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Description: Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to...
Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit
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Description: Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to...
Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit

Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit

Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit

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Description: Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to...
Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit
Abstract
The Industrial Multi-Sector General Permit (MSGP) and its state-specific versions currently regulate stormwater discharges from specific industrial sectors as defined by their SIC/NAICS codes. Municipal Separate Storm Sewer (MS4) permits regulate MS4 agencies, typically cities and incorporated areas, and generally require that cities implement a range of Best Management Practices (BMPs), including in some cases, inspection and enforcement of discharges from commercial and industrial land uses that are not covered under an MSGP. In two U.S. Environmental Protection Agency (USEPA) regions, the regulatory approach of residual designation has been used to develop new stormwater permits specifically for Commercial, Industrial, and Institutional (CII) land uses, which require owners/operators of such properties to implement BMPs to reduce the discharge of pollutants from their properties. The first CII permit in EPA Region 9 in California is currently under development. This permit is for two watersheds Los Angeles County and will capture CII properties of 5 or more acres that are currently not covered in the California’s Industrial General Permit (IGP) and portions of properties covered under the IGP that are excluded (e.g. rooftops and parking lots). This includes the Ports of Los Angeles and Long Beach as well as a range of other CII land uses. The permit includes requirements for operators to implement BMPs, including potentially structural treatment control BMPs, to meet Water Quality Based Effluent Limits (WQBELs) that are specified for certain receiving waters within the permit. Permittees may participate in a regional stormwater capture and retention project or construct their own stormwater capture and retention system in lieu of meeting WQBELs. The permit has not yet been finalized and these conditions are subject to change.
Provides an over view of a new type of stormwater permit for commercial, industrial, and institutional land uses that are not covered under the industrial multi-sector general permit. These new stormwater NPDES permits are being developed under USEPA's residual designation authority. Provides an overview of a draft permit currently being finalized in California.
SpeakerHaimann, Richard
Presentation time
15:30:00
16:00:00
Session time
15:30:00
17:00:00
SessionStormwater Capture and Release: Emerging Regulatory Paradigms
Session locationRoom S501a - Level 5
TopicAdvanced Level, Potable Reuse, Stormwater and Green Infrastructure, Water Reuse and Reclamation, Watershed Management, Water Quality, and Groundwater
TopicAdvanced Level, Potable Reuse, Stormwater and Green Infrastructure, Water Reuse and Reclamation, Watershed Management, Water Quality, and Groundwater
Author(s)
Haimann, Richard
Author(s)R. Haimann 1; M. Lentz 2 ; R. Haimann 1;
Author affiliation(s)Sustura 1; GSI Environmental 2 ; Sustura 1;
SourceProceedings of the Water Environment Federation
Document typeConference Paper
PublisherWater Environment Federation
Print publication date Oct 2023
DOI10.2175/193864718825159138
Volume / Issue
Content sourceWEFTEC
Copyright2023
Word count28

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Description: Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to...
Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit
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Description: Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to...
Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit
Abstract
The Industrial Multi-Sector General Permit (MSGP) and its state-specific versions currently regulate stormwater discharges from specific industrial sectors as defined by their SIC/NAICS codes. Municipal Separate Storm Sewer (MS4) permits regulate MS4 agencies, typically cities and incorporated areas, and generally require that cities implement a range of Best Management Practices (BMPs), including in some cases, inspection and enforcement of discharges from commercial and industrial land uses that are not covered under an MSGP. In two U.S. Environmental Protection Agency (USEPA) regions, the regulatory approach of residual designation has been used to develop new stormwater permits specifically for Commercial, Industrial, and Institutional (CII) land uses, which require owners/operators of such properties to implement BMPs to reduce the discharge of pollutants from their properties. The first CII permit in EPA Region 9 in California is currently under development. This permit is for two watersheds Los Angeles County and will capture CII properties of 5 or more acres that are currently not covered in the California’s Industrial General Permit (IGP) and portions of properties covered under the IGP that are excluded (e.g. rooftops and parking lots). This includes the Ports of Los Angeles and Long Beach as well as a range of other CII land uses. The permit includes requirements for operators to implement BMPs, including potentially structural treatment control BMPs, to meet Water Quality Based Effluent Limits (WQBELs) that are specified for certain receiving waters within the permit. Permittees may participate in a regional stormwater capture and retention project or construct their own stormwater capture and retention system in lieu of meeting WQBELs. The permit has not yet been finalized and these conditions are subject to change.
Provides an over view of a new type of stormwater permit for commercial, industrial, and institutional land uses that are not covered under the industrial multi-sector general permit. These new stormwater NPDES permits are being developed under USEPA's residual designation authority. Provides an overview of a draft permit currently being finalized in California.
SpeakerHaimann, Richard
Presentation time
15:30:00
16:00:00
Session time
15:30:00
17:00:00
SessionStormwater Capture and Release: Emerging Regulatory Paradigms
Session locationRoom S501a - Level 5
TopicAdvanced Level, Potable Reuse, Stormwater and Green Infrastructure, Water Reuse and Reclamation, Watershed Management, Water Quality, and Groundwater
TopicAdvanced Level, Potable Reuse, Stormwater and Green Infrastructure, Water Reuse and Reclamation, Watershed Management, Water Quality, and Groundwater
Author(s)
Haimann, Richard
Author(s)R. Haimann 1; M. Lentz 2 ; R. Haimann 1;
Author affiliation(s)Sustura 1; GSI Environmental 2 ; Sustura 1;
SourceProceedings of the Water Environment Federation
Document typeConference Paper
PublisherWater Environment Federation
Print publication date Oct 2023
DOI10.2175/193864718825159138
Volume / Issue
Content sourceWEFTEC
Copyright2023
Word count28

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Haimann, Richard. Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit. Water Environment Federation, 2023. Web. 9 May. 2025. <https://www.accesswater.org?id=-10097650CITANCHOR>.
Haimann, Richard. Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit. Water Environment Federation, 2023. Accessed May 9, 2025. https://www.accesswater.org/?id=-10097650CITANCHOR.
Haimann, Richard
Stormwater Permitting for the Rest of Us: The Use of USEPA's Residual Designation to permit Commercial, Industrial, and Institutional Properties Not Already Covered Under a Stormwater Permit
Access Water
Water Environment Federation
October 3, 2023
May 9, 2025
https://www.accesswater.org/?id=-10097650CITANCHOR