HomeMy Public PortalAboutCity of Cool Valley
Rev. 2/18/05
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CITY OF COOL VALLEY
CCOOOOLL VVAALLLLEEYY
SSTT.. LLOOUUIISS CCOOUUNNTTYY,, MMIISSSSOOUURRII
February 2007
Adopted [August 27, 2008]
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Note From The Authors
This document is a Model Operation and Maintenance Program developed to meet the
requirements in the St. Louis Metropolitan Small MS4 Storm Water Permit, Section 4.2.6. All
co-permittees are required to implement an Operation and Maintenance Program to co mply
with their permit. The St. Louis County Phase II Storm Water Management Plan calls for co -
permittees to adopt the program by the end of permit year three, March 9, 2006, and fully
implement it by the end of permit year four, March 9, 2007. Under the permit, MSD, as
coordinating authority, must annually report the status of each co-permittees’ compliance with
the milestones in the Plan.
A model program was developed to assist co-permittees in complying with the permit Section
4.2.6, and to help foster uniform approaches to implementing the Operation and Maintenance
(O&M) Program. Each co-permittee must include in their program the applicable elements
from the model program, based on the extent of their infrastructure, municipal facilities and
services. In drafting the model program, the authors made an effort to be as comprehensive
as possible in addressing municipal operations by including generic example text for a variety
of municipal operations. However, a co-permittee may add measures as it deems appropriate
to meet its specific needs. Co-permittees are expected to edit the text in this model program to
specifically apply it to their organization by including details, commitments, and policies
specific to their organization. To assist in this editing process, this document contains
instructions to the co-permittee editors in A SMALL CAPITAL, ITALICIZED FONT LIKE THIS. THESE
INSTRUCTIONS must be addressed in the document and removed from the text before finalizing
your city’s plan. For additional information on the Best Management Practices (BMPs), please
contact members of the Work Group, in Appendix 1 -A3, or refer to EPA Fact Sheets on the
web at: http://cfpub.epa.gov/npdes/stormwater/menuofbmps/poll.cfm.
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TABLE OF CONTENTS
Chapter 1 - Program Administration .................................................................................................. 4
Chapter 2 - General Housekeeping, Operation and Maintenance ............................................................ 6
Chapter 3 - Vehicle/Equipment Repair and Maintenance Operations ..................................................... 16
Chapter 4 - Vehicle/Equipment Washing.......................................................................................... 22
Chapter 5 - Facility Repair, Remodeling and Construction ................................................................... 24
Chapter 6 - Cleaning and Maintenance of Roadways, Highways, Bridges and Parking Facilities ................. 28
Chapter 7 - Maintenance of Parks, Green Spaces, Trails and Landscaping ............................................. 33
Chapter 8 - Cleaning and Maintenance of Drainage Channels, Storm Sewers and Inlet Structures ............... 38
Chapter 9 - Operation and Maintenance of Recycling and Composting Facilities ...................................... 42
Chapter 10 - Water Quality Impact Assessment of Flood Management Projects ....................................... 45
APPENDICES ........................................................................................................................... 47
Appendix 1-A1: Sixty One Co-Permittees, St. Louis Metropolitan Small MS4 Phase II Permit #MO -R040005 49
Appendix 1-A2: Excerpts from the St. Louis Metropolitan Small MS4 ..................................................... 51
Appendix 1-A3: Model Operation & Maintenance and Training Program Work Group ................................ 55
Appendix 1- A4: Ordinance/Resolution Adopting O&M Program ........................................................... 57
Appendix 1- B1: Policies .............................................................................................................. 59
Appendix 2-F1: Sample Recycling Policy ......................................................................................... 60
Appendix 2-F2: Sample Green Procurement Policy ............................................................................ 62
Appendix 2-F3: St. Louis County Waste Management Code ................................................................ 66
Appendix 2-F4: Model – Litter Control Ordinance .............................................................................. 71
Appendix 2-F5: Model – Nuisance Ordinance for Debris and Yard Waste ............................................... 75
Appendix 2-F6: Model – Animal Waste Ordinance ............................................................................. 77
Appendix 5-F1: Corps of Engineers 404 Permit & MDNR 401 Certification .............................................. 79
Glossary: Definitions of Terms Used In This Document ....................................................................... 81
For More Information… ................................................................................................................ 85
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Chapter 1 - Program Administration
A. Introduction:
The Missouri Department of Natural Resources (MDNR) issued Phase II Storm Water Permit
MO-R040005 to the City of Cool Valley and 60 other co -permittees in St. Louis County,
effective March 10, 2003. The area served by the 61 co -permittees is collectively known as
the St. Louis Metropolitan Small MS4. One of the minimum control measures in the permit that
must be addressed by the co-permittees includes pollution prevention and good housekeeping
for municipal operations. Specifically, section 4.2.6.1.1 of the permit (Appendix 1 -A2) requires
each co-permittee to “develop and implement an operation and maintenance program that
includes a training component and has the ultimate goal of preventing or reducing pollutant
runoff from municipal operations.”
A Storm Water Management Plan (SWMP) for the St. Louis Metropolitan Small MS4 was
developed by the St. Louis Municipalities Phase II Storm Water Planning Committee in the Fall
of 2002 and submitted to MDNR as part of the application for the Phase II permit. As a co -
permittee under the state permit the City of Cool Valley is bound by the commitments
contained in the Plan. Chapter 14 of that Plan provided for organization of a municipal work
group to develop a model operation and maintenance program to be adopted by each of the
61 co-permittees.
This document represents the City of Cool Valley adoption of the work group’s model program
as applicable and tailored to specifically meet Cool Valley's needs and goals. This program
impacts all facets of municipal operations. It is the City of Cool Valley's intent to adhere to the
policies and procedures stated herein in order to prevent pollution, to safeguard the
environment for the health and benefit of all City employees, residents and visitors and to
serve as a model for the entire regulated area. Where the municipal operations described in
this manual are contracted, rather than performed by municipal employees, the best
management practices (BMPs) will be imposed to the maximum extent practicable on the
contractor through purchasing or contract mechanisms by including BMPs in the scope of work
or job/service specifications. Contractors will be required to obtain all applicable
local/state/federal environmental permits. This program has been adopted by
(Resolution/Ordinance #___) on (Date), (See appendix 1-A4).
B. Policies:
The City of Cool Valley has adopted several policies regarding the purchase of recycled
products; janitorial and other supplies exhibiting lower toxicity; utilization of integrated pest
management practices; and other pollution prevention policies. Copies of policies are
contained in Appendix 1-B1.
C. Organization of Manual:
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The SWMP prepared for St. Louis County by the Planning Committee contains a detailed
listing of BMP elements that were to be considered when developing a model operation and
maintenance program for the 61 co-permittees. The Planning Committee placed these
elements into nine major categories of municipal operations/activities. Based on its size and
the nature of its municipal services each co-permittee may have activities in only some or in all
nine categories. For consistency within the Plan area, each of the nine categories is
addressed in the following Chapters 2 through 10. A statement of non -applicability is
contained in those chapters where the City of Cool Valley is not engaged in the subject activity.
D. Administration:
The responsible party for administration of the operation and maintenance (O&M) program is
the Director of Public Works. This person is responsible for ensuring the program is kept up to
date, and that employees are trained on the procedures implementing the program.
The City of Cool Valley will train all staff associated with activities that can impact pollution in
storm water runoff. Each chapter will identify employees who should be subject to training on
that particular chapter. Employees will receive general storm water pollution prevention
training provided by the Missouri Department of Natural Resources, Environmental Assistance
Office or others. Upon implementation of specific procedures, management will review the
new procedures that incorporate storm water BMPs, proper waste management and applicable
NPDES permit requirements with all employees affected. New employees will be trained on
applicable procedures within the first three months of employment. Contractors working for the
municipality and implementing BMPs for municipal work, as described in Section A., must train
their employees on applicable BMPs before work begins. To maintain proficiency, a schedu le
of periodic retraining will be implemented, or provisions made for an employee awareness
campaign to ensure employees remain aware of the BMPs and proper waste management.
Records documenting the training of employees and contractors must be maintained in file.
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Chapter 2 - General Housekeeping, Operation and Maintenance
A. Description of Activities:
Municipal operations include a variety of activities conducted to maintain City owned
property and facilities. This chapter will cover those activities that are not specifically
covered in the other chapters of this document. This chapter covers custodial and building
maintenance activities, materials management and storage, safe material substitutions,
spill plans, establishment of general O&M procedures, scheduling, record keeping and
housekeeping practices in general.
This chapter also covers general municipal housekeeping issues, which include illegal
dumping, littering, pet wastes, trash storage, and recycling.
B. Locations:
1. City Hall – 100 Signal Hill Dr. This facility is situated on seven (7) acres, with a building
size of approximately 60,000 square feet. City Hall houses the Police Department, the
Planning Department, the City Clerks office, and the Public Works Department, which
includes the Building Maintenance Division. A paved parking lot is provided for
visitors/employees, and all City vehicles, including police cars, are parked outside.
Materials and supplies utilized in performing all building maintenance, including
custodial work, are stored within the building. A total of 15 employees report to this
facility.
2. Maintenance Garage (behind City Hall). This facility houses the Street Maintenance
Division and the Fleet Maintenance Division of the Public Works Department.
3. Salt Storage Bin.
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C. Responsible Parties:
1. City Hall - The Director of Public Works has authority over City Hall. The building is
actively managed by the Building Maintenance Supervisor.
Director of Public Works: (314) 521-3500
Building Maintenance Supervisor: (314) 521-3500
2. Public Works Facility – The Director of Public Works has authority over the Public
Works Facility. The facility is actively managed by the Superintendent of Maintenance
Operations.
Director of Public Works: (314) 521-3500
Superintendent of Maintenance Operations: (314) 521-3500
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D. Materials/Supplies acquisition, storage and usage:
1. City Hall: Material/supply needs are determined by the Building Maintenance
Supervisor .
Material Maximum Quantity
Kept On Hand
For Use
Within Storage Location
Various Cleaning Supplies 50 Gallons Six Months Storeroom and various custodial
closets.
Latex Paint 6 Gallons 1 Year Storeroom
Aerosol Cans (various
products)
Only Amount
Needed
Six
Months Storeroom
Emergency Backup
Batteries (lead acid) 50 Six Months Storeroom
Fluorescent Lamps 20 1 year Storeroom
Light Ballasts 6 1 Year Storeroom
Scale Remover (acid) 1 Gallon Six Months Storeroom
2. Public Works Facility: Material/supply needs are determined by the Superintendent of
Maintenance Operations. Material/supplies used in vehicle/equipment maintenance
and repair operations are listed in Chapter 3. Materials/supplies used in roadway/bridge
maintenance are listed in Chapter 6.
Material Maximum Quantity
Kept On Hand
For Use
Within Storage Location
Various Cleaning Supplies 10 Gallons Six Months Custodial Closet
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E. Waste generation, storage, disposal, recycling:
1. City Hall: Standard office waste is generated, along with waste from custodial
operations. A fountain located in the rear of the building is backwashed on a regular
basis. Wastes from building and office maintenance activities are also included in this
list.
Waste
Maximum
Storage
Capacity
Storage Location Method Of
Disposal Contractor Frequency
Standard Office
Waste
2 – 15
yd3
Dump-
sters
Fenced Area
Outside of
Loading Dock
Landfill Waste Hauler Twice a
Week
White Paper &
Cardboard
Various
Contain-
ers
Loading Dock Recycle Recycling Co. 1 Mo
Aluminum Cans Various
Containers Loading Dock Recycle Recycling Co. 1 Mo
Custodial Waste
(mop buckets, auto
scrubber, water
based cleaners)
N/A N/A Dump in Drain to
Sanitary Sewer. N/A Daily
Emergency Lighting
Batteries (lead acid,
NiCd)
Box Police Locker Recycle
Hazardous
Material
Recycler
Quarterly
Lamp Ballasts Box Maintenance Shop Landfill (if PCBs,
with approval) Waste Hauler Quarterly
Lamps (fluorescent,
mercury vapor,
sodium vapor
Box Maintenance Shop Recycle
Hazardous
Material
Recycler
Quarterly
Lamp (green tip
fluorescent) Box Loading Dock Landfill Waste Hauler Weekly
Computer Monitors,
CPUs Box Storage Area Recycle
Reuse or
Hazardous
Material
Recycler
As Needed
Oil Based Paints
and Thinners 1 Gals yr Maintenance Shop Energy Recovery Hazardous
Waste Vendor Quarterly
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Organic Solvents Drum Maintenance Shop Energy Recovery Hazardous
Waste Vendor Quarterly
2. Public Works Facility: Standard office waste is generated, along with waste from
custodial operations. Additional waste generated from vehicle maintenance activities
and street maintenance activities is included in Chapters 3 and 6 of this document.
Waste
Maximum
Storage
Capacity
Storage Location Method Of
Disposal Contractor Frequency
Standard Office
Waste
15 yd3
Dumpste
rs
Parking Lot Picked up by
Waste Hauler. Waste Hauler Twice a
Week.
White Paper &
Cardboard
Various
Containers Brought to City Hall Picked up for
Recycling. Recycling Co. Weekly
Aluminum Cans &
Plastic Bottles
Various
Containers Brought to City Hall Picked up for
Recycling. Recycling Co. Weekly
Custodial Waste
(mop buckets, auto
scrubber)
N/A N/A Dump in Drain to
Sanitary Sewer. N/A Daily
Backwash Water
from Fountain N/A N/A Discharged to
Sanitary Sewer. City Personnel Weekly
Waste
Maximum
Storage
Capacity
Storage Location Method Of
Disposal Contractor Frequency
Standard Office
Waste
2 – 15 yd3
Dumpster
s
Fenced Area
Outside of
Loading Dock
Picked up by
Waste Hauler. Waste Hauler Twice a
Week.
Custodial Waste
(mop buckets,
auto scrubber) N/A N/A
Dump in Drain
to Sanitary
Sewer.
N/A Daily
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Backwash Water
from Swimming
Pool
N/A N/A Discharged to
Sanitary Sewer. Pool Company Twice a Week.
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Reduce the risk of West Nile Virus by reducing stagnant water (mosquito breeding grounds)
caused by cans, containers and tires present in litter and junk piles. Keeping storm water
drainage gutters and drains clean will also reduce conditions suitable for mosquito breeding.
Refer to MU Extension IPM Guides at: http://ipm.missouri.edu/ipmresources.htm (See
Chapter 7 for additional BMPs.)
Minimize the use of herbicides through an Integrated Pest Management Program for
weed control. With turf grass, prevention of weed infestation begins with practices to
promote healthy grass through proper planting, watering, fertilizing, mowing,
aerification, and thatch control. Refer to MU Extension Publication IPM1009:
http://muextension.missouri.edu/xplor/agguides/pests/ipm1009.htm (See Chapter 7 for
additional BMPs.)
MATERIAL MANAGEMENT
Develop a policy to purchase
recycled products or products with
high post-consumer waste content
whenever practical. Many
resources are available from the EPA WasteWise Helpline: 800 EPA-WISE. Website:
http://www.epa.gov/epaoswer/non-hw/reduce/wstewise/wrr/buyq&a.htm
(See Appendix 2-F1 for a sample waste reduction and recycling policy.)
Collect and recycle, to the maximum extent practicable, wastes generated by
municipal operations. (See the policy in Appendix 2-F1.)
Develop policy to purchase environmentally preferred products whenever
practical. For a “Database of Environmental Information for Products and
Services,” see EPA website: http://yosemite1.epa.gov/oppt/eppstand2.nsf/
(See Appendix 2-F2 for a sample green procurement policy or
http://www.pwgsc.gc.ca/sd-env/sds2003/green-procurement-e.html).
Provide for the proper disposal of all wastes generated or collected in the course
of municipal operations, in accordance with all applicable local, state and federal
laws.
Inspect facilities for litter on a regular basis, and clean up as needed.
Keep trash container lids closed to keep rain out. Do not dispose of liquid waste
in the trash container.
Ensure that the collection frequency of trash containers is app ropriate to avoid
overflows.
Outdoor material stockpiles at both permanent locations and at job sites should
be covered to protect from rainfall and
prevent contamination of storm water
runoff.
Material stockpiles which can not
feasibly be covered should be
surrounded by a berm or otherwise
contained so that storm water runoff
can be captured.
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Petroleum products, fuels, chemicals, hazardous and toxic materials, and all
wastes should be properly labeled to ensure appropriate handling and d isposal.
Petroleum products, fuels, chemicals, hazardous and toxic materials, and all
wastes should be stored and handled with appropriate safeguards to prevent
contamination of storm water from drips and spillage from the transfer of
materials (for example, cover storage containers, use collection trays for drips,
maintain spill kits and floor drain plugs to contain spills, etc.). Liquid containers
should be stored under roof; or if outdoors, containers should be kept clean and
sealed water-tight.
