Illinois EPA update to DuPage County Watershed Management Section Bureau of Water

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1 Illinois EPA update to DuPage County Watershed Management Section Bureau of Water Amy Walkenbach Coordinator, Financial and Technical Assistance Program, Bureau of Water, Illinois EPA

2 2 Topics TMDL Program MS4 Stormwater Program Monitoring Watershed Approach Chloride update Nutrient Loss Reduction Strategy Urban Stormwater Workgroup

3 3 Illinois EPA TMDL Program Integrated Water Quality Report Section 305(b) & 303(d) List 305(b) assessment of Illinois waters 303(d) list of impaired Illinois waters and associated pollutants for which a TMDL shall be developed, a subset of 305(b) Assessed to meet designated uses Aquatic Life Fish Consumption Primary Contact Aesthetic Quality Public Water Supply Submitted to USEPA bi-annually (July 11, 2016)

4 4 What is a TMDL? TMDL is a calculation of the maximum amount of a pollutant that a waterbody can receive and still meet water quality standards and support designated uses. TMDL = WLA + LA + MOS [+ RC] (WLA) Wasteload allocation=point sources - NPDES including MS4 (LA) Load allocation=nonpoint sources - Non MS4 stormwater runoff - Agricultural sources (MOS) Margin of safety (RC) Optional Reserve Capacity for point sources

5 TMDL PROCESS- IL Consultants are hired (RFP process) to develop most TMDLs Third Party TMDL development can be considered TMDLs are developed in three stages Stage 1, watershed characterization Stage 2, monitoring (if needed) Stage 3, running models and assigning LA/WLA Currently, Illinois EPA only develops TMDL allocations for parameters with numeric water quality standards Public meetings are held in the watersheds during the process to inform stakeholders and solicit input on the TMDL process. 5

6 6 Implementation Plan Required by USEPA, must meet U.S. EPA Nine Minimum Elements Recommendations and suggestions for restoring water quality so that designated uses and water quality standards are attained for an impaired water body. Watershed planning committees are encouraged to participate

7 7 On-going TMDLs in DuPage Co. Segment Name Pollutant(s) Stage GB-11 DuPage R chloride, fecal coliform 3 GB-16 DuPage R fecal coliform 3 GBK-05 W. Br. DuPage R fecal coliform 3 GBK-09 W. Br. DuPage R fecal coliform 3 GBK-14 W. Br. DuPage R diss. oxygen, fecal coliform 3 GBKA Spring Brook fecal coliform, diss. oxygen 3 GBKA-01 Spring Brook fecal coliform, copper* 3 GBL-10 E. Br. DuPage R fecal coliform 3 GL-09 Salt Cr. fecal coliform 3 GL-10 Salt Cr. fecal coliform, nickel* 3 GL-19 Salt Cr. fecal coliform 3 GLA-02 Addison Cr. fecal coliform 3

8 8 For more information on Illinois TMDLs Illinois EPA TMDL web site: Abel Haile 1021 N. Grand Ave East (#15) P.O. Box Springfield, IL Phone: 217/

9 State of Illinois MS4 Stormwater Permit Program Program to reduce pollutant discharge from the MS4 communities Develop Implement Enforce

10 MS4 Permit Program Purpose: Control and authorize discharges of stormwater at local level of government. Requirement: Develop, implement and enforce a storm water management program designed to reduce the discharge of pollutants from small municipal separate storm sewer system to the maximum extent practicable to protect water quality.

