Document 212506

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U.S. Environmental Protection
Agency @PA) regulations,
published in November of 1990,
require that industrial facilities,
such as electroplating and
surface finishing shops, obtain a
National Pollutant Dscharge
Elimination System CNPDES)
permit for poinGsource
stormwater discharges. These
controversial regulations will
generally require the development of a stormwater pollution
prevention plan (SWPPP). The
plan must incorporate identification of pollutant sources, identification of best management
practices WIMPS) to prevent or
minimize pollution of
stormwater run-off, training of
facility personnel, and documentation of the plan’s implementation. Stormwater management
must be an integral part of
facility operations if cost-effective implementation of the
SWPPP is to be achieved. Management principles range from
elimination of storm run-off,
selection of inexpensive but
effective control measures,
employee training to reduce
pollutant generation, and record
keeping for demonstration of
compliance to the SWPPP.
T
he controversy over the regulations has continued since their
publication, fueled to a considerable extent by the lack of clear and
consistent direction in EPAs permit application processes: by differences in
implementation requirements between
EPA and the individual states; and by
very limited guidance about permit issuance and compliance. However, one factor that is emerging is that operators of
regulated facilities will, at some point,
have to develop a site-specific SWPPP
46
for the facility. To develop an SWPPP,
the questions that an operator must consider, and the ones to be addressed here,
are:
To what extent is my facility regulated?
What is an SWPPP and what does it
require?
How and by when must I prepare an
SWPPP?
Whatdoesan SWPPPimplyforNPDES
permit compliance?
Extent of Regulatory Coverage
The first basic question to always consider in the managementof stormwaters
at an industrial site is whether the site
has regulated stormwater discharges.
Under the stormwater regulations,
stormwater is not regulated under the
following conditions:
The stormwater discharges to a municipalsanitary sewer system or a municipalcombinedsanitary-stormsewer
system.
There is no point-sourcedischarge(e.g.,
pipe; ditch; swale: or concentrated, localized flow) of industrial stormwaters.
In all other cases the stormwater discharge must be regulated. If a facility has
no regulated stormwater discharge, either because of one of the above reasons
or merely because it has no stormwater
discharge from the industrialareas of ihe
facility, no permit (or permit application)
is required. While considerable caution
should be exercised in determining
whetherastormwaterdischargeisa pointor non-point-sourcedischarge (the regulatory definition of point-sourcedischarge
is extremely broad), the possibility that a
permit may not even be required provides two obvious guidelines for management of stormwater discharges:
.
Determine whether you have a regulated stormwater discharge.
If you have a regulated discharge, see
if you can modify the stormwater drainage so that stormwater drainage is no
longer regulated (e.g.,direct discharge
of stormwaters to a city sanitary sewer
after some pretreatment).
Of course, contemplated modifications
should be examined in regard to nonstormwater-related consequencesas well.
If stormwater dischargeswill occur from
the industrialareasof thefacility, then the
question is whetherthe discharge is regulated as a consequence of the industrial
operations or conditions at the site.
One mechanism that the November
16, 1990, stormwater regulations use to
identify regulateddischarges is to specify
regulated industries by Standard Industrial Classification (SIC) code. (There are
other mechanisms, but these are not of
concern here.) Most electroplating facilities (if not all) have an SIC code of 3471.
Facilities with this code (or more generally, a two-digit SIC code of 34) are currently regulated if they have stormwater
discharges where material handling
equipment or activities, raw materials,
intermediate products, final products,
waste materials, by-products, or industrial machinery are exposed to stormwater. That is, if you handle, store, or
transfer materials or products in your
industrialactivities at your electroplating
facility in such a way that rain could fall on
them and then run-off from your facility
iisstoii?ivv’atei, .yoiiifacility, a iegiilated facility. This source of regulatory
coverage is the light industrial coverage
category, or the “exposure” criteria (corresponding to EPAs industrial category
xi in the November 16,1990 regulations).
Asecond regulatorycriteria, the “heavy
industrycriteria”(correspondingto EPAs
category i in the November 16, 1990,
regulations), may also apply to an electroplating or related facility. A facility is
“regulated if it is already subject to
stormwatereff luent limitationsguidelines,
new source performance standards, or
Plating and Surface Finishing
EPA on the PFCs will more clearly define
About the Author
ative rinsing agents
vironmental impact.
he fact that it does not
it very attractive for
ot tolerate the presprecision-cleaning
cleaning of materia
water retention are
proved, it is likely that addit
and rinsing agents will be
result will be a very robust
tal impact. Ll
Acknowledgments
The author appreciates the collective input of Petroferm, Detrex, 3M Company;
and the Raytheon Waltham, MA, facility
that made this article possible.