Prevent spills of hazardous materials
by selecting storage areas that avoid traffic
to minimize accidental contact, and select
areas that are away from storm drain inlets
and streams to minimize the impact of a
spill. Storage areas should be kept clean
and organized.
Contain and clean up all spills immediately.
Ensure employees are familiar with spill
response procedures and the location of spill
kits to enable them to stop the spills at the
source and contain the spilled material. With training on hazards from a material
safety data sheet, minor spills can be addressed by employees, however,
significant spills will require evacuation and contacting emergency responders.
Keep material safety data sheets (MSDS) for chemicals onsite for information on
reportable spill quantities, proper handling, and health and safety issues.
Maintain and post a list of emergency contact numbers for spill reporting and spill
clean-up contractor response, including: Missouri Department of Natural
Resources (MDNR) – 573-634-2436, National Response Center – 800-424-8802,
and for releases to the sewer, MSD – 314-768-6260. Reportable quantities (RQ)
for chemicals are listed on the MSDS, and petroleum RQs include: any amount
released to a storm sewer or waterway causing a sheen, 25 gallons from an
underground tank, and 50 gallons from all other sources.
Prepare for appropriately handling the clean up of the spilled material and
disposal of waste. Do not hose down spills to the storm sewer system. Clean up
spills with dry methods, using absorbent to pickup fluids.
Spill response plans are recommended for all areas of municipal operations.
Spill Prevention Control and Countermeasure (SPCC) plans are required to meet
regulatory criteria in 40 CFR 112 for
sites with a storage capacity over 660
gallons oil in one container or 1,320
gallons on site.
Establish at all municipal facilities
materials management and inventory
controls to include the proper
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identification of hazardous and non-hazardous substances, and proper labeling
of all containers.
Regular inspections and inventory of material storage and use areas should be
performed to ensure BMPs are being used.
COMMUNITY
Develop/enforce ordinances for waste containers which regulate size, type, covers and
water-tightness for residential,
commercial and industrial areas. (See Appendix 2 -F3 for language from the St. Louis
County Waste Management Code.)
Develop/enforce ordinances against illegal dumping, littering and improper yard
waste disposal, providing for corrective action, enforcement and penalties. (See
Appendix
2-F4 and 2-F5 for Model Ordinances.)
Develop/enforce ordinances requiring pet owners, property owners, and
equestrian and animal boarding facilities to clean up wastes from their pets and other
animals. (See Appendix 2-F6 for Model Ordinance).
Provide pet waste scoop dispensers and signage in parks and other public
areas frequented by pet walkers to promote the proper disposal of pet waste and
notify the public of ordinance requirements.
Provide recycling and yard waste services for residential waste.
Provide sufficient numbers of appropriately-sized waste receptacles at
municipal facilities and in public areas with regularly scheduled servicing,
collection and disposal.
Educate citizens on trash and pet waste issues to promote compliance
with ordinances using available methods such as resident newsletters,
brochures, internet sites, storm drain marking projects, etc.
Promote and assist in neighborhood and stream clean-up activities.
Develop/enforce municipal ordinances against illegal discharges to storm
water from sources such as failing septic tanks, septic tanks discharging to storm
water, etc. Ordinances to address illegal connections of sanitary sewers should
be at least as stringent as the Missouri Department of Health regulations in 19
CSR 20-3 and County requirements, such as St. Louis County Plumbing Code
Section 1103.
Develop/enforce municipal ordinances requiring the proper maintenance
of septic tanks and other small onsite sewage disposal systems. For a model
ordinance, see: http://www.anjec.org/html/ord-modelseptic.htm
O&M PROGRAM
Establish standard operation and maintenance procedures, maintenance schedules and
long term inspection procedures in accordance with this program manual with emphasis
on safety, efficiency, and compliance with applicable laws and good environmental
stewardship.
General housekeeping inspections of facilities and storage areas should be
performed once a month and records kept of the inspections.
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Develop record keeping procedures that effectively track implementation of
program elements and that provide the information necessary to mee t the
reporting requirements of the MS4 permit.
G. NPDES Permit status:
Applicable MDNR general storm water permits must be obtained if the (city) engages in
the following activities described by the following categories:
Airports (R80F) – Storm water runoff from airports that use de-icers or conduct
uncovered vehicle or aircraft maintenance, washing, or fueling.
Equipment/Vehicle Washing (G75, See also Chapter 4) - Car wash wastewater
treatment systems for design flows of 50,000 gallons per day or less. This includes no-
discharge land application systems. Provides for 500 gallons per day de -minimis
exemption under certain conditions.
Recycling facilities (R80H, See also Chapter 9) - Solid waste transfer stations, and solid
waste recovery facilities.
Yard Waste compost facilities (G97, See also Chapter 9) - Yard Waste Composting
operations between 2 to 5 acres.
Solid Waste Transfer – requires a site specific storm water permit.
Swimming pools (G76) – Discharges of filter backwash and pool drainage from
swimming pools and lined ponds.
Transportation Operations (local bus, etc.) – requires a site specific storm water permit.
Trucking (R80C) - Motor freight transportation (garbage, refuse, etc.).
Vehicle Maintenance (R80C, See also Chapter 3) - Motor freight transportation and
warehousing.
Warehousing and storage (R80C) - Motor freight transportation and warehousing.
If the above categories describe (city) operations, but the activities and materials stored
or handled are not exposed to storm water, a “No Exposure Certification” must be
submitted in lieu of obtaining a permit. Further descriptions and a copy of the general
permits are available at: www.dnr.mo.gov/wpscd/wpcp/permits/wpcpermits-general.htm
The discharge of process waste water to a storm water inlet from any (city) facility
requires an NPDES Operating Permit from MDNR’s Water Pollution Control Program.
All permit conditions and limitations must be complied with.
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H. Training:
All employees involved in maintenance operations, construction, purchasing, facility
or site design, or building or facility management will be trained on this chapter,
including the following Departments and work units:
Vehicle maintenance department – mechanics, storekeepers
and management.
Public works department – equipment
operators, laborers, and management.
In addition to training on the housekeeping BMPs and proper waste management, employees
will be provided general awareness of NPDES discharge requirements.
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Chapter 3 - Vehicle/Equipment Repair and Maintenance Operations
A. Description of Activities:
Fleet maintenance facilities are responsible for the maintenance and repair of equipment and
vehicles ranging from chain saws and light vehicles to loaders and tandem dump trucks.
Preventative maintenance or PM’s include oil and filter changes, tune ups and tire rotations.
Repairs include engine and transmission replacement; brake, suspension or axle repair; and
welding work. There are fueling sites at all of Cool Valley’s repair facilities. Outside contractors
perform services such as glass repair or replacement and all bodywork.
B. Locations:
The main garage located at 100 Signal Hill behind City Hall serves the City . It is
responsible for approximately 15 pieces of equipment. This location has one
welding area and two work bays. None of the work bays have above ground lifts.
The materials/ supplies used at this facility are all stored inside.
The majority of repair and maintenance work is done inside however, due to the difficulty in
moving certain pieces of equipment, some work is done at the job site. The above locations
perform vehicle and equipment maintenance for all (municipality) departments.
C. Responsible Parties:
The Fleet Manager oversees all aspects of fleet administration and operations. The Fleet
Services Supervisor is responsible for the day-to-day operations of the City garage with 1
working foremen. The main garage has one full time employee (1 mechanic).
D. Materials/Supplies acquisition, storage and usage:
Materials /supplies for all locations are ordered through the main garage and deliv ered directly
to each location. The following materials and quantities are typically kept on hand for main
garage operation:
Material Maximum Quantity Kept
On Hand For Use Within Storage Location
5w20 Oil 120 Quarts 6 Months Maintenance Building
5w30 Oil 120 Quarts 6 Months Maintenance Building
5w30 Oil 500 Gallons 6 Months Maintenance Building
10w30 Oil 120 Quarts 6 Months Maintenance Building
10w30 Oil 250 Gallons 6 Months Maintenance Building
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10w40 Oil 500 Gallons 6 Months Maintenance Building
15w40 Oil 500 Gallons 6 Months Maintenance Building
30w Oil 250 Gallons 6 Months Maintenance Building
Trans Fluid 500 Gallons 6 Months Maintenance Building
Hyd Fluid 500 Gallons 6 Months Maintenance Building
Anti-Freeze (Reg) 110 Gallons 6 Months Maintenance Building
Anti-Freeze (X-Life) 110 Gallons 6 Months Maintenance Building
Gasoline 20,000 Gallons 3 Months Gas Cans
Diesel 60 Gallons 3 Months Gas Cans
Brake Solvent 55 Gallons 2 Months Maintenance Building
Penetrating Oil 12 18oz. Aerosol Can 1 Month Maintenance Building
Brake Clean 12 18oz. Aerosol Can 1 Month Maintenance Building
Carb Cleaner 6 18oz. Aerosol Can 1 Month Maintenance Building
+ Bulk containers are double walled
++ Underground fuel tanks meet all 1998 UST standards and are insured by UST
Insurance Fund
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The following materials and quantities are typically kept on hand for each work location:
Material Maximum Quantity Kept
On Hand For Use Within Storage Location
TO BE COMPLETED
E. Waste generation, storage, disposal, recycling:
All locations: Waste generated by operations of all garages are as follows:
Waste
Maximum
Storage
Capacity
Storage
Location
Method Of
Disposal Contractor Frequency
Used Motor Oil,
Hydraulic and
Transmission Fluid
100 Gallons Labeled 50-
gal. Tank Recycled Licensed Oil
Recycler Quarterly
Used Oil Filters Drain 24
Hours Trash Can Trash Hauler As Generated
Used Antifreeze
Labeled
Container in
Shop
Recycle or Sewer
if Approved by
MSD
As Generated
Worn Brake
Pads/Shoes Returned For
Recycling Parts Vendor As Needed
Equipment Batteries
(Lead-acid and NiCd) 20 Shop Returned For
Recycling Battery Vendor As Needed
Tires
<25, Unless
Meeting Rules
in
10 CSR 80
Shop
Returned For
Recycling and/or
Recapped
Tire Vendor,
Permitted
Waste Tire
Hauler
As Needed
Scrap Metal Shop Recycled Metal Recycler As Needed
Shop Towels N/A N/A Trash Can Trash Hauler As Generated
Organic Solvent for
Parts Cleaning
<220 or
220 – 2200 lbs
as Registered
Waste Gen.
No Smoking
Area
Energy Recovery
Or Recycling
Hazardous
Waste Vendor
Quarterly or
As Needed
Sand Blasting Grit
(no lead based paint)
Shop Or
Covered
Container
Sanitary Landfill Trash Hauler As Generated
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UST Condensate Loading
Dock Treatment Hazardous
Waste Vendor
Within 90 days
of Generation
Refrigerant
Tested
Container
Capacity
Shop Recover for Reuse Onsite or EPA
Registered Co. As Needed
F. Best Management Practices (BMP):
THE FOLLOWING BMP’S ARE RECOMMENDED TO BE IMPLEMENTED TO THE MAXIMUM EXTENT
PRACTICABLE
OPERATIONS
• Institute a preventive maintenance program to minimize fluid leaks and equipment
failures. Inspect vehicles and equipment frequently for leaks, collecting leaks with pans
or absorbent, and repairing leaks.
• All routine vehicle maintenance and repairs at (municipality) facilities are performed
indoors. On occasion and when necessary, outside maintenance work will be
performed in a paved area with provisions made to contain and clean up all drips and
spills.
• Use non-hazardous, environmentally safe products when possible. Avoid use of
chlorinated organic solvents.
• Environmentally safe detergents are used instead of caustic cleaning solutions.
• Flammable liquids are kept in a vented fire-rated cabinet.
• All supply material and waste containers are marked clearly and properly to identify the
contents.
• Keep material safety data sheets (MSDS) for chemicals onsite for information on
reportable spill quantities, proper handling and health and safety.
• All supply material and waste containers are stored under cover to prevent contact with
rainfall; or when uncovered, containers are clean and sealed.
• Tops of containers have absorbent mats and
are free of standing liquid, and stored
containers are kept closed.
• Waste oils, filters, antifreeze, and other wastes
are collected in designated, labeled containers
and recycled to the maximum extent
practicable.
• Wheel weights are kept in a container marked
“scrap lead”.
• Records of waste pick-ups are logged and
maintained in file.
• Drain pans are labeled for specific types of fluid.
Use pans under vehicles and equipment with fluid leaks. Always use drip pans when
making and breaking connections.
• Used oil filters should be gravity drained for 24 hrs with the anti-drain back valve or filter
dome punctured to facilitate the draining process. Crushing the oil filter and recycling is
Rev. 2/18/05
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preferred.
• Batteries, waste oil, etc. having spill/leak potential are stored indoors and are in
secondary containment, when possible.
• Neutralizer and absorbent are kept by both new and used batteries.
• All floors are clean of oil and grease.
Rev. 2/18/05
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• Immediately clean up all spills of chemicals or vehicle fluids using dry methods
(absorbents), minimizing the use of water whenever possible.
• Vehicle operators should be instructed to remain with the vehicle during fueling, and not
to top-off the fuel tank to avoid overflows and spills.
• For painting or sanding activities outdoors, use a tarp enclosure to contain and capture
material. Collect and dispose of paint chips and sand blast waste in the trash for non -
lead based paint, or evaluate lead based paint for hazardous waste disposal.
• Keep the facility and surrounding area clear of litter.
SPILL PREVENTION
• Spill control plans should be in place with procedures for proper spill response to
minimize environmental impacts. SPCC plans must meet regulato ry criteria in 40 CFR
112 for sites with a storage capacity over 660 gallons oil in one container or 1,320
gallons on site.
• Procedures for loading, unloading and transfer operations should be developed to
prevent overfilling and spills.
• In areas where spills could occur, such as fueling and loading areas, keep spill kits with
absorbent materials nearby and display signage indicating the location of those spill
kits. Storm drain plugs or covers are recommended to prevent the flow of spilled
material from entering the storm drain.
• For fueling areas, post signs that state “no topping off”.
• Regularly inspect all tanks and containers to ensure physical integrity.
• Maintain equipment to ensure the proper operation of automatic shutoff devices on
pumps and, overfill protection and spill buckets on tanks.
• Emergency phone numbers are clearly posted in the shop and near material storage
areas.
FACILITY
• All floors in work areas are sloped to floor drains that are connected to an MSD-
approved sediment /oil trap prior to discharge into the sanitary sewer system. Trap is
pumped out quarterly, or as needed.
• A site-plumbing schematic showing all drains, traps, and shut offs for utilities should be
posted in shop. Employees should be made aware of sanitary and storm sewers to
ensure all wastewater is discharged to the sanitary sewer.
• Storm drains/inlets can be labeled to help protect from improper usage.
• All above ground storage tanks have secondary containment in accordance with SPCC
requirements and are covered with a roof. If containment is not roofed, inspect
accumulated rain water for contamination prior to discharge.
• Fueling areas are recommended to be designed with a roof to prevent contact with
storm water. The area should be graded and sloped to direct storm water runoff away
from the site and to prevent runoff from flowing over the fueling area.
• Storm water treatment devices can be used to treat runoff from fueling areas.
• “No smoking” signs are posted in the shop, and near hazardous waste and f lammable
Rev. 2/18/05
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material storage areas. Verify that fire extinguishers are charged and inspected yearly.
G. NPDES (National Pollutant Discharge Elimination System) Permit status:
Vehicle maintenance facilities of this type are considered “municipal industrial” facilities under
the Missouri Storm Water Regulations and are subject to separate NPDES storm water (Phase
I) permitting requirements under MDNR general permit R80C. As stated above, all of Cool
Valley’s vehicle repairs and maintenance are preformed indoors or are otherwise done without
exposure to storm water. Therefore, a NPDES Storm Water permit is not required and a no -
exposure certification has been filed with the Missouri Department of Natural Resources.
H. Training:
Training on storm water BMPs will be provided to mechanics, storekeepers, material handlers,
laborers, equipment operators, janitors, and management staff working at facilities identified in
Section B. All employees will be provided safety training and training on written procedures
pertaining to general housekeeping. Implement monthly safety meetings to include
environmental training and HAZMAT training.
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Chapter 4 - Vehicle/Equipment Washing
A. Description of Activities:
Cool Valley will wash vehicles and equipment at wash bay facilities designed according to this
chapter. At facilities where no wash bay exists, all vehicles and equipment will be taken to
commercial facilities when washing is required.
B. Locations:
The (City’s) wash bay facilities are located at the following locations:
- none -
C. Responsible Parties:
The Facility Superintendent responsible for pool vehicles, the Publ ic Works Officer, is
responsible for ensuring that vehicles are taken off -site to approved commercial facilities for
washing, or that washing on City property is done in the locations specified in Section B.
