvement BMPs 6.8 - What Are Appropriate Measurable Goals? 6.9 - Developing Measurable Goals 6.10 - Measurable Goal Examples 7.0 - Recordkeeping and Annual Reports 7.1 - MS4 Recordkeeping, Training and Workshops 7.2 - MS4 Annual Reporting 8.0 - Additional Resources 8.1 - EPA NPDES and Stormwater Websites 8.2 - EPA Stormwater Phase II Factsheets for Public Education and Outreach and Public Participation and Involvement 8.3 - MS4 Permit Improvement Guide (EPA) 8.4 - California Stormwater BMP Handbook (CASQA) 8.5 - EPA Measurable Goals Guidance for Phase II Small MS4s 8.6 - EPA Guide for Conducting Watershed Outreach Campaigns 5 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 2 Illicit Discharge Detection and Elimination (IDDE) Illicit Discharge Detection and Elimination (IDDE) is the third Minimum Control Measure (MCM) in the MS4 Phase II of the NPDES permit as follows: 1. Public Education 2. Public Involvement 3. Illicit Discharge Detection and Elimination (IDDE) 4. Construction 5. Post-Construction Runoff Control 6. Pollution Prevention/Good Housekeeping 1.0 - Introduction to IDDE 1.1 - Introduction to NPDES 1.2 - Definition of Illicit Discharge 1.3 - NPDES Phase I and II Control Measures 1.4 - IDDE Program and Implementation 1.5 - MS4 Program Tool Box 2.0 - Definitions, Acronyms and Resources 3.0 - MS4 Audits and EPA Survey 3.1 - MS4 Audits and Survey Results 3.2 - Design of Program Survey 3.3 - EPA National Survey and Respondents 3.4 - EPA Respondent Characterization 3.5 - Annual Program Staffing 3.6 - The Value of Trained Field Staff 3.7 - Annual Program Costs 3.8 - IDDE Education Target Audiences 3.9 - Primary Conclusions 4.0 - EPA National Enforcement for Phase I MS4s 4.1 - 2014 EPA Phase I National Enforcement Goals 4.2 - EPA Phase I Evaluation Protocol 4.3 - EPA Phase I Goals and Objectives by Performing Audits 4.4 - EPA Phase I Elements Reviewed with MS4 Operators 4.5 - 2014 EPA Phase I Inspection Findings 4.6 - 2014 EPA Phase I Weaknesses - Construction 4.7 - 2014 EPA Phase I Weaknesses - Industrial 4.8 - 2014 EPA Phase I Weaknesses - Illicit Discharges 4.9 - 2014 EPA Phase I Weaknesses - Monitoring 6 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 2 Illicit Discharge Detection and Elimination (IDDE) continued... 5.0 - IDDE Regulations and Implementation 5.1 - Implement an IDDE Program 5.2 - Establishing IDDE Procedures 5.3 - Reactive and Proactive IDDE Program 5.4 - MS4 Phase II Permit Program Requirements 5.5 - Procedures for Phase II MS4 Operators 5.6 - Permit Coverage for High Risk Facilities 6.0 - Identifying Types of Illicit Discharges 6.1 - Deliberate Dumping 6.2 - Residential and Commercial Deliberate Dumping 6.3 - Toxic and Hazardous Chemicals 6.4 - Ignorant Dumping and Public Education 6.5 - Runoff from Contaminated Sites 6.6 - Pollution From Other Sources 6.7 - Common Urban Area Sources of Illicit Discharges 7.0 - Identifying Sources of Discharges 7.1 - Sources of Inappropriate Discharges 7.2 - Finding the Source of the Discharge 7.3 - Top Problems in Identifying Illicit Discharge Sources 7.4 - Problems in Identifying Inappropriate Discharge Sources 7.5 - IDDE Program Legal Authority 7.6 - EPA Survey – Potential IDDE Sources Mapped 7.7 - Methods to Gain Compliance / Legal Authority Approaches 7.8 - Stormwater Hot Spots 7.9 - MS4 Investigative Methods and Procedures 