Frank A. Marino is a Senior Corporate
Environmental Specialist with the Raytheon Company, 141 Spring St., Lexington, MA. He has an MS in environmental
studies from the University of Massachusetts Lowell, and he has taught a collegelevel course in industrial environmental
managementat that university forthe last
seven years. Marino, who has 13 years'
experience in industrial environmental
bnagement, has beentheenvironmen-
1
If the form has been removed,
call AESF Headquartersfor a
new one: 4071281-6441.
Reference
1. U.S. EPA Memorandum, "Uses of
Perfluorocarbons in Industrial Cleaning," 1-4 (1/6/93).
fill out the listing form in
Journal, fold it, affix a
stamp, and mail it back.
Vista, FL.
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COLD VAPORIZATION'".. . T
logy Of Compliance.
PROVEN FIELD IN
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ACID ACTIVATORS
PAINT SPRAYS
ACID RECOVERY
ALKALINE CLEANERS
ANODIZING OPERATIONS
COATING EMULSION
Model STU-5000-2(5000gpd)
1
\
METALSfiCLUDE: Cadmium, Chrome, Copper, Gold, Lead, Nickel, Silver, Tin, Zi;\F
Calfran International
"The Zero Discharge People;'
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. BOX 269, SPRINGFIELD, MA 01101 PHONE: 413/732-3616 FAX: 413/732-924
ST COAST OFFICE PHONE/FAX: 714/497-6331
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April 1993
Free Details: Circle 115 on postpaidreader service card.
45
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’.
toxic pollutant effluent standards unde
40 CFR subchapter N, and it is not ex
empted as aconsequence of being regu.
lated under the “exposure” criteria. The
electroplating industry is subject to efflu.
ent guidelines and standards in Part 412
of subchapter N of 40 CFR. Specific
types of industrialactivity subject to these
guidelines and standards are summa.
rized in Table 1. While there are some
limited exceptions to the industrial cat.
egories in Table 1 (see 40 CFR Pari
413.01), most electroplating operations
would fall in one or more of these categories. By virtue of the fact that pretreatment standards in the various subparts 01
Part 413 define effluent limits for toxic
pollutant discharges to municipal systems, this regulatory requirementapplies
to electroplating facilities in the categories of Table 1.
The application of the criteria, under
current regulation,can be put in the form
of the following questions:
Does your facility have the SIC code of
34? If so, apply the exposure criteria to
determine whether a permit is required.
Does your facility have an SIC code
different from 34 and conduct one or
more of the activities identified in Part
413 of Subchapter N? If so, a permit is
required.
The complicatingfactor in these questions is that in June of 1992, a federal
court ruled that the EPA improperly excluded facilities in the “exposure” category from regulatory coverage by basing their regulatory coverage on whether
or not there is exposure of equipment or
materials to stormwater run-off. While
the EPA’s exposure criteria seems logical (Why worry about stormwater run-off
if there is no source of pollutants to contaminate it?), the fact remains that the
courtsaid such exclusionwas nota proper
application of the law. The EPA was
directed by the court to address this deficiency, but has not yet promulgated a
rule for doing so. When it will is unknown,
and what form the rule will take is unclear,
although experience would suggest the
exposure principle would be eliminated
or significantly limited. Until such time as
a new rule on exposure is promulgated,
however, the existing regulations apply,
and the following stormwater management guidelines are suggested:
If you want to rely on existing regulations and yourfacility is regulatedsolely
because of exposure, try to modify
conditions at the facility to eliminate (or
April 1993
1
significantly reduce) exposure, so that
a permit is not required or the area of
the facility covered is small.
If your facility is covered solely because of the exposure of equipment or
materials to rainfall run-off, and you
want to be proactive in addressing
stormwater control (whether or not a
permit is required now) in order to be
well positioned for future regulations,
consider developing an SWPPP now.
Requirements for an SWPPP
The regulatory-requiredelements in an
SWPPP, as prescribed by the federal
jeneral permit, include the following
najor elements:
A map of the facility indicating areas of
stormwater drainage to various outfall
points.
Description of potential pollution
sources. The minimal description consists of the elements listed in Table 2.
An evaluation of possible illicit connections of non-stormwater discharges to
the stormwater conveyance system.
Illicitconnections are a pollutantsource,
but are such a special source they are
given special attention.
Description of measure and controls to
prevent or minimize pollution of stormwaters. Such measurements and controls are generally termed best management practices (BMPs). Categories
for which measures and controls must
be developed are listed in Table 3.
Formation of a Pollution Prevention
Team from facility staff to be responsible for developing and implementing
the SWPPP.