D. Materials/Supplies acquisition, storage and usage:
The wash soap to be used is ANY NON-PHOSPHATE, BIODEGRADEABLE DETERGENT.
E. Wash bay design and waste disposal:
Wash water from vehicle and equipment washing must be disposed in the MSD sanitary
sewer, with pretreatment using a sediment/oil trap. The accumulated solids in the sediment/oil
trap must be pumped out and properly disposed of, such as at a wastewater treatment plant by
an MSD approved waste hauler. If floating oils and grease accumulate in the sediment/oil trap,
the contents must be disposed by a permitted waste hauler at a commercial facility able to
handle oily waste.
F. Best Management Practices (BMPs):
FOR OFF-SITE WASHING
• All vehicles are taken to commercial facilities when washing is needed.
• Commercial facilities used are verified to be in compliance with MSD sewer discharge
requirements. Facilities must discharge wastewater to the sanitary sewer system, and
wash bays must be covered to prevent storm water in the sanitary system.
FOR MUNICIPAL WASHING
• Wash bay facilities are designed to collect wash water, pretreat with a sediment/oil trap
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(interceptor), and discharge to the sanitary sewer system. The trap must be pumped
quarterly, or as needed.
• Wash bays are covered and wash area curbed or otherwise drained to prevent storm water
runoff from discharging to the sanitary system. Uncovered wash bays have an inlet valve
to the sanitary sewer. The wash bay is cleaned and the valve is maintained closed when
washing is not occurring, to keep uncontaminated storm water out of the sanitary sewer.
Post instructions regarding the use of the valve.
• Mobile wash services must collect wash water for recycling or proper disposal into a
sanitary sewer.
• Job-site mud removal is performed without detergent in a contained, permeable (gravel)
area with wash water infiltrating into soil or gravel.
G. NPDES Permit status:
Not applicable.
H. Training:
Employees responsible for operating fleet vehicles and equipment will be made aware of
BMPs regarding washing, and the proper, designated locations for washing.
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Chapter 5 - Facility Repair, Remodeling and Construction
A. Description of Activities:
On an as-needed basis, city personnel perform minor renovations/repairs and small capital
improvements on city facilities, such as erecting or removing partitions, replacing a door or
window, painting, etc. Major projects are typically contracted out to commercial firms
specializing in the type of work required.
B. Locations:
City hall and the maintenance garage contain a shop and material storage areas for facility
repair, remodeling and construction; and city employees are involved in these activities.
Repair, remodeling, construction and capital improvements are periodically performed on all
types of municipal facilities.
C. Responsible Parties:
Public Works Officer – The Public Works Officer is the responsible party that will ensure all
repairs, remodeling and construction will be preformed without subjecting the storm water
system to any new contaminant streams. They are responsible for the construction practices
of the contractors that work for them on municipal facilities.
D. Materials/Supplies acquisition, storage and usage:
Varies with nature of job. Materials are purchased on an as-needed basis and in quantities
expected to be completely consumed in the process of completing the project . Materials used
for every project will vary. The majority of materials are purchased on a project basis and are
consumed during that project. Materials should be stored indoors or under cover so they are
protected from rainfall and runoff. All unused portions of materials should be properly secured
to prevent loss, such as bagged cement. Tarps should be used on the ground to collect fallen
debris and other spilled material. Waste should be cleaned up on a daily basis and properly
disposed of as noted below in section “E”. Routinely stocked materials are identified in the
following table.
Material Maximum Quantity Kept Onsite Storage Location
Lumber (none) 0 Maintenance Garage
Drywall 0 Maintenance Garage
Dirt 0 Maintenance Garage
Rock 0 Maintenance Garage
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Oil-Based Paint 3 Gallons Maintenance Garage
Latex Paint 5 Gallons Maintenance Garage
E. Waste generation, storage, disposal, recycling:
Waste generation varies with the nature of the job. Typically, wastes consist of small amounts
of lumber cut-offs, wallboard scraps, empty paint cans, etc. Order and mix only the amount of
materials necessary for the work to be completed. Dispose of all waste properly, recycle
whenever possible. Never bury waste material or leave material in the street, gutter, or near a
creek or streambed that would allow the material to en ter the storm water system. Such
materials are disposed in the city hall dumpster for pick-up by the city contracted waste hauler.
Listed below are the disposal methods for various types of materials that are generated from
facility repairs and remodeling:
Waste Storage Requirements Method Of Disposal Contractor
Lumber, Drywall, Siding, Roof
Shingles, Insulation Dumpster or Container Sanitary or Demolition
Landfill
Fluorescent, Sodium Vapor,
Mercury Vapor Lamps
Closed, Labeled
Container
Recycling as Universal
Waste
Fluorescent Green tip Lamps Dumpster Sanitary Landfill
Fluorescent Light Ballasts Closed Labeled
Container
Recycling or Landfill (if
PCBs, with approval)
Mercury Switch/Thermostat Closed Labeled
Container Reclaim Hazardous Material
Recycler
Asbestos Containing Materials
(tile, insulation, roofing material)
To be managed only by
certified personnel. Special Waste Landfill
Latex Paint Waste Closed Container Energy Recovery or
Sanitary Sewer Waste Vendor or MSD
Oil-based Paint Waste Closed Labeled
Container
Energy Recovery as
Hazardous Waste
Lead Based Paint Removal
Waste
To be managed only by
certified personnel.
Test for Hazardous
Waste Characteristics.
General Trash Dumpster or Container Sanitary Landfill
Steel, Iron, Copper Recycle
Carpet Recycle, or Sanitary
Landfill
Green Building
Recycling
Leaks, drips, or spills should be cleaned up immediately. Clean up using “dry” methods,
absorbent materials or rags, or remove the contaminated soil or material.
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Clean up of equipment is to be performed in designated areas. Never clean up concrete
equipment or paint brushes and allow the washout into the street, storm drains, drainage
ditches, or streams.
F. Best Management Practices (BMP):
FACILITY DESIGN
• Consider designing facilities for “Low Impact Development” to reduce the volume and rate
of storm water runoff from impervious areas to improve water quality. Refer to information
on Low Impact Development from EPA’s web site at:
http://www.epa.gov/owowwtr1/NPS/lid/lidlit.html for more information about Low Impact
Development methods.
• In designing storm water drainage facilities, use the following BMPs, in accordance with
MSD’s storm water drainage facility design regulations, to improve the water quality of site
drainage: wet detention ponds, wetlands, structural filter systems, grass swales, vegetative
filter strips, and riparian buffers along streams. MSD’s design regulations are contained in
the “Rules and Regulations and Engineering Design Requirements for Sanitary Sewage
and Stormwater Drainage Facilities”. Fact sheets on storm water management practices
are available from the Storm Water Manager’s Resource Center at the following web s ite:
http://www.stormwatercenter.net
• Carefully design and install plumbing and storm water systems to code, eliminating cross -
connections between sanitary and storm drain systems.
• Design material storage and handling areas to avoid rain and storm water runoff contacting
stored material.
• Design landscaping that uses native vegetation to reduce the need for irrigation, fertilizer
and pesticide.
LAND DISTURBANCE
• Comply with St. Louis County or municipal land disturbance ordinances and programs
implemented under the St. Louis County Phase II Storm Water Management Plan. For
projects less than the land disturbance program thresholds, prevent erosion of soil from
bare ground at the site by employing erosion and sediment control BMPs, such as: soil
stabilization with mulch or seeding, settling basins, sediment traps, vegetated buffer strips,
and silt fencing for perimeter controls. For details concerning these BMPs, see the SWPPP
link on the following web page: www.stlouisco.com/plan/land_disturbance.html
• All construction or maintenance activities that excavate in or discharge any dredge or fill
material into a “water of the United States” requires a Corps of Engineers 404 permit and a
MDNR 401 water quality certification. Waters of the United States include ditches, creeks,
rivers, lakes, ponds and wetlands. See Appendix 5-F1 for a summary of permit
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requirements.
CONSTRUCTION/REMODELING
• In accordance with city purchasing policies as stated in Chapter 1 and 2, every effort is
made to purchase materials that are manufactured with recycled materials.
• Properly store materials as far away from storm inlets and streams as practical, and cover
stored materials to avoid storm water impacts.
• Recycle or properly dispose of wastes, as indicated in Section E above.
• Never clean out or wash out paint or concrete mixers in the street or near a gutter, storm
drain or stream.
• Small quantities of inert demolition wastes and construction scraps are disposed in the city
hall dumpster. If larger quantities are generated, arrangements are made with a city -
contracted hauler for a special pick-up.
• Keep work sites clean, pickup trash that can be wind blown daily.
• Utilize certified asbestos inspectors to inspect floor tile, ceiling tile, fire-proof barriers and
doors, roofing material and insulating materials for asbestos content prior to demolition.
Manage material using certified asbestos personnel.
• Utilize certified inspectors to inspect for lead based paint on structure s older than 1978.
Use only state certified removal contractors for lead based paint abatement.
• When scraping or washing to remove non-lead based paint, collect paint chips in a tarp for
proper disposal. Use water-based paint instead of oil-based paint whenever possible.
• Ensure that facility plumbing connects all sanitary wastewater discharges to the sanitary
sewer, and that storm water is sent to the storm sewer system.
G. NPDES Permit status:
Land disturbance projects over 1 acre require a Land Disturbance Permit MO-R100A (if
regulated under a Phase II compliant land disturbance program) or Permit MO -R101 from the
MDNR. Storm water operating permits will not apply unless process water will be discharged
to storm water and not to the sanitary sewers.
H. Training:
All employees involved in facility construction, facility repair and remodeling activities will be
trained on the BMPs presented in this chapter. Personnel should be trained in the items noted
below:
General housekeeping
Material storage, cleanup, and disposal
Material reuse and recycling
Equipment cleanup
Land disturbance erosion control
Reduction of material for disposal through storage, reuse, or recycling can greatly reduce
material and disposal costs, long term liability, preserve environmental quality, improve
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workplace safety and provide a positive public image.
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Chapter 6 - Cleaning and Maintenance of Roadways, Highways, Bridges and Parking
Facilities
A. Description of Activities:
Most highway agencies and municipalities are responsible for the cleaning and maintenance of
roadways, highways, and parking facilities under their maintenance purview. Activities include,
but may not be limited to, street sweeping, flushing, applying surface seals, patching, snow
removal, and emergency response to spills and accidents.
Street sweeping operations normally involve self-contained and powered collection devices,
utilizing belt conveyors or vacuum systems. This work may be performed on a scheduled
basis, or when requested, and is usually conducted on roads with curbs where debris can
accumulate in the gutter line.
Many agencies flush bridge decks and parking structures in the spring to remove de -icing
chemicals and to clean the drainage structures. Also, flushing op erations are performed on
sections of pavement where mud or debris accumulates after flooding, creating hazardous
conditions.
Bridge decks and parking structures are normally sealed on a five -to-seven year cycle to
protect the concrete and steel reinforcement from corrosive elements.
Patching operations involve the preparation of potholes and the fill of either hot mix or cold
patching material.
Highway agencies plow and salt the roadways under their maintenance jurisdiction during
winter snow events. Typically, 200 to 400 pounds of salt per lane mile is used to de -ice the
pavement. Other chemicals, such as calcium chloride, are used when prevailing temperatures
fall below 20º Fahrenheit.
Most highway agencies are required to respond to emergency situa tions involving spills and
debris from vehicles. This work is performed if it is determined that the material which will be
removed from the public road right-of-way is of a non-hazardous nature. Hazardous material
is handled through hazardous material removal procedures not specified in this chapter.
B. Locations:
All road networks or public parking structures of the City of St. Louis, Saint Louis County, and
all municipalities within the boundaries of Saint Louis County.
C. Responsible Parties:
The responsible parties involved in the cleaning and maintenance of streets and parking lots
include:
Public Works Officer - (314) 521-3500
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Building Maintenance Superintendent – (314) 521-3500
Public Works Director – (314) 521-3500
D. Materials/Supplies Acquisition, Storage and Usage:
Material Maximum Quantity
Kept On Hand For Use Within Storage Location
Salt
(Sodium Chloride, Calcium
Chloride)
50 tons One Year Maintenance Garage
Aggregate (various sizes) None One Season Maintenance Garage
Cold-Patching Material Up to 2 Tons One Season Maintenance Garage
Hot Mix Asphalt Purchased When
Needed Daily Maintenance Garage
Deck Sealing Materials None One Season Maintenance Garage
Topsoil None One Season Maintenance Garage
Concrete Ready-Mix Purchased When
Needed Daily Maintenance Garage
Concrete Bag Mix None One Season Maintenance Garage
E. Waste Generation, Storage, Disposal, Recycling:
A certain amount of construction spoil and waste is generated during the performance of
maintenance operations on our road network. Recycling methods are employed if they are
determined to be cost-effective; however, in many instances, waste material must be removed
from the work site by various disposal methods.
Waste
Maximum
Storage
Capacity
Storage
Location Method Of Disposal Frequency
Asphalt Millings
from Co-Planing
Operation
Unlimited
Storage Options
Landfill or
Other
Locations
First preference is to recycle the
material, using it for road base,
parts, earth fill (if laws permit), or
in asphaltic concrete, etc. If
material can't be economically
recycled, it will be disposed of in
a landfill.
Concrete Rubble Unlimited
Storage Options
Earth Fill or
Landfill
First preference is to place
concrete waste in earth fill;
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however, if this cannot be
economically accomplished, the
spoil material is taken to a landfill.
Trash, Grit and
Debris from Street
Sweeping and
Road Clean Up
Sanitary Landfill
Water Based Paint Sanitary Sewer, as Approved by
MSD.
As
Generated
Shot, Sand Blast
Waste with Lead
Free Paint
Sanitary Landfill
Lead Based Paint
Chips and Shot,
Sand Blast Waste
Sealed
Container
Capacity
Evaluate for Hazardous Waste
Determination.
Store <90
Days
F. Best Management Practices (BMP):
MAINTENANCE
• If certain road maintenance activities are
prone to produce pollutants that can be
carried off with storm water runoff,
schedule these maintenance activities
during times of dry weather if possible.
• Capture scrapings/rust/dirt/sandblasting
grit/over spray/drips, etc., from
preparation and painting of
bridges/structures/traffic control devices.
• For steel girders on bridges, utilize
certified inspectors to inspect for lead
based paint on structures older than
1978. Use only state certified removal
contractors for lead based paint abatement.
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• Used asphalt is recycled when it is cost-beneficial.
• Block scuppers and drains when sealing bridge decks.
• On asphalt overlays, ensure storm water drainage capacity of curbs and inlets is
maintained by milling down into the street at the curb, or using open graded thin bonded
overlay.
• Comply with St. Louis County or municipal land disturbance ordinances and programs
implemented under the St. Louis County Phase II Storm Water Management Plan. For
projects less than the land disturbance program thresholds, employ BMPs for erosion
and sediment control.
• All construction or maintenance activities that excavate in or discharge any dredge or fill
material into a “water of the United States”, which includes ditches, creeks, rivers, lakes,
ponds and wetlands, requires a Corps of Engineers 404 permit and a MDNR 401 water
quality certification. Examples of construction or repa ir activities requiring a permit
include: bridge work, culverts under road crossings, dredging or placing rip rap in
creeks. See Appendix 5-F1 for a summary of permit requirements.
DE-ICING
• Use calibrated chemical applicators for salt and brine
applications.
• Minimize the use of salt without compromising public
safety.
• Stop salt feed on trucks at stop signs, where equipped.
• Stored salt is on an impervious surface and is covered.
• As available, use road weather information such as
weather forecasts, meteorological data, and
pavement sensors to maximize the efficiency
and effectiveness of resources.
CLEANING
• Remove as much mud, grit, salt and debris as
possible (by scraping, brooming, etc.) prior to
roadway flushing on bridges.
• Evaluate the need for street sweeping to
remove grit and trash at facility parking lots
and roadways within jurisdiction. Implement
street sweeping, when feasible, focusing on
heavy traffic patterns, seasonal variations (spring/fall), and problem areas. Record the
volume of trash/debris removed to identify the priority of areas being cleaned and the
effectiveness of resources used. Investigate to determine sources of litter in areas of
excessive accumulation.
• The environmentally preferred sweepers are those with an integral collection device and
fugitive dust control. Properly dispose of trash/debris as indicated in Section E above.
• Do not hose down parking lots in a manner that discharges wash water to the storm
drain untreated.
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G. NPDES Permit status:
Not Applicable
H. Training:
Employees involved in Street and Highway maintenance and repair will be trained on the
BMPs in this chapter.