8.0 - Detecting Illicit Discharges and Conducting Inspections 8.1 - Center for Watershed Protection – Dry Weather Flows and Discharges 8.2 - Conducting Inspections 8.3 - Detecting an Illicit Discharge 8.4 - Witnessing an Illicit Discharge 8.5 - Indicators of Illicit Discharges 8.6 - Illicit Discharge - Visual Observations Chart 8.7 - Sampling 9.0 - Detecting Non-Stormwater Discharges 9.1 - Non-Stormwater Outfall Discharges 9.2 - Non-Stormwater Discharge Examples 7 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 2 Illicit Discharge Detection and Elimination (IDDE) continued... 10.0 - Conducting Outfall Monitoring 10.1 - Outfall Definition and Monitoring 10.2 - Screen All Outfalls 10.3 - Program Mapping Considerations 10.4 - Common Approaches to Outfall Screening 10.5 - Typical Physical and Non-Visual Indicators 10.6 - Typical Chemical Indicators 11.0 - IDDE Documentation 11.1 - Inspection Documentation 11.2 - Reporting Illegal Dumping or Disposal 11.3 - Investigating a Potential Illicit Discharge 11.4 - Standard Reporting Form 11.5 - Witnessing Environmental Crimes 12.0 - Effective IDDE Programs and Additional Resources 12.1 - Top 15 Tips for Effective IDDE Programs 12.2 - IDDE Guidance Manual 12.3 - Center for Watershed Protection (CWP) Resources 12.4 - Training Resource – MS4 Permit Improvement Guide 8 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 3 Construction Site Runoff Control The fourth Minimum Control Measure (MCM) in the MS4 Phase II of the NPDES permit is highlighted below: 1. Public Education and Outreach 2. Public Participation and Involvement 3. Illicit Discharge Detection and Elimination (IDDE) 4. Construction Site Runoff Control 5. Post-Construction Runoff Control 6. Pollution Prevention and Good Housekeeping It is highly encouraged to develop this Minimum Control Measure along with the Post-Construction Site Runoff Control Minimum Control Measure. 1.0 - Intro to Construction Site Runoff Control 1.1 - NPDES Phase I and II Control Measures - Construction Site Runoff Control 1.2 - What is a SWMP? 1.3 - Construction Site Runoff Control Fact Sheet 1.4 - Why is the Control of Construction Site Runoff Necessary? 1.5 - Phase II Final Rule Requirements 1.6 - Construction Site Plan Review 1.7 - Inspections and Penalties 1.8 - Information Submitted by the Public 1.9 - Construction Sites Covered Under the NPDES 1.10 - Small MS4 Requirements 1.11 - BMP Examples 1.12 - What Are Appropriate Measurable Goals? 1.13 - Measurable Goal Requirement and Guidance 2.0 - Definitions, Acronyms, and Course Resources 2.1 - Definitions, Acronyms, Course Resources 2.2 - Keywords, Phrases and Concepts 9 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 3 Construction Site Runoff Control continued... 3.0 - Silt Fence 3.1 - Introduction to Silt Fence 3.2 - Silt Fence Installation Methods 3.3 - Installation Method: Burying Silt Fence 3.4 - Silt Fence Staking Frequency 3.5 - Trenching 3.6 - Slicing Method Installation 3.7 - Belted Silt Retention Fence 3.8 - Barriers and Perimeter Control BMP Detail 3.9 - J-Hooking 3.10 - Improper Silt Fence Installation 3.11 - Maintenance 3.12 - Alternative Perimeter Controls 3.13 - Triangular Silt Dike 3.14 - Silt Fence Inspections 4.0 - Slope Drains 4.1 - What is a Slope Drain? 