If SARA Title Ill Section 313 chemicals
are handled at the site, a stormwater
monitoring program will have to be
instituted. Stormwater sampling will
have to be conducted on a semi-annual basis.
Inspection and site-compliance evaluation on a regular basis, at least once a
year by facility personnel, to evaluate
at least:
Evidenceof pollutants enteringthe
drainage system.
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How to Prepare an SWPPP
Evaluation of the performance of
pollution prevention measures.
Identification of areas where the
SWPPP should be revised to reduce discharge of pollutants.
Once you know that you are or will be
required to prepare an SWPPP for your
facility, the following guidelines can be
used to develop an SWPPP:
Documentationof inspectionand compliance (with a report).
Consistency with other plans, such as
Spill Prevention Control and Countermeasure plans and Best Management
Practices programs.
Review what you will need to address
in the SWPPP, either by review of
specific requirementsgiven as part of a
permit, or as stated in a general permit
applicable to your facility. Some states
have industry-specificpermitsthathave
narrowly focused requirements which
would limitthe rangeof thingsyou have
to consider for inclusion in SWPPP. In
lieu of specific permit information, use
the federal general permit as a guide,
because most permits will be using its
requirements as a baseline.
Review other facility management activities and needs and assess whether
you want to address other activities
besides development of an SWPPP at
thesametime you preparetheSWPPP.
Not only can this result in a better
SWPPP, butyoucan perhapsefficiently
address other facility management
needs. Structure your development of
the SWPPP as appropriate to this comprehensiveapproach. Forexample,you
may soon have to renew some NPDES
permits for process waste discharges;
it might make sense to do some of the
work for that permit at the same time
the stormwater permit applicationwork
is done.
* Identify the key people who will be
involvedin the development and implementation of the SWPPP. Some or all
of these may be on the Pollution Prevention Team. Get them involved as
early as reasonable and possible, so
they understand the reasoning that
goes into the SWPPP development.
Gather various site, topographic, or
facility maps or photos that you currently have and determinetheir usefulness for describing drainage conditions and pathways, materialshandling
and storage at the site, and pollutant
sources. Decide whether additional
mapping is required. Generally, only
limited mapping is required for the
SWPPP, but there may be other mapping needs for the facility that would be
usefully done as part of the SWPPP
preparation.
* Gather all permits, existing pollution
control plans, pollution management
plans, reports on past spills, and any
types of enforcement actions for the
facility. Reviewthe informationneeded
in the SWPPP and be sure the SWPPP
to be developed is consistent with the
information contained in them.
1 Determine whether you have SARA
313 chemicals at your facility. If so,
identify and list them, and determine
where on your site they exist. Develop
a stormwater sampling plan for runoff from areas that have SARA 313
chemicals.
Conduct a site inspection of your facility, looking for significant or potential
sources of pollutants. Table 3 lists examples of possible sources. Most inPlating and Surface Finishing
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dustrial facilities will have areas where
the potential for pollution of run-off
waters is obviously greater than other
places. If resources are limited, pollutant control should be focused on areas
of greatest pollution potential.
Review results of inspection and set
priorities for development and implementation of best management practices; make a preliminary selection of
BMPs for the identifiedsources.
Conduct another inspection to finalize
the selection of BMPs for the facility.
Prepare a preliminary written SWPPP,
addressing each regulatory requirement. Includea proposed schedule for
plan implementation. The plan can be
phased, but actions and controls not
involvingconstructionshould be scheduled for rapid implementation. Be action-oriented in your written document.
Review the proposed SWPPP with
managers, to be sure that they understand the implicationsof the programparticularly the cost implications.Once
the plan is developed, it must be implemented. Finalize the plan.
Document the implementation of the
plan on a continual basis and be prepared at all times to demonstrate, by
records, logs, or things in place, that
the plan is being implemented.
If, during the implementation of the
SWPPP, you find some things are not
working or there are more cost-effective ways to implement a BMP, you can
changeyourSWPPPtoreflectachange
in BMPs. Just be sure to document the
change and why you did it.
Selecting BMPs
BMPs can be source controls, hydraulic
controls, or treatment controls. Source
controls, such as covering workand storage areas, illicit connection removal, or
spill prevention, attack the potential pollution by trying to eliminate the pollutant.
Hydraulic controls, such as detention
basins, modify the run-off hydrograph so
that pollutant transport in run-off waters
is reduced. Treatment controls, such as
swales or oil-water separators, cause a
change in the physical or chemical characteristics of the pollutants in the
stormwaters. The order of preference
in selection of controls is usuallysource
controls, hydraulic controls, and treatment controls, primarily because source
controls will usually be the most costeffective.