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Chapter 7 - Maintenance of Parks, Green Spaces, Trails and Landscaping
A. Description of Activities:
The City has 1 park totaling nearly less than one (1) acre of land.
The City has responsibility for the development and maintenance of recreational areas and
green space within the city, including neighborhood and regional parks, community gardens,
bike and walking paths, linear and river parks, trees, public facility landscaping and public
street right-of-way landscaping. The city promotes an interconnected system of open space
and trails that facilitates active and passive recreational opportunities f or the community.
The creation and design of parks and open space can assist in management of storm water by
providing green infrastructure and a means of absorbing rainwater, slowing its release in to
streams, storing, filtering and slowing storm water runoff down and thus preventing or reducing
flash flooding downstream. Local governments have an opportunity to use their park lands to
benefit the environment and to demonstrate best practices for storm water management.
Maintenance activities include mowing of grassy areas, pruning trees, removing fallen limbs,
mulching, emptying trash receptacles, trail maintenance (repairing asphalt bike path and
walking trails), routine cleaning of park restrooms, and parking lot maintenance.
B. Locations:
Redwood Park is located at 110 Redwood Avenue.
Green spaces are interlaced throughout the community and are maintained by the Parks
Department and local volunteers.
C. Responsible Parties:
The Director of Public Works has authority over all parks. Parks are actively managed by the
City Maintenance Staff. Volunteers maydonate their time to assist in park maintenance.
D. Materials/Supplies acquisition, storage and usage:
The following materials and quantities are typically kept on hand for landscap ing and park
maintenance operations.
Material Maximum Quantity
Kept On Hand For Use Within Storage Location Comments
Mulch Pile 100 yd3 6 Months Asphalt Pad Keep Covered
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Fertilizer 25 Bags 6 Months Garage
Herbicide 10 Gallons 6 Months Garage
Rock 100 Tons 1 Year
E. Waste generation, storage, disposal, recycling:
Wastes generated by landscaping and park maintenance operations are as follows.
Waste
Maximum
Storage
Capacity
Storage
Location
Method Of
Disposal Contractor Frequency
Wood, brush 20 yd3 Yard Chip into
Mulch
Tree
Service 6 Months
Leaves, Grass 10 yd3 Composter Compost into
Mulch None 6 Months
F. Best Management Practices (BMP):
PARK DESIGN AND SITING
• Creating undeveloped, natural open space and preserving established trees and other
natural vegetation, particularly around natural drainage areas, such as creeks, is
recommended. Tree buffers and tall grass filters around streams improve water quality,
slow runoff and prevent erosion. A minimum buffer width of 50 feet is recommended.
• Avoid site development and placing facilities in the flood plain.
• Design park sites to preserve natural resources
such as wetlands and existing natural draining
areas, minimizing their loss andmaintaining existing
trees and a riparian corridor next to creeks to the
degree possible. Minimize creek crossings, and
place them only after consideration of the stream
features to enable natural flow.
• Design landscaping that uses native vegetation to
reduce the need for irrigation, fertilizer and
pesticide. Select plants appropriate for site
conditions for sun, moisture, and soil type.
• Utilize low impact development to minimize iimpervious surfaces, See Chapter 5.
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• In designing storm water drainage facilities, use the following BMPs to improve the water
quality of site drainage and slow the release of water to streams: wet detention ponds,
micro detention basins, wetlands, rain gardens, vegetative filter strips and riparian buffers
along streams, structural filter systems, pervious pavement and green (vegetated) roofs.
The use of swales instead of curbs along roads and parking lots is beneficial to filter
pollutants and reduce the volume and rate of storm water flow. Fact Sheets on storm water
management practices are available from the Stormwater Manager’s Resource Center at
the following web site: http://www.stormwatercenter.net
COMMUNITY PROGRAMS
• Sponsor activities and annual events that involve the
general public, schools, watershed groups, stream
teams, etc., providing hands-on activities that
promote water quality in their adopted parks and
greenways. Typical activities include: field trips,
cleanups, educational programs, restoration projects,
stream monitoring,
storm drain marking, and trail projects.
• Organize or participate in reforestation programs,
planting native trees to buffer streams, create shade,
and beautify parks. Support community volunteer
group efforts in these programs.
• Require pet owners to pickup and properly dispose of
pet waste in parks. Provide pet waste scoop
dispensers and signage in parks to notify visitors of
the requirement.
• Control wild geese populations near lakes with “no feeding the geese” signs and
ordinances. Other techniques to control populations include habitat modification by
increasing shoreline vegetation height, scare tactics or relocation.
PARK/LANDSCAPE MAINTENANCE
• Remove litter and debris regularly.
• Properly dispose of yard waste, for example, by composting. Do not dump yard waste into
creeks.
• Minimize mowing of open space sites, depending on site objectives.
• Mow grass higher and leave grass clippings on the lawn to retain moisture and provide
nutrients.
• Remove exotic invasive vegetation and replace with
native plantings as resources are available.
• Perform soil tests to determine the optimum fertilizer
application rate.
• Apply fertilizer only in cool weather, preferably fall.
Avoid application before a rain, and do not apply
fertilizer at rates higher than indicated in on label
instructions. Apply slow release fertilizers such as
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methylene urea, IDBU or resin coated fertilizer.
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• When disturbing land, such as clearing vegetation and destroying the root zone, employ
BMPs for erosion and sediment control. For details concerning these BMPs, see the
SWPPP link on the following web page: www.stlouisco.com/plan/land_disturbance.html
• All construction or maintenance activities that excavate in or discharge any dredge or fill
material into a “water of the United States”, which includes ditches, creeks, rivers, lakes,
ponds and wetlands, requires a Corps of Engineers 404 permit and a MDNR 401 water
quality certification. Examples of activities that require a permit include: placing cu lverts in
creeks, constructing outfalls, and stream restoration activities. See Appendix 5 -F1 for a
summary of permit requirements.
INTEGRATED PEST MANAGEMENT
• Use Integrated Pest Management (IPM) techniques to minimize the use of pesticides.
Pesticide application should be timed carefully and combined with other pest management
practices. Pests and their development stage should be identified accurately and pesticide
applications made only when necessary, using the least amount needed and the least t oxic
product for adequate pest control.
• Use mechanical controls to keep pests in check, such as species specific, pheromone
based traps. Remove pests by hand. Eliminate conditions favorable to pests and place
barriers to control pests and weeds.
• Use natural, biological controls, when feasible, including natural enemies of pests, such as:
predators, parasites, pathogens, pheromones, and juvenile hormones.
• Reduce the risk of West Nile Virus by reducing stagnant water (mosquito breeding
grounds) caused by cans, containers and tires present in litter and junk piles. Keeping
storm water drainage gutters and drains clean will also reduce conditions suitable for
mosquito breeding. Refer to MU Extension IPM Guides at:
http://ipm.missouri.edu/ipmresources.htm
• Minimize the use of herbicides through an Integrated Pest Management techniques for
weed control. This includes practices that keep plants healthy, such as selecting disease
and pest resistant varieties and maintaining good growing conditions. For turf grass,
prevention of weed infestation begins with practices to promote healthy grass through
proper planting, watering, fertilizing, mowing, aerification, and thatch control. Refer to MU
Extension Publication IPM1009:
http://muextension.missouri.edu/xplor/agguides/pests/ipm1009.htm
PESTICIDE/HERBICIDE USE
• When pesticide or herbicide use is required, select pesticides carefully, avoiding highly
water soluble and very environmentally stable products to minimize potential for leaching
from soils into waterways. Environmentally friendly products readily degrade in the
environment and/or bind to soil particles.
• Consider the vulnerability of the area in which pesticides are applied, avoiding areas with
streams, ponds, sinkholes or wells. Sinkholes are an environmentally sensitive area
because they allow surface water to reach groundwater quickly with little natural soil
filtering.
• Apply pesticides when the target pest is at its most vulnerable life stage, and use site
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specific rather than wholesale application.
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• Read pesticide labels carefully for information and restrictions about the rate, timing, and
placement of the pesticide in that container. Calibrate equipment to apply at the proper
rate. Apply when the threat of rain is low to avoid wasting material and washing pesticide
into the waterways. Carefully calculate how much pesticide concentrate is needed to treat
the specific site with the equipment being used, to eliminate disposal of excess spray mix.
• Store pesticides in their original containers in a cool, well-ventilated building with a concrete
floor. Handle pesticides carefully to avoid spills.
• Dispose of pesticide waste properly, following label instructions.
G. NPDES Permit status:
Not applicable
H. Training:
All employees directly involved in the design, construction and maintenance of landscaping,
trails, green spaces and parks will be trained on the BMPs in this chapter. Affected employees
will likely be: facility engineers, park management, equipment operators, gardeners, laborers,
and contract operations providing these services.
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Chapter 8 - Cleaning and Maintenance of Drainage Channels, Storm Sewers
and Inlet Structures
A. Description of Activities:
The storm drainage system functions to collect and convey surface runoff to receiving waters
during storms in order to prevent flooding. The system consists of improved and unimproved
drainage channels, culverts, bridges, trench drains, gutters, ditches, swales, storm sewers and
storm inlet structures. Maintenance of the system is necessary to ensure it functions
hydraulically as intended. MSD has the major responsibility for the cleaning and maintenance
of improved channels and storm sewers in the Plan Area. Maintenance responsibilities are
defined in MSD’s “Statement of Policy for Maintenance of Stormwater Sewer Systems and
Facilities”. Many of the co-permittees are responsible for maintaining the storm sewer systems
on their property, and on systems not dedicated to the MSD system. In addition, municipalities
are responsible for maintaining bridges, storm culverts, ditches and gutters along the streets in
their city. MSD does maintain road inlets and culverts on systems dedicated to MSD. MSD
does not maintain detention and retention basins or yard swales. Maintenance of basins and
yard swales is the responsibility of property owners, as addressed in MSD’s “Rules and
Regulations and Engineering Design Requirements for Sanitary Sewage and Stormwater
Drainage Facilities”.
B. Locations:
The City’s separate storm system includes XX miles of storm sewers and 2 (est.) miles of open
natural drainage ditches and channels. All structures are identified on facility base maps.
Generally, the inlets on the storm system are not constructed with traps to capture oil, grease
or debris.
C. Responsible Parties:
Metropolitan St. Louis Sewer District
Director of Operations, Telephone: (314)436-7600
Municipality
Public Works Department, Director, Telephone: (314) 521-3500
D. Equipment/Materials/Supplies acquisition, storage and usage:
Cool Valley Public Works Department has 0 Vactors for cleaning inlets. 0 hydr oflush units for
cleaning storm sewers. Hoist trucks and front end loaders for maintenance in channels.
Contractors are used for clearing brush blockages.
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E. Waste generation, storage, disposal, recycling:
Wastes generated from maintenance of the storm drainage system must be disposed of
properly, as indicated in the table. All waste being disposed of in a landfill must not contain
free liquid. Water draining from waste destined for a sanitary landfill is considered wastewater
and must be disposed of in a sanitary sewer system.
Waste Storage Requirements Method Of Disposal Contractor
Catch Basin Grit & Trash
Dewater and Place in
Dumpster with
Wastewater to Sanitary
Sewer
Sanitary Landfill under
Special Waste Permit
Waste Management
Contractor
Sediment from Channel or
Basin
Dewater Controlling Soil
Released
Demolition/Construction
Landfill or Evaluate for
Clean Fill Status; or Wet
to MSD Hauled Waste
Receiving Station
Solid Waste from Storm Sewer
Flushing
Dewater and Place in
Dumpster with
Wastewater to Sanitary
Sewer
Sanitary Landfill Trash Service
Trash and Debris from Channel
Cleaning Dumpster Sanitary Landfill Trash Service
Wastewater Sanitary Sewer
Yard Waste and Trees from
Channel Cleaning
Compost Brush;
Wood to Demolition
Landfill or Firewood to
Residences
Tree Service
F. Best Management Practices (BMP):
(THE FOLLOWING BMP’S ARE RECOMMENDED TO BE IMPLEMENTED TO THE MAXIMUM EXTENT
PRACTICABLE)
GENERAL
• Within budgetary constraints and responsibilities, perform preventative maintenance of
the storm drainage system to remove flow obstructions to reduce flooding and erosion
problems and improve water quality.
• Utilize care in cleaning catch basins, storm sewers and drainage channels, to properly
collect and dispose of waste as indicated in Section E to minimize contaminants
discharged into storm water. Note in the work order the volume of waste collected and
disposed of. Investigate into the source of increased maintenance needs, if excessive.
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When possible, focus cleaning efforts before rainy seasons.
• If storm inlets/catch basins, storm sewers and drainage channels are impacted by non -
storm water discharges or illegal dumping of waste, contact MSD, Division of
Environmental Compliance at 314-436-8710 for investigation and enforcement.
• Implement Phase II public education efforts; public participation efforts to mark inlets
with “No Dumping, Drains to Stream”; or organize public stream clean -up events.
• Identify failing detention or retention basins and report them to MSD Customer Service
at 314-768-6260.
• Comply with St. Louis County or municipal land disturbance ordinances and programs
implemented under the St. Louis County Phase II Storm Water Management Plan. For
projects less than the land disturbance program thresholds, employ BMPs for erosion
and sediment control.
CATCH BASINS
• Prioritize catch basins for routine maintenance on a
specified frequency based on need. Identify areas
for additional maintenance to coincide with litter from
major public events, and based on work orders
generated by customer complaints and/or flooding.
Increase maintenance of inlets that are fully blocked
or 75% full of trash or debris when maintained.
Reduce maintenance of catch basins that do n ot
result in waste generation.
• Consider installation of catch basin inlets in areas
where storm sewers will be known to receive
excessive amounts of litter or sediment.
STORM SEWERS
• Prioritize storm sewers for routine maintenance on a specified frequen cy based on flat
grades, low flow, or review of work orders. Identify areas for additional maintenance
based on work orders generated by customer complaints and/or flooding.
• Utilize care in cleaning storm sewers by flushing, to properly collect waste u sing
debris/sediment traps.
• Seal/repair joints in structures to prevent root intrusion and soil wash -out.
• Minimize or avoid the use of chemical root/vegetation killers, and use the least toxic
alternatives when necessary.
DRAINAGE CHANNELS
• All construction or maintenance activities that excavate in or discharge any dredge or fill
material into a “water of the United States”, which includes ditches, creeks, rivers, lakes,
ponds, and wetlands, requires a Corps of Engineers 404 permit and a MDNR 40 1 water
quality certification. Examples of construction or repair activities requiring a permit
include: sewer creek crossings, outfall structures, stream bank stabilization, and all
channel modifications. See Appendix 5-F1 for a summary of permit requirements.
• Consider downstream conditions prior to spot channel stabilization efforts to avoid
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simply moving problems downstream. Revegetate stabilized areas with native plants
whenever possible, and as soon as possible.
• MSD’s Division of Environmental Compliance will inspect all open drainage channels
under its Illicit Discharge Detection Program, and will notify MSD’s Operations
Department, St. Louis County, the municipality or MoDOT, as applicable, regarding
maintenance needs concerning damaged structures or blockages requiring removal.
MUNICIPAL DETENTION BASINS
• Existing control structures undergoing renovation are modified to the maximum extent
practicable to meet new construction criteria in MSD’s “Rules and Regulations and
Engineering Design Requirements for Sanitary Sewage and Stormwater Drainage
Facilities”.
• Inspect facilities to insure proper operation and maintain as needed, including: trash and
debris removal, vegetation control, vector control, structural and erosion repair, and
sediment removal to restore capacity.
G. NPDES Permit status:
Not applicable
H. Training:
MSD collection system operators, contractors and municipal employees involved in
maintenance of drainage systems will be trained on the BMPs in this chapter.
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Chapter 9 - Operation and Maintenance of Recycling and Composting
Facilities
(NOTE: FOR THE PURPOSES OF THIS CHAPTER, RECYCLING INCLUDES YARD
WASTE/MULCHING/COMPOSTING OPERATIONS AS WELL AS SITES COLLECTING COMMON HOUSEHOLD
RECYCLABLES SUCH AS PAPER, PLASTIC, GLASS, CARDBOARD, ETC.)
A. Description of Activities:
The material collected at the recycling depository includes a variety of materials such as yard
waste, wood, paper, plastic, glass, aluminum, steel, and textiles.
B. Locations:
The facility is located at 100 Signal Hill Drive. The site consists of x.x acres with a xxx square
foot canopy structure. The site is fenced and paved for the general public use of the site.
Most material is collected under the canopy, where material is processed for shipping. Trucks
enter the facility from the City’s Public Works yard to the east and deliver or remove
dumpsters, container trucks, and baled recyclables.
C. Responsible Parties
The Public Works Director has authority over the facility. The facility is actively managed by
the City’s Maintenance Staff and staffed with one fulltime attendant and other Public Works
employees on a temporary basis when needed.