11 MS4 (ILR40) Permit Issued: February 10, 2016 Effective Date: March 1, 2016 Expiration Date: February 28, 2021 Municipalities covered under this General Permit MS4 Permit are also granted automatic coverage under Permit No. ILR10 for the discharge of stormwater associated with construction projects disturbing one acre or more, Must submit NOI and SWPPP Coverage is granted after 30 days

12 Authorized Non-Storm Water Discharges Several types of non-storm water discharges are authorized under the ILR40 permit. Examples include: Water line and fire hydrant flushing Landscape irrigation water Storm sewer cleaning water Water from crawl space pumps Water from individual residential car washing Routine external building washdown with no detergents Discharges or flows from fire fighting activities

13 Notice of Intent (New Permittees & modifications to meet permit requirements) 180 days after notification in writing from the IEPA you must submit: Address Name, address, telephone of the operator(s) filing out the NOI. (include other responsible persons as needed) Name and segment identification of receiving waters. Note any that are listed as impaired on the most recent Section 303(d)List Identify any TMDLs or alternate water quality studies Pollutant(s) for which the segment(s) are impaired. (Link provided in permit for 303(d) list)

14 NOI Best Management Practices(BMPs) Provide a description of the BMPs to be implemented Provide measurable goals for each of the 6 storm water minimum control measures The month and year implementation will occur Identification of any local qualifying program or sharing of BMP implementation (40 CFR (c)

15 MS4 Storm Water Management Program (SWMP) Six components to the Storm Water Management Plan (SWMP): Public Education & Outreach Public Involvement/Participation Illicit Discharge Detection & Elimination Construction Site Runoff Controls Post-Construction Storm Water Management Pollution Prevention

16 Special Conditions -summary Provisions for violation of water quality standards Potential need for individual permit TMDL(s) provisions Watershed Study(ies) Deicing activities that contribute to a violation of State chloride water quality standards participate in a watershed group organized to implement control measures to reduce chloride concentration in receiving stream.

17 Monitoring Monitoring program can be addressed by the following scenarios (others?): Scenario 1 Evaluation of BMPs based estimated effectiveness from published research Inventory of the number and location of BMPs implemented Estimate of pollutant reduction resulting from the BMPs Scenario 2 Monitoring the effectiveness of control measures and progress towards MS4 goals For MS4 s < 25,000 visual observations are acceptable. For MS4 s 25,000 evaluations may be made using 1 or more of the 10 methods listed in the permit. Examples include: Instream monitoring Measuring pollutant concentration over time Sediment monitoring Site specific monitoring Outfall/Discharge monitoring Collaborative watershed-scale monitoring

18 Recordkeeping and Reporting Permittees must keep records for duration of permit. Must be available to public. Annual Reports: Due each June covering activities from March through March period. Report must include compliance status of MS4 permit, assessment of goals for each BMP for minimum control measures, any monitoring data, summary of new goals or BMPs for next period and any partnerships leveraged to meet goals

19 Contact Information: Cathy Demeroukas Melissa Parrott

20 20 Chlorides Agency drafting legislation Gives IPCB authority to give a variance to more than one entity (watershed variance) MWRD received the first variance allowed by IPCB Lower DesPlaines watershed is seeking/considering seeking a variance Illinois EPA has had some preliminary conversation with Upper DesPlaines

21 21 Chloride contact: Scott Twait, Water Quality Standards 217/

22 22 Nutrient Loss Reduction Strategy The Illinois Nutrient Loss Reduction Strategy (Illinois NLRS or the strategy) is a framework for using science, technology, and industry experience to assess and reduce nutrient loss to Illinois waters and the Gulf of Mexico. The strategy will direct efforts to reduce nutrients from point and non-point sources in a coordinated, primarily voluntary, and cost-effective manner.

23 23 Nutrient Loss Reduction Strategy- Science Assessment Nutrient loading to the Mississippi River by source and nutrient

24 24 Nutrient Loss Reduction Strategy Policy Workgroup Nutrient Monitoring Council Ag Water Quality Partnership Forum Technical Subgroup Urban Stormwater Working Group Performance Benchmark Committee Point Source Nonpoint Source Nutrient Science Advisory Committee

25 25 Urban Stormwater Working Group- charge: Explore funding, identify legislative initiatives, and develop plans. Coordinate outreach. Orchestrate statewide efforts related to green infrastructure expansion, MS4 program training, and urban stream, lake, and stormwater monitoring.

26 26 Amy Walkenbach Illinois EPA Coordinator, Financial and Technical Assistance Programs 217/

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