4.2 - How to Properly Install a Slope Drain 5.0 - More Erosion Control BMPs 5.1 - Hydro-Mulch 5.2 - Rip Rap and Energy Dissipators 5.3 - Vegetative Stabilization 6.0 - Check Dams 6.1 - Proper Installation and Spacing 6.2 - Types of Check Dams 6.3 - Installation of Ditch Checks/Check Dams Video 6.4 - Triangular Silt Dike 6.5 - GeoRidge 6.6 - GeoHay as a Check Dam 6.7 - Incorporating Erosion Control Blankets and Tur Reinforcement Mats (TRMs) 6.8 - Inspections 10 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 3 Construction Site Runoff Control continued... 7.0 - Inlet Protection 7.1 - Introduction to Inlet Protection 7.2 - Inlet Protection Overview 7.3 - Types of Inlet Protection Devices 7.4 - Inlet Protection BMP Details 7.5 - Inlet Protection Design 7.6 - Silt Fence as Inlet Protection 7.7 - Inlet Protection Devices 7.8 - Drop Inlet Filters and Maintenance 7.9 - GeoHay Usage and Inspection Procedures 7.10 - Grate Gator, Gutter Gator, and Gutterbuddy 7.11 - Compost Socks/Wattles 7.12 - SiltSaver and Eco-Blok 8.0 - Dust Control 8.1 - Different Methods For Controlling Dust 8.2 - Water Trucks 8.3 - Polymer Emulsions 8.4 - Soil Tackifiers 9.0 - Track-Out 9.1 - What is Track-Out? 9.2 - Gravel Entrance/Exit BMP Detail 9.3 - Types of Graded Rock and Gravel 9.4 - Stabilize Construction Entrances 9.5 - Gravel Entrance/Exit Inspections 9.6 - Construction Exit Maintenance and BMPs 9.7 - Regular Maintenance 9.8 - Wheel Washing 9.9 - Mud Mats 10.0 - Street Sweeping 10.1 - Types of Sweepers 10.2 - Mechanical Street Sweepers 10.3 - Air Sweepers 10.4 - Vacuum Sweepers 10.5 - Regenerative Air Sweepers 10.6 - Waterless Dust Control Sweepers 10.7 - Street Sweeping for Catch Basin Cleaning 10.8 - Cold/Northern Climate Municipalities and Street Sweeping 11.0 - More Good Housekeeping BMPs 11.1 - Trash/Waste, Dumpsters and Port-a-Potty 11.2 - Hazardous Waste and Secondary Containment 11.3 - Fuel Storage 11 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 3 Construction Site Runoff Control continued... 12.0 - Spill Reporting 12.1 - Spill Reporting and Clean Up 12.2 - Spill Kits and Spill Centers 12.3 - Accidental Spills 13.0 - Developing Measurable Goals 13.1 - What Are Measurable Goals? 13.2 - Measurable Goals and the SWMP 13.3 - Measurable Goal Requirements 13.4.0 - Measurable Goal Examples including the following: 13.4.1 - BMP Inspection and Maintenance 13.4.2 - Construction Reviewer 13.4.3 - Silt Fence 13.4.4 - Soil Retention 13.4.5 - Check Dams 13.4.6 - Riprap 13.4.7 - Filter Berms 13.4.8 - Land Grading 13.4.9 - Gradient Terraces 13.4.10 - Waste Management 13.4.11 - Dust Control 13.4.12 - Vehicle Washing Areas 13.4.13 - Permanent Seeding 13.4.14 - Preserving Natural Vegetation 13.4.15 - Sediment Basins and Rock Dams 13.4.16 - Geotextiles 13.4.17 - Mulching 13.4.18 - Chemical Stabilization 13.4.19 - Spill Prevention and Control Plan 13.4.20 - Storm Drain Inlet Protection 13.4.21 - Slope Drains 13.4.22 - Sediment Filters and Chambers 13.4.23 - Sediment Traps 13.4.24 - Contractor Certification and Inspector Training 13.4.25 - Model Ordinances 13.4.26 - Construction Sequencing 14.0 - Recordkeeping and Annual Reports 14.1 - MS4 Annual Reporting 12 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 3 Construction Site Runoff Control continued... 