The guiding principle in selection of
BMPs is: try to do the simplest thing first.
Other selection guidelines are:
April 1993
Try to remove the needfora BMP at all.
Try to modify drainage to reduce the
number of outfalls, particularly if sampling is required.
Consider diverting run-off to retention
or detention storage facilities.
Consider diverting very polluted run-off
to process waste facilities for treatment.
Find and eliminate illicit connections.
Is it cheaper to train (frequently) personnel or spend money for hydraulicor treatment-oriented BMPs?
Does it make any difference if the BMP
is permanent or easily changed?
Will the implementationof the BMP be
easy to document?
Will the BMP be easy to implement?
Will the effectiveness of the BMP be
easy to demonstrate?
Will the BMP be readily accepted and
used by employees?
And always keep in mind, when selecting BMPs for your facility, that you probably are doing, already, many things that
are BMPs, even though you may not
have called them that. These are acceptable BMPs for your SWPPP. BMPs selected for your SWPPP do not have to be
new; they can be BMPs already in place.
Take credit for your prior efforts and
include them in your SWPPP.
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Deadlines and Compliance
When must the SWPPP be prepared
and implemented? There are several
considerations.
First, there are a number of phases to
recognize: Plandevelopment, plan implementation, and plan compliance. Plan
compliance must occur overthe duration
of the permit (usually five years). In the
case of the federal general permit, no
compliance reports (except for possible
stormwater sampling reports) must be
submitted during the permit term. The
SWPPP does not even have to be reviewed by EPA after it is prepared; it
merely is kept on-site for possible inspection. This discretionary character of the
SWPPP can be either a curse or blessing. The essential criteria for the SWPPP
seem to be reasonableness, effectiveness, and regulatory completeness.
If you have an actual permit, such as
the federal general permit, by which you
are supposedto abide, then it will specify
certain deadlines for preparation and
implementation. Inthe caseof the federal
general permit, the SWPPP must be pre-
pared by April 1,1993, and implemented
by October 1, 1993. State general permits may have the same or different
deadlines, so state agencies should be
consultedif yourfacility is beingpermitted
under a state general permit.
If you have applied for an individual
permit, or if yourfacility is being permitted
through the EPA-prescribedgroup application process, you will not be likely to
have an actual permit at the current time,
in which case some best judgment must
be applied about how quickly you will or
will not have to develop and implement
an SWPPP. Without specific directions
from a regulatory agency, you have presumably no permit requirements to meet
if you have made an appropriate application. Unfortunately,there is no clear regulatory guidance in regard to permits being obtained through the group application process. Some states have already
decided, or may in the future decide, to
stop accepting permit applications that
are made using the group process, and
require that permit compliance be initiated under deadlines set by the state
ratherthanthe EPA, becausethatagency
is taking considerable time to develop
model permits for facilities in groups.
Consequently, good management
guidelines are:
Understandthe permit process in which
you are involved, what the regulations
do and do not say about deadlines for
this process, and just who is saying
what the deadlines are.
In states where the state has NPDES
authority, talk to the state permitting
agency to get their insight into deadlines and requirements.
When in doubt about what to do, do
what makes sense for controlling
stormwater pollution.
The nationwide implementation of
stormwater permitting is currently not
without ambiguities and uncertainties.
Development and implementation of
SWPPPs for industries such as the electroplating industry is, however, a clear
necessity. Varying levels of complexity in
the SWPPPs for electroplating and surface finishing facilities can be expected,
but the principles for their development
will generally be the same. Stormwater
management should build on reasonableness, effectiveness, completeness,
and demonstration of compliance of the
SWPPP developed for the facility.
About the Author
For more information contact SPF today:
730 Burbank Street
Broomfield, CO 80020
Phone: (303)438-1747
FAX: (303)438-1749
Free Details: Circle 116 on postpaidreader sewice card.
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Dr. Michael Collins is an Associate and
Senior Project Engineer with WoodwardClyde Consultants, 7600Tidwel1, Suite 600,
Houston, TX 77040, with training as a civil
engineer with specialities in hydraulics, hydrology and hydrodynamics. His experience
includes ground and surface water quality
modeling, deterministic and stochastic simulation, and non-point-sourcepollution evaluation and management.
Prior to his current position, Collins was
on the engineering school faculty of Southern Methodist University, where he taught
and did research for nearly 20 years, in the
areas of hydrology and hydraulics, and he
directed the Center for Urban Water Studies for five years.
Collins is widely published, with more
than 80 publications and technical conference proceedings.
Plating and Surface Finishing
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