Director of Public Works, Telephone: 521-3500
D. Materials/Supplies acquisition, storage and usage:
Recyclable materials are delivered directly to designated, labeled storage areas. Only
collected recyclable materials are kept on site until a significant quantity is obtained for
shipping. Trash and waste is removed from the site by attendants and not allowed to
accumulate. The following materials and quantities are typically stored onsite:
Recyclable
Maximum
Quantity
Stored
Storage
Location Contractor Handling
Method
Shipment
Frequency
Yard Waste, Brush,
Grass Clippings, Wood Compost, Mulch
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Steel, Tin Cans
Aluminum Cans
Paper – Newspaper,
Phone Book
Catalogs, Magazines
Mixed Paper (junk mail,
boxboard, office paper,
computer paper)
Corrugated Cardboard
Plastic Bottles
(#1 and #2)
Glass
Textiles
(old clothing, draperies
or linens)
E. Waste generation, storage, disposal, recycling:
A small amount of waste is generated by the public. Residents set out their recyclables to be
picked up with regular trash service.
F. Best Management Practices (BMP):
(THE FOLLOWING BMP’S ARE RECOMMENDED TO BE IMPLEMENTED TO THE MAXIMUM EXTENT
PRACTICABLE)
Yard waste composting operations and mulch piles should be located away from storm water
drainage systems, and must not be located within 100 feet of a natural creek or man-made
storm water drainage channel, 300 feet from a water well or 1,000 feet from a sinkhole, under
MDNR permit G97.
Compost/mulch is confined by an impervious base with curbing or otherwise stored to prevent
leachate and runoff from contaminating storm water, and to prevent storm water drainage
running into the pile.
Do not discharge leachate to storm water. As necessary to manage leachate, design a system
to collect and properly treat leachate or incorporate into the early stages of the composti ng
process.
Materials that will pollute storm water are collected under a roofed structure or in an enclosed
dumpster.
The public is notified by signage at the facility that lists materials accepted at the facility and
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those unauthorized items that are not acceptable.
The Police Department routinely patrols the facility to prevent unauthorized dumping.
No fluids are drained into any storm water system.
Every effort is made to ensure the facility is clean and that no unauthorized or contaminated
materials are deposited at the facility.
Materials easily moved by wind must be stored in a manner to prevent the material from
becoming airborne and scattered.
An emergency phone is available at the site for attendants to promptly report any problems to
the supervisors or the Police.
Drums or containers of oil, petroleum products or hazardous materials are not accepted. Also
drums or containers that have previously contained these substances are unacceptable for
recycling at the facility.
G. NPDES Permit status:
1. Recycling Center: Facilities involved in the recycling or composting of materials are
considered “municipal industrial” facilities under Missouri Storm Water Regulations and are
subject to separate NPDES Storm Water (Phase I) permitting requ irements, unless they are
collection points only and completely protected from storm water (run -on and run-off).
Potentially applicable MDNR NPDES General Permits include: R80H for Recycling facilities
and G97 for Yard Waste Compost sites. As noted above, all of the city’s recyclable collection
and handling activities are conducted indoors or are otherwise conducted without exposure to
storm water. Therefore, an NPDES Storm Water permit is not required for the Recycling
Center. A “no-exposure certification”, if required, has been filed with the Missouri Department
of Natural Resources.
H. Training:
All City employees attending to the operation or using the recycling and composting facility will
undergo initial City-provided training upon employment. All employees are regularly instructed
on the use of equipment and handling of problem situations.
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Chapter 10 - Water Quality Impact Assessment of Flood Management
Projects
A. Description of Activities:
New flood management projects located within the co-permittees jurisdiction must be
assessed for impacts on water quality. Existing projects must be assessed for incorporation of
additional water quality protection devices or practices, where feasible. Flood management
projects in the Plan Area can include: regional storm water control (retention basins, detention
basins); flood control levees and associated pump stations; storm water drainage conveyance
capacity improvements; projects involving land buyouts; and designated uses of flood plain
land.
Storm water management projects in both development and re -development will be assessed
for water quality impact, according to MSD’s “Rules and Regulations and Engineering Design
Requirements for Stormwater Drainage Facilities”, which address the Storm Water
Management Plan water quality requirements under MCM 5. Projects within designated levee
districts, such as Monarch-Chesterfield, Earth City and Riverport will be based on the Storm
Water Master Plan for these districts. All flood management projects involving channel
modification will also be assessed for aquatic and water quality impacts through the Corps of
Engineers 404 permit and MDNR 401 water quality certification process.
B. Locations:
Existing projects located within the Plan Area include: NONE
C. Responsible Parties:
All co-permittees that plan, design or install flood management projects are subject to this
chapter. MSD has general responsibility for storm water drainage facilities in the Plan Area.
St. Louis County, municipalities, and property owners have responsibility for the drainage
facilities not dedicated to, and maintained by MSD. St. Louis County and municipalities
maintain control over planning and zoning, land use regulations, and flood plain management
through ordinances.
D. Materials/Supplies acquisition, storage and usage:
Not applicable. For construction phase of work, land disturbance requirements will apply. See
Chapter 2 and 8 for construction and maintenance.
E. Waste generation, storage, disposal, recycling: (EXAMPLE TEXT)
Not applicable. See Chapter 2 and 8 for maintenance.
F. Best Management Practices (BMP):
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(THE FOLLOWING BMP’S ARE RECOMMENDED TO BE IMPLEMENTED TO THE MAXIMUM EXTENT
PRACTICABLE)
• Implement and enforce ordinances and/or procedures requiring that water quality
factors be incorporated into the design and operation of storm water/flood control
structures.
• Inspect existing flood management facilities on a specified frequency to determine water
quality impacts and exploit opportunities for improvement.
• Existing control structures undergoing renovation are modified to the maximum extent
practicable to meet new construction criteria in MSD’s “Rules and Regulations and
Engineering Design Requirements for Sanitary Sewage and Stormwater Drainage
Facilities”.
• Design new flood management projects to prevent or minimize adverse water quality
impacts, exploring alternative programs utilizing non -structural flood damage reduction
and stream bank stabilization measures to the maximum extent practicable, such as
flood proofing houses, and buy outs.
• Use models based on fully developed conditions, and adopt a free board above base
flood elevation for development.
• Identify existing wetlands or other natural open space areas, particularly around
streams, and preserve them from development so they can provide natural attenuation,
retention or detention of runoff.
• Survey watersheds downstream from proposed projects to determine potential water
quality impacts. Design proposed projects to minimize downstream impact.
• Work closely with local governments, environmental organizations and others to
develop multi-use open space corridors along streams which will allow for overbank
floodplain storage.
• Floodplains are preserved to the maximum extent practicable.
• Use non-structural flood management practices to the maximum extent practicable,
utilizing acquisition of flood-prone property where possible.
• Open storm water conveyance systems are used to the maximum extent practicable to
preserve natural conditions and habitat.
• Channel improvement projects are to use natural approaches rather than concrete,
riprap or other “hard” techniques to the maximum extent practicable.
• Inlets and outlets from closed portions of conveyance systems are designed to minimize
scour and erosion.
• Trash racks are provided at outlet structures of detention ponds and other flood control
structures to capture trash and floatables.
• Employ natural solutions and use controls that preserve the hydrology of a site as a first
line of flood control to the maximum extent practicable.
G. NPDES Permit status:
Not applicable
H. Training:
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Employees and contractors responsible for the planning and design of the floo d management
projects identified in Section A will be trained on the BMPs in this chapter. In addition,
employees performing this work will be familiar with MSD’s rules and regulations and
engineering design requirements for storm water drainage facilities.
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APPENDICES
(NUMBERED BASED ON APPLICABLE CHAPTER, SECTION AND THEN SEQUENTIALLY STARTING WITH 1)
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Appendix 1-A1: Sixty One Co-Permittees, St. Louis Metropolitan Small MS4
Phase II Permit #MO-R040005
Ballwin, City of Lakeshire, City of
Bellefontaine Neighbors, City of Manchester, City of
Bel-Nor, Village of Marlborough, Village of
Bel-Ridge, Village of Maryland Heights, City of
Berkeley, City of Moline Acres, City of
Black Jack, City of Normandy, City of
Breckenridge Hills, City of Northwoods, City of
Brentwood, City of Norwood Court, Town of
Bridgeton, City of Oakland, City of
Calverton Park, Village of Olivette, City of
Charlack, City of Overland, City of
Chesterfield, City of Pagedale, City of
Clarkson Valley, City of Richmond Heights, City of
Clayton, City of Riverview, Village of
Cool Valley, City of Rock Hill, City of
Crestwood, City of St. Ann, City of
Creve Coeur, City of St. George, City of
Dellwood, City of St. John, City of
Des Peres, City of Shrewsbury, City of
Ellisville, City of Sunset Hills, City of
Fenton, City of Town and Country, City of
Ferguson, City of Valley Park, City of
Florissant, City of Vinita Park, City of
Frontenac, City of Warson Woods, City of
Glendale, City of Webster Groves, City of
Green Park, City of Wildwood, City of
Hanley Hills, Village of Winchester, City of
Hazelwood, City of Woodson Terrace, City of
Jennings, City of St. Louis County
Kirkwood, City of Metropolitan St. Louis Sewer District
Ladue, City of
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Appendix 1-A2: Excerpts from the St. Louis Metropolitan Small MS4
Phase II Permit MO-R040005
Pertinent to Minimum Control Measure #6
(Pollution Prevention/Good Housekeeping from Municipal Operations)
Permit Section 4.2 lists the six Minimum Control Measures (MCMs) to be addressed by each
co-permittee. Section 4.2.6 specifically addresses the requirements for MCM #6. In addition,
portions of Section 4.1.1 as well as other permit provisions are applicable in addressing the
requirements of MCM #6.
4.2.6 Pollution Prevention/Good Housekeeping for Municipal Operations
4.2.6.1 Permit requirement. The permittee shall:
4.2.6.1.1 Develop and implement an operation and maintenance program that includes a
training component and has the ultimate goal of preventing or reducing pollutant runoff from
municipal operations; and
4.2.6.1.2 Using training materials that are available from EPA, State, or other
organizations, the permittee shall develop training to prevent and reduce storm water pollution
from activities such as park and open space maintenance, fleet and building maintenance, new
construction and land disturbance, and storm water system maintenance.
4.2.6.2 Decision process. The permittee shall document the permittee’s decision
process for the development of a pollution prevention/good housekeeping program for
municipal operations. The permittee’s rational statement shall address both the permittee’s
overall pollution prevention/good housekeeping program and the individual BMPs, measurable
goals, and responsible persons for the program. The rationale statement shall include the
following information, at a minimum:
4.2.6.2.1 The permittee’s operation and maintenance program to prevent or reduce
pollutant runoff from their municipal operations. The permittee shall specifically list the
municipal operations that are impacted by this operation and maintenance program. The
permittee shall also include a list of industrial facilities the permittee owns or operates that are
subject to EPA’s Multi-Sector General permit (MSGP) or individual NPDES permits for
discharges of storm water associated with industrial activity that ultimately discharge to the
permittee’s MS4. The permittee shall include the permit number or a copy of the industrial
application form for each facility.
4.2.6.2.2 Any government employee training program the permittee uses to prevent and
reduce storm water pollution from activities such as park and open space maintenance, fleet
and building maintenance, new construction and land disturbances, and storm water system
maintenance. The permittee shall describe how this training program will be coordinated with
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the outreach programs developed for the pub lic information minimum measure and the illicit
discharge minimum measure.
4.2.6.2.3 The permittee’s program description shall specifically address the following
areas:
4.2.6.2.3.1 Maintenance activities, maintenance schedules, and long term inspection
procedures for controls to reduce floatables and other pollutants to the permittee’s regulated
small MS4.
4.2.6.2.3.2 Controls for reducing or eliminating the discharge of pollutants from streets,
roads, highways, municipal parking lots, maintenance and storage yards, waste transfer
stations, fleet or maintenance shops with outdoor storage areas, and salt/sand storage
locations and snow disposal areas the permittee operates.
4.2.6.2.3.3 Procedures for the proper disposal of waste removed from the permittee ’s MS4
and area of jurisdiction, including dredged material, accumulated sediments, floatables, and
other debris.
4.2.6.2.3.4 Procedures to ensure that new flood management projects are assessed for
impacts on water quality and existing projects are assessed for incorporation of additional
water quality protection devices or practices.
4.2.6.2.4 Identification of the person(s) responsible for overall management and
implementation of their pollution prevention/good housekeeping program and if different, th e
person responsible for each of the BMPs identified for this program.
4.2.6.2.5 How the permittee will evaluate the success of this minimum measure, including
how the permittee selected the measurable goals for each of the BMPs.
Other Permit Sections Pertinent to MCM #6
The following four sections contain pollution control requirements specifically for municipally
owned facilities and were, therefore considered when drafting the O&M Program under MCM
#6.
4.1.1.2 For facilities under the control of the permittee good housekeeping practices shall
be maintained to keep solid waste from entry into waters of the state to the
maximum extent practicable.
4.1.1.3 All fueling facilities under the control of the permittee shall adhere to applicable
federal and state regulations concerning underground storage, above ground
storage, and dispensers, including spill prevention, control and counter
measures.
4.1.1.4 Substances regulated by federal law under the Resource Conservation and
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Recovery Act (RCRA) or the Comprehensive Environmental Response,
Compensation, and Liability Act (CERCLA) that are transported, stored, or used
for maintenance, cleaning or repair by the permittee shall be managed according
to the provisions of RCRA and CERCLA.
4.1.1.5 All paint, solvents, petroleum products and petroleum waste products (except
fuels) under the control of the permittee shall be stored so that these materials
are not exposed to storm water. Sufficient practices of spill prevention, control,
and/or management shall be provided to prevent any spills of these pollutants
from entering a water of the state. Any containment system used to implement
this requirement shall be constructed of materials compatible with the substances
contained and shall also prevent the contamination of groundwater.
Other provisions of the permit also were considered in developing the municipal O&M
program. MCMs #3 (Illicit Discharge Detection and Elimination), #4 (Construction Site Storm
Water Runoff Control) and #5 (Post-Construction Storm Water Management in New
Development and Redevelopment) all can apply to activities conducted by the municipal co-
permittee at municipally owned projects. While the permit requirements for these MCMs are
primarily geared toward the municipal co-permittee exerting control over these activities by the
people living and working within the municipality, logically similar controls must be applied to
municipal activities of the same nature. The municipal co-permittees must ensure that there
are no illicit discharges from municipal facilities, that there are runoff controls in place for
municipal land disturbance projects and that storm water management provisions have been
considered for new or redeveloped municipal properties.
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Appendix 1-A3: Model Operation & Maintenance and Training Program
Work Group
Brian K. McGownd, P.E.
Deputy Director of Public Works/Assistant City
Engineer
City of Chesterfield
Rebecca Edwards
Project Manager
City of Fenton
Mike Moehlenkamp
Fleet Services Supervisor
St. Louis County Department of Highways &
Traffic
Steve Nagle
Director of Planning
East-West Gateway Coordinating Council
Patrick G. Palmer, P.E.
Operations Division Manager
St. Louis County Department of Highways &
Traffic
Tim P. Fischesser
Executive Director
St. Louis County Municipal League
Carl Brown
Government Assistance Unit Chief
Missouri Department of Natural Resources
Environmental Assistance Office
Nancy Morgan, P.E.
Environmental Engineer
Missouri Department of Natural Resources
Mark Koester, P.E.
Principal Engineer
Metropolitan St. Louis Sewer District
Ruth Wallace
Environmental Specialist
Missouri Department of Natural Resources
Environmental Assistance Office
James Gillam
Operations Division Manager
Metropolitan St. Louis Sewer District
Bruce Litzsinger, P.E.
Manager of Environmental Compliance
Metropolitan St. Louis Sewer District
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Appendix 1- A4: Ordinance/Resolution Adopting O&M Program
INSERT COPY OF (MUNICIPALITY NAME) DOCUMENT ADOPTING O&M PROGRAM
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Appendix 1- B1: Policies
INSERT COPIES OF COOL VALLEY POLICIES
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Appendix 2-F1: Sample Recycling Policy
The City of [city name]
Waste Reduction and Recycling Policy Statement
1. Policy
The City of [city name] is committed to good stewardship of the environment. A key element of
that stewardship is the reduction of the amount of solid waste going from the city into landfills.
Solid waste landfills have negative long-range environmental impacts, drain community
resources, and have limited capacity to accept the large quantities of waste generated by our
society today. The City of [name] will make every effort to reduce the solid waste generated at
our facilities. Four methods will be used to implement this policy: source reduction, reuse of
materials, recycling, and purchase of recycled materials. Every City department and individual
employee has a personal responsibility for implementing this policy.