15.0 - Additional Resources 15.1 - EPA NPDES - Stormwater Websites 15.2 - EPA Stormwater Phase II Factsheet 15.3 - EPA MS4 Permit Improvement Guide 15.4 - EPA Measurable Goal Guidance for Phase II Small MS4s 15.5 - Construction Inspection Compliance Assistance 13 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 4 Post-Construction Stormwater Maintenance This course defines where Post-Construction Runoff Control is one of the six (6) Minimum Control Measures (MCMs) that the operator of a Phase II regulated small MS4 is required to include in its stormwater management program to meet the conditions of the NPDES permit. The Post Construction Runoff Control is the fifth Minimum Control Measure as shown here: 1. Public Education 2. Public Involvement 3. Illicit Discharge Detection and Elimination 4. Construction 5. Post-Construction Runoff Control 6. Pollution Prevention/Good Housekeeping 1.0 - Intro to Post-Construction Maintenance 1.1 - NPDES Phase I and II Control Measures - Post Construction Runoff Control 1.2 - Reasons for Conducting Maintenance 1.3 - Regulations and Who is Watching? 1.4 - Phase II Final Rule Requirements 1.5 - Small Construction Activity and Redevelopment 1.6 - What is a SWMP? 1.7 - Small MS4 Requirements 1.8 - Types of BMP Systems and Examples 1.9 - Low Impact Development (LID) 1.10 - Definitions of Structural BMPs, Manufactured BMPs, and Above and Below Ground Systems 1.11 - What Are Appropriate Measurable Goals? 1.12 - Measurable Goal Requirement and Guidance 2.0 - Definitions, Acronyms, and Course Resources 2.1 - Definitions, Acronyms, Course Resources 2.2 - Keywords, Phrases and Concepts 2.3 - Impaired Receiving Waters 3.0 - Bioretention Facilities/Rain Gardens 3.1 - Definition 3.2 - Maintenance Tasks 3.3 - Maintenance Issues and Causes 4.0 - Vegetated “Green” Roofs 4.1 - Definition 4.2 - Maintenance Tasks 4.3 - Maintenance Issues and Causes 5.0 - Permeable Pavements 5.1 - Definition 5.2 - Maintenance Tasks 5.3 - Maintenance Issues and Causes 14 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 4 Post-Construction Stormwater Maintenance continued... 6.0 - Street Sweeping - A Post-Construction BMP 6.1 - Types of Sweepers 6.2 - Mechanical Street Sweepers 6.3 - Air Sweepers 6.4 - Vacuum Sweepers 6.5 - Regenerative Air Sweepers 6.6 - Waterless Dust Control Sweepers 6.7 - Street Sweeping for Catch Basin Cleaning 6.8 - Cold/Northern Climate Municipalities and Street Sweeping 7.0 - Structural and Manufactured BMPs 7.1 - Definition 7.2 - Maintenance Tasks 7.3 - Maintenance Issues and Causes 8.0 - Catch Basins 8.1 - Definition 8.2 - Maintenance Tasks 8.3 - Identification of Maintenance Issues and Causes 8.4 - Drop Inlets 8.5 - Trench Drains 9.0 - Inlets and Outlets 9.1 - Definition 9.2 - Maintenance Tasks 9.3 - Identification of Maintenance Issues and Causes 9.4 - Inlet Structures 9.5 - Curb Cut Inlets and Flumes 9.6 - Outfall Structures 10.0 - Below Ground Systems 10.1 - Under Ground Detention/Retention Definition 10.2 - Maintenance Tasks 10.3 - Identification of Maintenance Issues and Causes 11.0 - Above Ground Systems 11.1 - Definition 11.2 - Maintenance Tasks 11.3 - Identification of Maintenance Issues and Causes 15 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 4 Post-Construction Stormwater Maintenance continued... 