2. Methods to Achieve Solid Waste Reduction
A. Source Reduction: All members of the City staff are responsible for implementing
operational practices that prevent waste from being produced. Examples include printing
reports and documents on both sides of the paper; printing appropriate numbers of
documents; using email rather than printed correspondence; and using products that are
reusable, refillable, repairable, non-toxic, recyclable. Products with reusable, returnable
packaging or items requiring the least possible packaging should be purch ased when
practical. Every effort should be made to prevent excess or unneeded materials from being
purchased.
B. Reuse of Materials: All employees of the City are responsible for reusing products
whenever possible. An example would be to use dishes, glasses, and reusable flatware rather
than disposable paper and plastic ware.
C. Recycling: All City employees are responsible for separating identified recyclable materials
and placing them in appropriate recycling containers. City Recycling includes alum inum cans,
steel cans, batteries, cardboard, glass bottles and jars, hard back books, newspapers, phone
books, catalogs and magazines, brown paper bags, microfiche, news blend, office blend,
plastic bottles (#1 and #2 only), styrofoam and peanuts, toner cartridges, transparencies,
videotapes, and additional items as implemented. Facilities Management Recycling includes
construction/demolition debris, fluorescent light bulbs, motor oil, oil filters, paint, pallets,
refrigerants, scrap metal, solvents, tires, yard waste, and additional items as implemented.
D. Purchase of Recycled Content Material: All City departments are responsible for making efforts to
purchase and use products manufactured from or containing recycled materials. All recycled content
purchases will be reported to the Purchasing Department for record-keeping and reporting purposes.
3. Procedures
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The Director of Public Works will be responsible for implementing this Policy by:
A. Designating departments and employees responsible for the task of developing and
implementing a waste reduction and recycling program in accordance with this Policy.
B. Designating personnel in the Purchasing Department to ensure recycled content products
are purchased when feasible and that criteria for recycled content products are included in the
purchasing bid process.
C. Designating personnel in Facilities Management to ensure that all new construction
includes designated areas for recycling and solid waste collection and removal.
D. Designating personnel to promote recycling and waste reduction in employee events and
materials.
E. Encouraging all contractors to adhere to City recycling policies and procedures.
F. Taking other appropriate action as he/she deems necessary to implem ent this Policy.
Initially approved [date]
Source: http://www.legal.uncc.edu/policies/ps-110.html
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Appendix 2-F2: Sample Green Procurement Policy
The City of [CITY NAME] Green Procurement Policy
1. Policy Objective
The objective of this policy is to provide direction for greening [CITY NAME]’s procurement.
2. Policy Statement
As set out in this Policy, priority in procurement will be given to green products an d services,
including construction.
3. Definitions
Green procurement is the procurement of products and services that have a lesser or reduced
effect on human health and the environment when compared with competing products or
services that serve the same purpose. This comparison may consider raw material
acquisition, production, manufacturing, packaging, distribution, operation, maintenance,
disposal and re-use of the product or service. Green procurement encompasses the concept
of the procurement of goods and services that provide for basic human needs and bring a
better quality of life, while minimizing the use of non -renewable natural resources and toxic
materials and the emission of wastes and pollutants over the life cycle, so as not to jeopardize
the ability of future generations to meet their own needs.
A green product is one that is less harmful than the alternative, having characteristics
including, but not limited to, the following:
• Recyclable - local facilities exist that are capable of recycling the product at the end of
its useful life.
• Biodegradable - will not take a long time to decompose in landfill.
• Contain recycled material (post-consumer recycled content).
• Minimal packaging and/or for which there will be take-back by the manufacturer/supplier
of packaging.
• Reusable or contain reusable parts.
• Minimal content and use of toxic substances in production.
• Produce fewer and/or less polluting by-products during manufacture, distribution, use
and/or disposal.
• Produce the minimal amount of toxic substances during use or at disposal.
• Make efficient use of resources - a product that uses energy, fuel or water more
efficiently or that uses less paper, ink or other resources.
• Durable - have a long economically useful life and/or can be economically repaired or
upgraded.
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Sustainable (green) service - A service acquired from a supplier who has a green operational
policy and whose internal practices promote sustainability.
Threshold - the dollar value of contracts, above which a formal record is kept on file showing
that environmental criteria were considered when requirements were defined.
4. Policy Procedures
Where available and cost effective, green products and services, including construction, that
are of equal or better performance and quality, will be purchased. In determining cost
effectiveness, a department should give consideration to the costs and benefits that accrue, in
the shorter and longer term, to the City of [CITY NAME].
For all bid solicitations (e.g. requests for proposal, requests for quote, and requests for
standing), environmental factors or impact will be considered when requirements are defined.
In addition, bid solicitations will include instructions asking bidders to identify any
environmental benefits over the life cycle of their products and/or services.
Green procurement principles will be applied to construction projects beginning with the design
stage.
Departments will determine the contract dollar value (hereafter referred to as the threshold)
above which a formal record is kept on file showing that environmental criteria were
considered when requirements were defined. In determining their threshold, departments may
wish to consider contracting volumes, training requirements and budgetary constraints.
For all procurement, consideration will be given to environmental factors or impact. For
requirements:
A. Valued in excess of a threshold, a formal record of the evaluation will be kept on file. In the
case where a green purchase was made, the record will list the environmental criteria included
in the bid solicitation. In the case where a green product or service was not acquired, the
reasons for not selecting an environmentally preferable product or service will be documented.
See Documentation Form attached.
B. Valued at or below the threshold, a formal record of the evaluation is not required.
Each department will be responsible for ensuring that its personnel have sufficient training
about the environment and green procurement to carry out the directives in this policy.
5. Guidelines
5.1 The life cycle approach and the environment
Applying the four R’s (Reduce, Reuse, Recycle and Recover) at each phase of the material
management life cycle helps protect the environment and reduce costs.
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5.1.1 Planning
During the planning process, managers will assess the need for a given purchase and,
whenever possible,
• Reduce consumption.
• Consider acquiring second-hand or used material.
• Consider products that are less damaging to the environment, such as those made with
resource-saving materials or processes.
• Consider the environmental cost of purchases during each phase of the life cycle.
5.1.2 Acquisition
As much as practical, products selected should:
• Be reusable and contain reusable parts.
• Be recyclable and contain recycled materials (e.g. recycled paper, reconditioned laser
printer cartridges).
• Include second-hand or used material.
• Use resources and energy efficiently.
• Have a long service life or be economical to repair.
• Contain minimal packaging, or use returnable or reusable shipping containers.
• Be non-toxic and non-polluting.
5.1.3 Maintenance and Operations
A. Ensure that products are properly maintained and used. This will extend the service life of a
product. When economically feasible, equipment should be repaired, refinished and reused.
B. Hazardous material must be shipped, stored and handled in accordance with applicable
federal and provincial law, and regulations.
5.1.4 Disposal
Consider alternatives to disposing of material, such as reusing, recycling or recovering it. Try
to minimize the amount of waste generated.
5.2 Combine environmental actions with fiscal responsibility
A. Government interest in economy of operations is fully compatible with environmental
interests. Many sound environmental practices have resulted in savings.
B. Most environmental actions can be phased in gradually without additional cost. When these
actions may entail additional costs for the government, managers should accommodate them
within existing budgets.
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C. Government should lead by example. In light of the volume of government procurement,
the government can play a significant role in promoting the development and marketing of
green products and services. As demand for these products and services increase their prices
will drop and become more affordable to all consumers.
Source: http://www.pwgsc.gc.ca/sd-env/sds2003/
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Documentation Form for the Evaluation of Environmental Factors
Fill in one of the two sections below:
A) Green Product/Service was purchased.
List all green criteria used in the bid solicitation:
B) Green Product/Service was not purchased.
List reasons why green product/service was not purchased:
□
No green alternative.
□
Did not meet operational requirement. Specify in what way: _________________
□
Upfront costs for green product were higher than for non-green ones and no
additional funds were available.
□
Other. Provide details: ______________________________________________
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Appendix 2-F3: St. Louis County Waste Management Code
St. Louis County Waste Management Code, Chapter 607, contains provisions related to the proper
disposal of trash. The County Waste Management Code is effective in all portions of incorporated or
unincorporated St. Louis County, except municipalities with populations of 75,000 a nd an organized
health department. Municipalities are encouraged to enact ordinances that correspond to those portions
of the Code included in this appendix.
Waste Management Code, Chapter 607
SUBCHAPTER B. DUTIES IMPOSED IN
CONNECTION WITH THE GENERATION
AND STORAGE OF WASTE
ON PREMISES
607.050 On Whom Duties Are Imposed for Storage of Waste.
Sections 607.050 through 607.140 describe conditions that shall exist, conditions that must not
exist, actions that must be taken and actions that must not be taken, all in connection with the
storage of waste upon the premises where the waste is generated. The persons responsible
for seeing that the conditions and actions described in Sections 607.050 through 607.140 are
complied with depends upon the type of premises involved, and are described as follows:
A. On residential premises or premises with mixed used but containing at least one (1)
residence, it shall be the responsibility of every person the age of seventeen (17) years or
older residing on the premises to see that Sections 607.050 through 607.140 are satisfied with
respect to disposal of residential waste generated on the premises, regardless of whether the
noncompliance was occasioned by the action or failure to act of the person cha rged.
B. On nonresidential premises or premises with mixed uses but containing at least one (1)
nonresidential use, it shall be the responsibility of the person in possession of the premises as
well as each manager, agent or employee of a person in posse ssion of the premises to see
that Sections 607.050 through 607.140 are satisfied with respect to disposal of nonresidential
waste generated on the premises, regardless of whether the noncompliance was occasioned
by the action or failure to act of the person charged.
C. On all premises, it shall be a violation of Section 607.050 through 607.140 to do any act
which would make the premises fail to comply with such sections, whether or not the person
charged resides on the premises or is in possession of the premises or is the agent or
employee of a person in possession of the premises.
(O. No. 13320, 6-5-87)
607.060 Waste Containers Required.
There shall be provided on each premises where waste is generated, whether such premises
are residential or nonresidential, containers for the storage of all waste except bulky waste and
demolition and construction waste, the containers shall conform to the requirements of Section
607.070 if for use on residential premises and shall conform to the requirements of
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Section 607.080 if for use on nonresidential premises. The containers must be sufficient in
quantity and size to hold all waste (except bulky waste and demolition and construction waste
generated on the premises) between the times when the waste is generated and removed
from the containers and the premises. The premises surrounding the containers shall be
maintained in a neat, clean, odor free and sanitary condition.
(O. No. 13320, 6-5-87)
607.070 Waste Containers for Residential Waste Other Than From Multifamily Residences of
Four or More Units--Use of Waste Containers required.
Residential waste, other than residential waste from multifamily premises of four (4) or more
units or from premises having mixed uses but containing at least one (1) residence, s hall be
deposited and stored in galvanized metal containers or rubber, fiberglass or plastic containers
which are nonabsorbent and do not become brittle in cold weather or in plastic containers or
plastic bags not less than twenty (20) gallons nor more tha n thirty-five (35) gallons in capacity
unless container size is approved otherwise by the hauler. Containers shall be leak -proof,
waterproof, and fly-tight and shall be properly covered at all times except when depositing
waste therein or removing waste therefrom. The containers, other than plastic bags, shall have
handles, bails or other suitable lifting devices or features. Containers shall be of a type
originally manufactured for residential waste, with tapered sides for easy emptying. They shall
be lightweight and of sturdy construction. Plastic bags used to contain waste shall be of
sufficient strength to be used one (1) time to store the waste actually deposited therein. Waste
Generated on the premises shall be deposited in the containers and shall be deposited in such
a manner that the area surrounding the containers and the exterior of any such containers is
and remain clean, neat, odor free and sanitary. This section does not apply to demolition and
construction waste.
(O. No. 15601, 8-1-91)
607.080 Waste containers for Nonresidential Waste and Waste From Multifamily Residences
of Four or More Units; Use of Waste Containers Required.
Nonresidential waste and residential waste from multifamily residences of four (4) or more
units, as well as residential waste from premises having mixed uses but which contain at least
one (1) residence, shall be stored in container(s) which are spill -proof, leak-proof, and shall be
covered at all times except when depositing waste therein or removing waste therefrom. Waste
generated on the premises shall be deposited in the container(s) and shall be deposited in
such a manner that the area surrounding the container(s) and the exterior of any such
container(s) is and remains clean, neat, odor free and sanitary. This section does not apply to
demolition and construction waste.
(O. No. 13320, 6-5-87)
607.100 Waste Not To Be Deposited in Waste Container of Another.
No person shall deposit waste in any waste container other than a waste container on the
premises where the waste was generated without the consent of the owner of such waste
container.
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(O. No. 13320, 6-5-87)
607.120 Placement of Waste Containe rs and Bulky Noncontainerized Waste.
1. Residential waste containers and bulky/noncontainerized waste shall be stored upon the
premises where the waste was generated, unless written permission for storage on other
premises is obtained from a person having authority to grant such permission. The containers
and bulky/noncontainerized waste shall be stored in a place not visible from the street which
the residential structure faces. Waste containers used for the storage of residential waste and
bulky/noncontainerized waste, other than waste from multifamily premises having four (4) or
more units, shall be placed at the curb or mailbox or back yard or side yard as required by the
hauler for collection. Waste containers and bulky/noncontainerized waste shall be placed at
the collection point if in front of the premises or on a street not earlier than dusk of the day prior
to the regularly scheduled collection day. Waste containers shall be returned to their
appropriate storage places following collection and on the same day as collection.
2. Nonresidential solid waste containers and bulky/noncontainerized waste generated on
nonresidential premises shall be stored upon the nonresidential premises where the waste was
generated, unless written permission for storage on other premises is obtained from a person
having authority to grant such permission.
(O. No. 17291, 11-11-94)
607.130 Demolition and Construction Waste.
1. No person shall store in or place additional demolition and construction waste in a mobile
waste container which is full.
2. The person who has requested that a mobile waste container be located to receive
demolition or construction waste or any person who may lawfully require that a mobile waste
container be removed from a site shall require that a mobile waste container which is full be
removed and the waste deposited at an appropriate facility.
3. Demolition and construction waste shall be stored in a secure container or otherwise
secured to prevent dispersal by the wind.
4. Demolition and construction waste shall not be stored in a floodplain unless it is stored in a
waste container.
5. A mobile waste container is full if no more waste can be added to it without making it unsafe
or illegal to transport.
(O. No. 13320, 6-5-87)
607.140 Waste To Be Collected.
If waste collection service is reasonably available for a premises where waste is generated, an
agreement shall be in effect for the collection of waste generated on the premises with a waste
collection service having waste collection vehicles licensed by the Director for the collection,
transportation, and disposal of waste.
(O. No. 15601, 8-1-91)
607.145 Frequency of Pickup.
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Residential and Commercial Waste: Waste collection service shall provide for the collection of
all solid waste (other than demolition and construction waste and bulky residential waste) from
the premises not less often than once per week. In the event no waste hauler serves the area,
waste (other than demolition and construction and bulky residential waste) must be removed
from the premises not less often than once per week, and deposited at a licensed sanitary
landfill, waste processing facility or transfer station, unless exempted from the requirement of
weekly pickup under the terms of Section 607.145.
(O. No. 15601, 8-1-91)
607.270 Waste Spilled During Transportation.
Waste spilled or blown during the transportation of waste shall be recollected immediately if
such recollection may be made safely, and as soon as possible otherwise, and placed in the
transportation vehicle or mobile waste container by the employees of th e waste hauler, or by
the person transporting the waste, whether or not such person is engaged in the business of
hauling waste and whether or not the vehicle is licensed or required to be licensed under this
chapter.
(O. No. 13320, 6-5-87)
607.280 Waste Spilled by Hauler During Collection.
Waste spilled or blown during the movement of waste from the point of collection into the
waste transportation vehicle shall be recollected and placed in the transportation vehicle by the
waste hauler whether or not the waste was placed by the generator in proper waste containers
as required by this chapter. Waste haulers are not obligated to collect waste which has not
been placed in waste containers as required by this chapter.
(O. No. 13320, 6-5-87)
SUBCHAPTER D. DISPOSAL OF WASTE
607.310 Waste Must Be Deposited at a Licensed Landfill, Licensed Waste Processing Facility
or Licensed Transfer Station.
1. No person shall deposit waste on any real estate or permit waste to be deposited on any
real estate for which there is no valid and current license, and, if appropriate, renewal license,
for the operation of a waste processing facility or transfer station issued by the Director;…
(O. No. 15601, 8-1-91)
607.320 Presumption Regarding Waste Not Deposited at Licensed Facility.
In a prosecution of a defendant for violation of Section 607.310, the prosecution shall make a
prima facie case upon a showing that:
A. Waste has been deposited on real estate which does not have the license described in
Section 607.310; and
B. The waste so deposited contains at least three (3) pieces of waste which uniquely identify
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the defendant.
(O. No. 13320, 6-5-87)
607.810 Wastes Not To Be Deposited in Waters Within County.
No person shall dump or deposit or permit dumping or depositing of any wastes into any
stream, spring, body of surface or ground water, whether natural or artificial, within the
boundaries of St. Louis County except as provided herein or as allowed by another jurisdiction
concerned with matters of health and having the authority to regulate such dumping or
depositing and which in fact regulates such dumping or depositing.
(O. No. 13320, 6-5-87)
607.940 Citation for Violations of Provisions of This Chapter; Form of Citation.
1. Any person designated by the Director to enforce provisions of this chapter may issue a
citation to any person when having probable cause to believe that such person has committed
a violation of Sections 607.060, 607.070, 607.080, 607.090, 607.100, 607.110, 607.120,
607.130, 607.140, 607.150, 607.210, 607.230, 607.240, 607.250, 607.260, 607.270, 607.280,
607.290, 607.300, 607.310, 607.340, 607.720, 607.730, 607.740, 607.750, 607.76 0, 607.800,
607.810, 607.1020, 607.1040, 607.1155, 607.1200 and 607.1205 of this chapter. The citation
shall require the person in whose name the citation is issued to pay a fine either by mail or in
person at the offices of the Department of Health within ten (10) days after receipt of the
citation.
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Appendix 2-F4: Model – Litter Control Ordinance
Description:
Litter found throughout our community often finds its way into our streams, rivers and
lakes and detracts from our quality of life. Pollutants carried into our streams, rivers, and
lakes by litter, diminish the quality of our water and its aquatic resources. Litter control
ordinances provide a prohibition against littering and provide an enforcement
mechanism with penalties for dealing with those found littering. This ordinance is
modeled on the “Georgia Litter Control Law” (O.C.G.A. § 16-7-40 et. seq.).
Note: Italicized text should be interpreted as comments, instructions, or information to assist
the local government in tailoring the ordinance. This text would not appear in a final adopted
ordinance.
1. General Provisions
1.1 Purpose and Intent
THE PURPOSE OF THIS ORDINANCE IS TO PROTECT THE PUBLIC HEALTH, SAFETY, ENVIRONMENT, AND
GENERAL WELFARE THROUGH THE REGULATION AND PREVENTION OF LITTER. THE OBJECTIVES OF THIS
ORDINANCE ARE:
A. PROVIDE FOR UNIFORM PROHIBITION THROUGHOUT THE (JURISDICTION) OF ANY AND ALL LITTERING
ON PUBLIC OR PRIVATE PROPERTY; AND,
B. Prevent the desecration of the beauty and quality of life of the (jurisdiction) and prevent
harm to the public health, safety, environment, and general welfare, including the degradation
of water and aquatic resources caused by litter.
1.2. Applicability
This ordinance shall apply to all public and private property within the (jurisdiction).
1.3. Compatibility with Other Regulations
THIS ORDINANCE IS NOT INTENDED TO INTERFERE WITH, ABROGATE, OR ANNUL ANY OTHER ORDINANCE,
RULE OR REGULATION, STATURE, OR OTHER PROVISION OF LAW. THE REQUIREMENTS OF THIS
ORDINANCE SHOULD BE CONSIDERED MINIMUM REQUIREMENTS, AND WHERE ANY PROVISION OF THIS
ORDINANCE IMPOSES RESTRICTIONS DIFFERENT FROM THOSE IMPOSED BY ANY OTHER ORDINANCE,
RULE OR REGULATION, OR OTHER PROVISION OF LAW, WHICHEVER PROVISIONS ARE MORE RESTRICTIVE
OR IMPOSE HIGHER PROTECTIVE STANDARDS FOR HUMAN HEALTH OR THE ENVIRONMENT SHALL BE
CONSIDERED TO TAKE PRECEDENCE.
1.4. Severability
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If the provisions of any article, section, subsection, paragraph, subdivision or clause of this
ordinance shall be judged invalid by a court of competent jurisdiction, such order of judgment
shall not affect or invalidate the remainder of any article, section, subsection, paragraph,
subdivision or clause of this ordinance.
2. Definitions
“Litter” means any organic or inorganic waste material, rubbish, refuse, garbage, trash, hulls,
peelings, debris, grass, weeds, ashes, sand, gravel, slag, brickbats, metal, plastic, and glass
containers, broken glass, dead animals or intentionally or unintentionally discarded materials of
every kind and description.
“Public or private property” means the right of way of any road or highway; any body of
water or watercourse or the shores or beaches thereof; any park, playground, building, refuge,
or conservation or recreation area; timberlands or forests; and residential, commercial,
industrial, or farm properties.
3. Prohibition Against Littering Public or Private Property or Waters
It shall be unlawful for any person or persons to dump, deposit, throw or leave or to cause or
permit the dumping, depositing, placing, throwing or leaving of litter on any public or private
property in this (jurisdiction) or any waters in this (jurisdiction) unless:
A. THE PROPERTY IS DESIGNATED BY THE STATE OR BY ANY OF ITS AGENCIES OR POLITICAL
SUBDIVISIONS FOR THE DISPOSAL OF SUCH LITTER , AND SUCH PERSON IS AUTHORIZED BY THE PROPER
PUBLIC AUTHORITY TO USE SUCH PROPERTY;
B. The litter is placed into a receptacle or container installed on such property; or,
C. The person is the owner or tenant in lawful possession of such property, or has first
obtained consent of the owner or tenant in lawful possession, or unless the act is done
under the personal direction of the owner or tenant, all in a manner consisten t with the
public welfare.
4. Vehicle Loads Causing Litter
No person shall operate any motor vehicle with a load on or in such vehicle unless the load on
or in such vehicle is adequately secured to prevent the dropping or shifting of materials from
such load onto the roadway.
5. Violations, Enforcement and Penalties
5.1 Violations
It shall be unlawful for any person to violate any provision or fail to comply with any of the
requirements of this ordinance. Any person who has violated or continues to violate the
provisions of this ordinance, may be subject to the enforcement actions outlined in this section
or may be restrained by injunction or otherwise sentenced in a manner provided by law.
5.2 Evidence
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A. Whenever litter is thrown, deposited, dropped or dumped from any motor vehicle, boat,
airplane, or other conveyance in violation of this ordinance, it shall be prima facie evidence that
the operator of the conveyance has violated this ordinance.
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B. Except as provided in subsection (1), whenever any litter which is dumped, deposited,
thrown or left on public or private property in violation of this ordinance is discovered to contain
any article or articles, including but not limited to letters, bills, publications or other writing
which display the name of the person thereon in such a manner as to indicate that the article
belongs or belonged to such person, it shall be a rebuttable presumption that such person has
violated this ordinance.
5.3 Penalties
Any person who violates this ordinance shall be guilty of a violation and, upon conviction
thereof, shall be punished as follows:
A. BY A FINE OF NOT LESS THAN $25 AND NOT MORE THAN $1,000; AND
B. In addition to the fine set out in subsection 1 above, the violator shall reimburse the
(jurisdiction) for the reasonable cost of removing the litter when the litter is or is
ordered removed by the (jurisdiction); and
C. 1. In the sound discretion of the court, the person may be directed to pick up and remove
from any public street or highway or public right-of way for a distance not to exceed one
mile any litter he has deposited and any and all litter deposited thereon by anyone else
prior to the date of execution of sentence; or
2. In the sound discretion of the court, the person may be directed to pick up and remove
any and all litter from any public property, private right-of-way, or with prior permission
of the legal owner or tenant in lawful possession of such property, any private property
upon which it can be established by competent evidence that he has deposited litter.
Pick up and removal shall include any and all litter deposited thereon by anyone prior to
the date of execution of sentence; and,
D. The court may publish the names of persons convicted of violating this ordinance.
5.4 Enforcement
All law enforcement agencies, officers and officials of this state or any political subdivision
thereof, or any enforcement agency, officer or any official of any commi ssion of this state or
any political subdivision thereof, are hereby authorized, empowered and directed to enforce
compliance with this article.
Official Code of Georgia § 16-7-43(d) provides procedures for local governments to appoint
individuals, in addition to traditional law enforcement officials, to enforce the provisions of this
ordinance. The District encourages the use of this procedure to appoint individuals involved in
public works, code enforcement (including local environmental code enforcemen t officers) or
building inspection to carry out this important function.
Source: http://www.northgeorgiawater.com/pdfs/modordfin-task10/tab6.pdf
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Additional Ordinance Provisions:
Handbills – Handbills on public or private property. No person shall tack, stick, paste, or fasten
in any manner any handbill or flier containing commercial advertising of a written, printed, or
pictorial nature upon any public property within the limits of the City; or, on any motor vehicle,
dwelling, or other structure within the City without the consent of the owner or occupant
thereof. Such violation constitutes a public nuisance.
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Appendix 2-F5: Model – Nuisance Ordinance for Debris and Yard Waste
AN ORDINANCE AUTHORIZING THE DECLARATION OF
PUBLIC NUISANCE FOR AN ACCUMULATION OF
DEBRIS ON PROPERTY; PROVIDING FOR REMOVAL
AND ABATEMENT OF SAME; AND RECOVERY OF
COSTS RELATING THERETO.
WHEREAS, Sec. 67.398, RSMo. Supp 1997 provides the governing b ody of a city, town or
village in St. Louis County may declare the presence of certain debris and conditions upon
any property to be a nuisance, and that the costs incurred by the city town or village in
removing or abating such nuisance conditions may be recovered from the owner of the
offending property either by including such costs in a special tax bill or by having such costs
added to the annual real estate tax bill for the property; and
WHEREAS, it is the desire and intent of the [Board of Aldermen/Trustees or City Council] to
enhance and protect the public health and safety by providing a process for declaration of
such public nuisances and recovery of the costs of removal or abatement of same:
NOW, THEREFORE, BE IT ORDAINED BY THE [Board of Aldermen/Trustees or City
Council] OF THE [City or Village] of ________________ AS FOLLOWS:
Section 1.
Any lot or land shall be a public nuisance if it has the presence of debris of any kind
including, but not limited to, weed cuttings, cut and fallen trees and shrubs, overgrown
vegetation and noxious weeds which are seven inches or more in height, rubbish and trash,
lumber not piled or stacked twelve inches off the ground, rocks or bricks, tin, steel, parts of
derelict cars or trucks, broken furniture, any flammable material which may endanger public
safety or any material which is unhealthy or unsafe and declared to be a public nuisance.
Section 2.
When a public nuisance as described above exists, the [code enforcement official] shall
so declare and give written notice to the owner of the property by personal service, certified
mail, if otherwise unsuccessful, by publication. Such notice shall, at a minimum:
1. declare that a public nuisance exists;
2. describe the condition which constitute such nuisance;
3. order the removal or abatement of such condition within seven days from the date
of service of such notice;
4. inform the owner that he or she may file a written request for a hearing before the
[code enforcement official] on the question of whether a nuisance exists upon such
property; and
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5. state that if the owner fails to begin removing the nuisance within time allowed, or
upon failure to pursue the removal of such nuisance without unnecessary d elay, the
[code enforcement official] shall cause the condition which constitutes the nuisance
to be removed or abated and that the cost of such removal or abatement may be
included in a special tax bill or added to the annual real estate tax bill for the
property and collected in the same manner and procedure for collecting real estate
taxes.
Section 3.
If the owner of such property fails to begin removing the nuisance within the time
allowed, or upon failure to pursue the removal of such nuisance without unnecessary
delay, the [code enforcement official] shall cause the condition which constitutes t he
nuisance to be removed. If the [code enforcement official] causes such condition to be
removed or abated, the cost of such removal shall be certified to the [city or village] clerk
and/or [finance officer] who shall cause the certified cost to be inclu ded in a special tax
bill or added to the annual real estate tax bill, at the collecting official's option, for the
property and the certified cost shall be collected by the [city or village] collector or other
official collecting taxes in the same manner and procedure for collecting real estate
taxes. If the certified cost is not paid, the tax bill shall be considered delinquent, and the
collection of the delinquent bill shall be governed by the laws governing delinquent and
back taxes. The tax bill from the date of its issuance shall be deemed a personal debt
against the owner and shall also be a lien on the property until paid.
Section 4.
This Ordinance shall be in full force and effect from and after its passage and
approval by the Mayor.
PASSED BY THE BOARD OF ALDERMEN FOR THE CITY OF _________,
MISSOURI, THIS _____ DAY OF _________, 2000.
Source: St. Louis County Municipal League
Additional Ordinance provision for pet waste as a nuisance, in Section 2:
A dog, cat, puppy, kitten or other animal creates a nuisance if it soils, defiles or defecates on
urban property other than property of a person responsible for the animal unless such waste is
immediately removed by a person responsible for the animal and deposited in a waste
container or buried on ground where the person responsible for the animal has permission or
the right to bury it.
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Appendix 2-F6: Model – Animal Waste Ordinance
WHEREAS, accumulation of fecal matter from animals on public property is an unsanitary and
noisome condition which interferes with the public's use of sidewalks, parks and other public
areas; and
WHEREAS, creation of this nuisance rests with animal owners who do not remove their
animals' feces in public areas;
NOW, THEREFORE, THE CITY OF ____ DOES ORDAIN;
Section 1. Language in the City of ___ Municipal Code, Chapter 6.06, is hereby added to read
as follows:
Chapter 6.06 ANIMAL FECAL MATTER
Sections:
6.06.010 Control of Animals
6.06.020 Removing Fecal Matter
6.06.030 Possession of Removal Equipment
6.06.040 Set Aside Areas
6.06.050 Violation - Penalty
6.06.010 Control of Animals. It is unlawful for the owner of any animal to cause, permit or allow
such animal to roam, run, stray, or to be away from the premises of such owner unless the
animal is under tethered control.
6.06.020 Removing Fecal Matter. It is unlawful for the owner or handler of any animal to fail to
remove fecal matter deposited by their animal on public property or public easement, or privat e
property of another, before the owner leaves the immediate area where the fecal matter was
deposited.
6.06.030 Possession of Removal Equipment. It is unlawful for the owner or handler of any
animal to fail to have in their possession the equipment necessary to remove their animal's
fecal matter when accompanied by said animal on public property or public easement, or
private property of another.
6.06.040 Set Aside Areas. The above prohibitions shall not extend to areas set aside and
designated by the city as areas where animals can be off-leash for exercise or training.
6.06.050 Violation - Penalty. Any person violating this section is guilty of a misdemeanor, and
upon conviction shall be punished:
A. By a fine of not less than twenty dollars or more than fifty dollars for the first offense;
or
B. For the second and subsequent offenses occurring within one year, a fine of not less
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than thirty dollars or more than one hundred dollars.
The minimum fines provided for by this section are mandatory minimums, and shall not be
either suspended or deferred except in cases in which the court determines that the defendant
is indigent and unable to pay any fine.
Section 2. Severability. If any section, subsection, paragraph, sentence, clause, or phrase of
this ordinance is declared unconstitutional or invalid for any reason, such decision shall not
affect the validity of the remaining portions of this ordinance.
Source: http://www.mrsc.org/ords/G54-651.aspx
Additional Ordinance Provisions:
For accumulation of waste on property –
It is unlawful for an owner to allow the accumulation of animal feces in any open area, run,
cage or yard wherein animals are kept and to fail to remove or dispose of feces to avoid
offensive odors or unsanitary conditions creating a nuisance as determined by the city staff
(OR DESIGNATED MUNICIPAL REPRESENTATIVE). It is unlawful for an owner to allow pet waste to
be deposited, or cause unsanitary conditions resulting from pet waste, on an adjacent property
through storm water runoff or washing off areas where animals are kept.
For accumulation of Manure –
No organic material, furnishing food or a breeding place for flies, will be allowed to accumulate
on the premises. Manure shall not be allowed to accumulate and must be cleaned up on a
regular basis sufficient to maintain a sanitary condition satisfactory to the city staff (OR
DESIGNATED MUNICIPAL REPRESENTATIVE).
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Appendix 5-F1: Corps of Engineers 404 Permit & MDNR 401 Certification
All construction or maintenance activities that excavate in or discharge any dredge or fill
material into a “water of the United States” requires a Corps of Engineers 404 permit and a
MDNR 401 water quality certification. The permitting and certification process is shared
between the Corps and the MDNR.
If you are considering a project that may involve placing materials in a lake, river, stream, ditch
or wetland (including dry streams, ditches or wetlands) contact the Corps to find out if the
project you are planning is in jurisdictional waters and is a regulated activity. The Corps has
the sole authority to determine whether the activity is regulated; whether a site specific,
individual 404 permit is required, or whether a Nationwide Permit (NWP) applie s for projects
with minor impacts. If a NWP does apply, contacting the Corps of Engineers is recommended
to determine thresholds for notification under the NWP, and to obtain additional regional
requirements imposed by the Corps’ St. Louis Office.