12.0 - Retention, Detention and Sand Filters 12.1 - Dry Pond (Detention) 12.2 - Wet Pond (Retention) 12.3 - Sand Filters 12.4 - Proprietary (Underground) BMPs 12.5 - Infiltration 12.6 - Pond Structures 13.0 - Improper and Lack of Maintenance 13.1 - Improper Maintenance 13.2.0 - Examples of Lack of Maintenance including: 13.2.1 - Massive Erosion 13.2.2 - Overgrown Vegetation 13.2.3 - Outlet to System Rehab 13.2.4 - Rehab Declined 13.2.5 - No Maintenance - City Notice of Violation 13.2.6 - Unmanaged Vegetation 14.0 - Developing Measurable Goals 14.1 - What Are Measurable Goals? 14.2 - Measurable Goals and the SWMP 14.3 - Measurable Goal Requirements 14.4.0 - Measurable Goal Examples Including: 14.4.1 - Alternative Pavers 14.4.2 - Bioretention 14.4.3 - Catch Basin 14.4.4 - Buffer Zones 14.4.5 - Conservation Easements 14.4.6 - Extended Detention Ponds 14.4.7 - Grassed Swales and/or Filter Strip 14.4.8 - Open Spaced Design 14.4.9 - Green Parking and Porous Pavement 15.0 - Recordkeeping and Annual Reports 15.1 - MS4 Recordkeeping, Training and Workshops 15.2 - MS4 Annual Reporting 16.0 - Additional Resources 16.1 - EPA NPDES - Stormwater Websites 16.2 - EPA Stormwater Phase II Factsheet 16.3 - EPA MS4 Permit Improvement Guide 16.4 - EPA Measurable Goal Guidance for Phase II Small MS4s 16 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 5 Pollution Prevention and Good Housekeeping The sixth Minimum Control Measure (MCM) in the MS4 Phase II of the NPDES permit is highlighted below: 1.Public Education and Outreach 2.Public Participation and Involvement 3.Illicit Discharge Detection and Elimination (IDDE) 4.Construction Site Runoff Control 5.Post-Construction Runoff Control 6.Pollution Prevention and Good Housekeeping 1.0 - Introduction to NPDES 1.1 - Water Pollution Control Act 1.2 - The Clean Water Act 1.3 - Water Quality Testing 1.4 - Tiered Water System 1.5 - Total Maximum Daily Load (TMDL) 1.6 - NPDES Stormwater Program 1.7 - Phase I and Phase II MS4s 1.8 - NPDES Phase I and II Control Measures 2.0 - Definitions, Acronyms and Course Resources 3.0 - Introduction to Pollution Prevention and Good Housekeeping 3.1 - Intro to Pollution Prevention and Good Housekeeping 3.2 - What is an MS4? 3.3 - What is a Stormwater Management Program (SWMP)? 3.4 - Key Elements of the SWMP 3.5 - MS4 Program Tool Box 4.0 - Types and Sources of Pollution 4.1 - Reduction in Pollution Locations 4.2 - Pollution from Municipal Activities 4.3 - Municipal Programs that Can Cause Pollutants 4.4 - Pollution from Municipal Facilities 4.5 - Potential Pollutants 4.6 - Municipal Facilities and BMPs 5.0 - MS4 Implementation Procedures 5.1 - Requirements of an Operator 5.2 - Municipal Staff Training 5.3 - Municipal Training and BMPs 5.4 - Guidelines for Development and Implementation 5.5 - Appropriate Measurable Goals 17 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 5 Pollution Prevention and Good Housekeeping continued... 6.0 - MS4 Inventory Process 6.1 - Planning Process Key Components and Description 6.2 - Develop an Inventory for Two Groups 6.3 - Steps to Generate and Maintain the Inventories 6.4 - Determine Fixed Facilities Type and Location 6.5 - Determine Fixed Facilities: Site Map 6.6 - Identify Potential Pollutant Generating Activities 6.7 - Inventory Process: Field Program 6.8 - Determine Field Program Type and Location 6.9 - Field Program: Identify Potential Pollutant Generating Activities 6.10 - Summary of Inventory Process 7.0 - MS4 Assessment Process 7.1 - Assessment Process 7.2 - Fixed Facilities - Identify BMPs In Place 7.3 - Fixed Facilities - Identify Municipal Activities and Potential Pollution 7.4 - Fixed Facilities - Identify Additional BMPs 7.5 - Field Programs - Identify BMPs In Place 7.6 - Field Programs - Consider New BMPs 7.7 - Summary of Assessment Process 8.0 - BMP Selection and Implementation 8.1 - Identify and Select BMPs 8.2 - BMP Implementation 8.3 - Treatment Control BMP Maintenance 8.4 - Improper Maintenance 9.0 - Business Good Housekeeping 9.1 - Create a Business Education Campaign 9.2 - Industrial and Commercial Businesses 9.3 - BMP Objectives for Business Good Housekeeping 9.4 - BMP Objective: Pavement Cleaning 9.5 - BMP Objective: Litter Control 9.6 - BMP Objective: Waste Disposal 9.7 - BMP Objective: Material Storage 9.8 - BMP Objective: Equipment/Vehicle Cleaning 9.9 - Vehicle Maintenance 18 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 5 Pollution Prevention and Good Housekeeping continued... 10.0 - New Construction Good Housekeeping 10.1 - The Construction General Permit (CGP) 10.2 - Construction Site Guidelines 10.3 - SWPPP Contents – Good Housekeeping Section 10.4 - Construction Good Housekeeping Mandates 10.5 - Types of Waste - Solid, Sanitary and Hazardous Waste 10.6 - Material Storage 10.7 - Secondary Containment 10.8 - Dust Control and Minimizing Dust 10.9 - Pollution Prevention Standards 11.0 - Track-out Pollution Prevention to an MS4 11.1 - Track-out is a Violation and a Danger 11.2 - Track-out and Components 11.3 - Track-out Design Variables 11.4 - Track-out Types of Graded Rock and Gravel 11.5 - Gravel Entrance/Exit Installation and Maintenance 11.6 - Wheel Washing Systems 11.7 - Construction Exits 11.8.0 - Street Sweeping: 11.8.1 - Types of Sweepers 11.8.2 - Mechanical Street Sweepers 11.8.3 - Air Sweepers 11.8.4 - Vacuum Sweepers 11.8.5 - Regenerative Air Sweepers 11.8.6 - Waterless Dust Control Sweepers 11.8.7 - Street Sweeping for Catch Basin Cleaning 11.8.8 - Cold/Northern Climate Municipalities and Street Sweeping 12.0 - Spill Reporting on Construction Sites 12.1 - Spill Reporting and Clean up 12.2 - Spill Kits and Spill Centers 12.3 - Accidental Spills 13.0 - Recordkeeping and Annual Reports 13.1 - MS4 Recordkeeping 13.2 - MS4 Training and Workshops 13.3 - Construction Site Recordkeeping 13.4 - Notice of Intent (NOI) and Signed Certification 13.5 - MS4 Annual Reporting 19 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 MS299 MS299: MS4 Bundle - Six Minimum Control Measures 5 Pollution Prevention and Good Housekeeping continued... 14.0 - Additional Resources 14.1 - EPA NPDES and Stormwater Websites 14.2 - EPA Stormwater Phase II Factsheet 14.3 - MS4 Permit Improvement Guide 14.4 - EPA Stormwater Wet Pond and Wetland Management Guide 14.5 - Center for Watershed Protection (CWP) Manual and Website 14.6 - California Stormwater BMP Handbook (CASQA) 14.7 - Good Housekeeping Practices - Alameda County, California 14.8 - WNY Stormwater Coalition: Guidance Document of BMPs and Inspection 20 © 2021 Stormwater ONE, LLC Rev. Sep. 2019 299MS StormwaterONE.comFill & Fax Enrollment Please fill out and fax completed form to (203) 440-9664 * First * Last * Address * City * State * Zip * Phone Cell * Email Company Title For multiple enrollments, please call (877) 257-9777. 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