The MDNR requires any project that needs a 404 Permit from the Corps (individual or NWP) to
also obtain a 401 Water Quality Certification (401 Certification) from MDNR. The 401
Certification is verification by the state that the project will not violate water quality standards.
The department may require actions on projects to protect water quality in the form of
certification conditions. For some of the NWPs, the MDNR has published their conditions that
must be met in addition to the NWP conditions.
After you contact the Corps about your project and, if applicable, submit an application, they
will send you a letter authorizing your project under a particular permit. If the Corp's letter to
you indicates that you must obtain an individual 401 certification, you must send an application
to MDNR also. If they state that MDNR has ‘conditionally certified’ your activity, and have
enclosed certification conditions, then nothing further is needed.
Questions about permit applicability and procedures for obtaining individual permits can be
found by calling the Corps of Engineers at 314-331-8575 or 314-331-8186. Permit application
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forms and procedures for applying to the Corps and the MDNR can be found on the following
web pages:
http://www.mvs.usace.army.mil/permits/permitap.htm.
http://www.dnr.mo.gov/wpscd/wpcp/401/wpcp-401.htm#general.
The following is a list of NWPs commonly applicable to municipal operations. For most of
these NWPs, the MDNR has conditionally certified these activities. The NWPs will list
numerous thresholds for applicability and notification in terms of linear feet and acreage of the
project.
• NWP 3 Maintenance – repair or replacement of an existing structure, and removal of
accumulated sediment or placement of riprap to protect a structure.
• NWP 7 Outfall Structures – construction of new outfall and intake structures, and
removal of accumulated sediment blocking these structures.
• NWP 12 Utility Lines – construction, maintenance, and repair of utility lines (sewer,
water, electric or communication), including outfalls and excavations for the utility line.
• NWP 13 Bank Stabilization – stabilization projects for erosion protection.
• NWP 14 Linear Transportation – construction or modification of linear transportation
crossings, such as bridges and culverts for roads and trails.
• NWP 27 Stream and Wetland Restoration Activities – activities associated with the
restoration of former waters, or the enhancement or creation of wetlands and riparian
areas, or the restoration and enhancement of streams, including activities associated
with flow modification, habitat and vegetation.
• NWP 31 Maintenance of Existing Flood Control Facilities – dredge or fill activities
associated with maintaining existing flood control facilities such as retention/detention
basins and channels.
• NWP 41 Reshaping Existing Drainage Ditches – dredge or fill activities to modify the
cross-sectional configuration of drainage ditches, not modifying capacity beyond the
original design.
• NWP 43 Storm Water Management – construction, maintenance, and dredging of storm
water management facilities, such as ponds, detention/retention basins, outfalls, and
emergency spillways.
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Glossary: Definitions of Terms Used In This Document
The following definitions are specific to the St. Louis Metropolitan Small MS4 and to the
(municipality).
Best Management Practice (BMP) means: Schedules of activities, prohibitions of practices,
maintenance procedures and other management practices to prevent or reduce the pollution of
streams within St. Louis County from urban runoff. BMPs also include treatment requirements,
operating procedures and practices to control site runoff, spillage or leaks, sludge or waste
disposal or drainage from raw material storage. BMPs may be structural or non -structural.
(This definition adapted from Section (1)(C)1 of Missouri Storm Water Regulation 10 CSR 20 -
6.200)
Coordinating Authority means: The municipal entity, which is one of the co-permittees to a
state issued Phase II storm water permit, that is recognized by the Missouri Department of
Natural Resources (MDNR) as the party which will coordinate the activities of all of the co-
permittees in meeting the requirements of the permit. For the St. Louis County Plan Area, the
Metropolitan St. Louis Sewer District (MSD) has been identified in the permit as the
coordinating authority for the 61 co-permittees. One of the coordinating authority’s
responsibilities is to prepare and submit an annual report to the MDNR on the status of
compliance of all 61 co-permittees with the permit and approved SWMP.
Co-permittee means: An individual permittee named in a Phase II permit that is issued to
multiple entities within a single urbanized area such as St. Louis County. Within the St. Louis
County Plan Area, each of the 61 co-permittees, is responsible only for the permit conditions
relating to the discharges for which it is the owner or operator and for carrying out the
responsibilities for which it has been designated within the SWMP. The co -permittees share in
the financial and administrative responsibilities under the permit and cooperate with each other
and with the coordinating authority in complying with the terms of the permit and with meeting
the commitments in the SWMP. The co-permittees are listed in Appendix 1-A1.
Green Procurement - the procurement of products and services that have a lesser or reduced
effect on human health and the environment when compared with competing products or
services that serve the same purpose.
Green Product – a product that is less harmful than the next best alternative, having
characteristics such as:
• Being recyclable.
• Being biodegradable.
• Containing recycled material (post-consumer recycled content).
• Having minimal packaging and/or for which there will be take -back by the
manufacturer/supplier of packaging.
• Being reusable or contain reusable parts.
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• Having minimal content and use of toxic substances in production.
• Producing fewer and/or less polluting by-products during manufacture, distribution, use
and/or disposal.
• Producing the minimal amount of toxic substances during use or at disposal.
• Making efficient use of resources - a product that uses energy, fuel or water more efficiently
or that uses less paper, ink or other resources.
• Being durable or having a long economically useful life and/or can be economically
repaired or upgraded.
Green Space - planned and preserved open land; an interconnected system of open land,
determined to have cultural, ecological, developmental, agricultural, and/or recreational value.
Maximum Extent Practicable (MEP) – the technology-based discharge standard for
Municipal Separate Storm Sewer Systems to reduce pollutants in storm water discharges that
was established by CWA §402 (p). A discussion of MEP as it applies to regulated small MS4s
is found at 40 CFR 122.34.
MCMs means: Minimum Control Measures. The six MCMs are: Public education and outreach;
Public participation/involvement; Illicit discharge, detection and elimination; Construction site
runoff control; Post-construction site runoff control; and Pollution prevention/good
housekeeping.
Municipal Industrial Facility means: An industrial facility, as defined in the federal and state
storm water regulations, which is owned or operated by a municipality. The regulations define
covered industrial facilities by their Standard Industrial Classification (SIC) codes as published
by the U.S. Office of Management and Budget. From this extensive list of covered SIC codes,
the following operations have been identified as those most likely to be owned or operated by
a municipality: Transportation Operations, Landfills, Hazardous Waste
Treatment/Storage/Disposal facilities, Vehicle Maintenance or Fueling facilities, Vehicle
Washing facilities, Solid Waste Transfer facilities, Wastewater Treatment facilities, Recycling
facilities, Yard Waste/Composting facilities and certain types of Warehousing & Stor age
facilities.
Municipal Separate Storm Sewer System (MS4) means: A conveyance or system of
conveyances including roads and highways with drainage systems, municipal streets, catch
basins, curbs, gutters, ditches, paved or unpaved channels or storm drains designated and
utilized for routing of storm water which is contained within the municipal corporate limits or is
owned and operated by the state, city, town, village, county, district, association or other public
body created by or pursuant to the laws of Missouri having jurisdiction over disposal of
sewage, industrial waste, storm water or other liquid wastes and is not a part or portion of a
combined sewer system. (This definition adapted from Section (1)(C)16 of Missouri Storm
Water Regulation 10 CSR 20-6.200). Each of the 61 co-permittees operates its own MS4. In
addition, the term is used to refer to the entire St. Louis County Plan Area which is identified in
the Phase II permit as the St. Louis Metropolitan Small MS4.
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Municipal Work Group means: A group of municipal representatives organized under the
provisions of Chapter 14 of the St. Louis County SWMP to develop a model Operation and
Maintenance Program and a Training Program for the 61 co-permittees in order to comply with
the provisions of Section 4.2.6.1.1 of the Plan Area Phase II storm water permit. The work
group members are listed in Appendix 1-A3.
Municipality means: Any public entity as described in the definition of Municipal Separate
Storm Sewer System. St. Louis County and the Metropolitan St. Louis Sewer District are
considered “municipalities” for the purposes of the Phase II storm water permit along wit h the
59 cities, towns and villages who are co -permittees. The Missouri Department of
Transportation (MoDOT) is also a “municipality” and operates an MS4 within the Plan Area.
However, MoDOT is covered by a separate state permit and is not a co -permittee under the St.
Louis Metropolitan Small MS4 permit.
NPDES means: National Pollutant Discharge Elimination System. This term was introduced
in Section 402 of the federal Water Pollution Control Act of 1972 (last amended in 1987 and
now known as the Clean Water Act). Section 402 provides for the issuance of NPDES permits
for the discharge of pollutants to waters of the United States and specifies the conditions under
which permits may be issued. The 1987 amendments established the phased permitting
requirements for municipal storm water discharges. In Missouri, the Missouri Department of
Natural Resources has been delegated the authority to issue NPDES permits.
Phase I means: The first phase of the federal storm water regulations. These took effect
December 17, 1990. Phase I regulations provide for storm water permitting for industrial
facilities, for land disturbance sites 5 acres or greater in size and for MS4s having populations
greater than 100,000 (medium and large MS4s). Industrial facilities o perated by municipalities,
regardless of size, are included under Phase I. See definition of “Municipal Industrial Facility.”
Phase II means: The second phase of the federal storm water regulations. These took effect
February 7, 2000. Phase II regulations provide for storm water permitting for MS4s, in
urbanized areas as defined by the Bureau of the Census, with populations below 100,000
(Small MS4s) and for land disturbance sites between 1 acre and 5 acres in size. Each of the
individual municipal entities within the St. Louis County Plan Area has a population below
100,000 and is, therefore, a Small MS4 subject to Phase II requirements.
Phase II Permit means: Storm water permit # MO-R040005 with effective date of March 10,
2003, issued by the Missouri Department of Natural Resources to the 61 St. Louis County co -
permittees. This permit was issued pursuant to the provisions of Missouri Storm Water
Regulation 10 CSR 20-6.200.
Plan Area means: The portion of St. Louis County served by separate storm sewers and
within the corporate boundaries of the Metropolitan St. Louis Sewer District. The Plan Area
includes the 59 cities, towns and villages who are co -permittees as well as unincorporated St.
Louis County. While there are a total of 77 municipalities in the Plan Area, 18 have
populations of less than 1000 and are therefore, exempt from the Phase II permitting
requirements, per Section (1)(C)22 of Missouri storm water regulation 10 CSR 20 -6.200. The
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City of St. Louis and twelve county municipalities adjoining the City of St. Louis are served by
combined sewers and are not part of the Plan Area. The Plan Area is identified in the Phase II
permit as the St. Louis Metropolitan Small MS4.
Plan Area Training Committee means: The Municipal Work Group defined above.
Recycling Facility means any co-permittee-owned or operated facility which collects, for
recycling, common household recyclables such as paper, plastic, glass, cardboard, etc. or
which collects and processes yard wastes for use as mulch or compost.
St. Louis Municipalities Phase II Storm Water Planning Committee means: The group of
22 representatives from municipal governments, St. Louis County, MSD and various state and
regional agencies which developed the Storm Water Management Plan for S t. Louis County.
Separate Storm Sewer means: A pipe, conduit, conveyance or system of conveyances
(including roads with drainage systems, municipal streets, catch basins, curbs, gutters,
ditches, manmade channels or storm drains) designed and intended to receive and convey
storm water and which discharges to waters of the state and which is not part of a combined
sewer system.
Storm Water means: rainfall runoff, snow melt runoff and surface runoff and drainage.
Storm Water Management Plan (SWMP) or Plan means: The Plan developed for the St.
Louis County Plan Area by the St. Louis Municipalities Phase II Storm Water Planning
Committee and approved by the Missouri Department of Natural Resources through the
issuance of NPDES permit MO-R040005.
Sustainable (green) Service - A service acquired from a supplier who has a green
operational policy and whose internal practices promote sustainability.
Threshold - the dollar value of contracts, above which a formal record is kept on file showing
that environmental criteria were considered when requirements were defined.
Urban Runoff means: Storm water and other runoff from streets, parking lots, rooftops,
residential, commercial and industrial areas and any areas that have been rendered
impervious through development activities. Such runoff becomes contaminated with fertilizers,
pesticides, vehicle drippings and emissions, animal wastes, street litter, yard wastes, silt,
chemical spills and other urban wastes. These contaminants are carried through the separate
storm sewers and discharged into area streams where they degrade the water quality, harm
aquatic life and other wildlife, reduce aesthetic and recreational values and make the waters
unsafe for human use.
(EACH CO-PERMITTEE CAN ADD DEFINITIONS OF ANY TERMS APPLICABLE TO ITS SPECIFIC NEEDS.)
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For More Information…
• Corps of Engineers- 404 Permits and MDNR 401 certification.
http://www.dnr.mo.gov/wpscd/wpcp/401/wpcp-401.htm#general
http://www.mvs.usace.army.mil/permits/permitap.htm
• Erosion and Sediment Control BMPs – St. Louis County BMPs are available under
the SWPPP link on the following web site:
www.stlouisco.com/plan/land_disturbance.html.
• General Overview - For a general overview of storm water runoff issues, see EPA’s
website: http://www.epa.gov/weatherchannel/stormwater.html
• Green Procurement – Many resources are available from the EPA WasteWise
Helpline: 800 EPA-WISE. Website: http://www.epa.gov/epaoswer/non-
w/reduce/wstewise/wrr/buyq&a.htm
“Database of Environmental Information for Products and Services” see EPA website:
http://yosemite1.epa.gov/oppt/eppstand2.nsf/Pages/PickStore.html?Open
Sample Green Procurement Policy –
http://www.pwgsc.gc.ca/sd-env/sds2003/green-procurement-e.html
• Low Impact Development Methods / Facility Design - to reduce storm water runoff
from impervious areas - see EPA’s web site at:
http://www.epa.gov/owowwtr1/NPS/lid/lidlit.html
• Model Municipal Ordinances –
o Animal Waste - http://www.mrsc.org/Subjects/Legal/nuisances/nu-poop.aspx
o Debris and Yard Waste Nuisance -
http://www.stlmuni.org/scripts/stlmuni/ordinance/index.cfm?ViewMe=1012
o Container size - http://www.southernshores.org/chap8.htm
o Litter Control - http://www.northgeorgiawater.com/pdfs/modordfin-
task10/tab6.pdf
o Septic Tank Maintenance: http://www.anjec.org/html/ord-modelseptic.htm
o Riparian Buffer -
http://www.stormwatercenter.net/Model%20Ordinances/buffer_model_ordinance
.htm
• NPDES- Permits from MDNR-
www.dnr.mo.gov/wpscd/wpcp/permits/wpcpermits-general.htm
• Nonpoint Source Control, EPA Grants – Information on EPA Grants can be found at:
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www.epa.gov/owow/nps/funding.html
• Pesticide Management – For more information on Pesticide BMPs, see:
http://muextension.missouri.edu/xplor/agguides/pests/g07520.htm
For a summary of Missouri pesticide regulations, see:
http://muextension.missouri.edu/explore/agguides/agecon/g00855.htm
For more information on Integrated Pest Management Programs, see:
http://ipm.missouri.edu/ipmresources.htm
http://muextension.missouri.edu/explore/agguides/pests/ipm1004.htm
http://muextension.missouri.edu/explore/agguides/pests/ipm1009.htm
• Pet Waste – For more information, see: http://www.marc.org/water/summer.htm
• Spill Response and Reporting – For EPA contacts and reporting instructions:
http://www.epa.gov/superfund/programs/er/triggers/index.htm
MDNR contact and reporting instructions:
http://www.dnr.state.mo.us/alpd/esp/esp_eer.htm
• Storm Drain Marking Projects – For more information, call MSD’s Division of
Environmental Compliance at 314-436-8710.
• Storm Water Best Management Practices (BMPs) - EPA Fact Sheets on the web at:
http://cfpub.epa.gov/npdes/stormwater/menuofbmps/poll.cfm.
• Storm Water Management Practices – Fact Sheets are available from the Storm
water Manager’s Resource Center at the following web site:
http://www.stormwatercenter.net
• Storm Water Permits -- Missouri Department of Natural Resources (MDNR)
http://www.dnr.state.mo.us/wpscd/wpcp/permits/wpcpermits-stormwater.htm
• Waste Disposal Guidance – MDNR Pollution Prevention Guidance publications:
http://www.dnr.state.mo.us/oac/pubs.htm#PollutionPrevention
• Waste Reduction and Recycling Policy – For the sample policy, see:
http://www.legal.uncc.edu/policies/ps-110.html