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Storm Water Pollution Prevention Plan White Pine Drainage Channel Restoration Improvements Village of Buffalo Grove Project Number: 001528-05110-0 1860 Winchester Road, Suite 106 Libertyville, IL 60048 Tele: 847/816-1631 Fax: 847/816-3762

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Storm Water PollutionPrevention Plan

White Pine Drainage ChannelRestoration Improvements

Village of Buffalo Grove

Project Number: 001528-05110-0

1860 Winchester Road, Suite 106Libertyville, IL 60048Tele: 847/816-1631Fax: 847/816-3762

White Pine Drainage Channel Restoration ImprovementsStorm Water Pollution Prevention Plan

Table of Contents

SWPPP NarrativeDelegation Letters

Delegation of Construction Site SuperintendentDelegation to Construction Site SuperintendentDelegation of Storm Water ConsultantDelegation to Storm Water Consultant

NPDES and NOI PermitsContact ListSite PlansHousekeeping BMPs

Vehicle Tracking and Dust ControlNon-Storm Water ManagementEndangered SpeciesTMDL DocumentationSampling RequirementsAddendum for Local SE/SC and Stormwater Requirements

Inspection LogInspection ReportsCorrective Action NoticeMaintenance LogRainfall LogConstruction Activity and Stabilization LogSWPPP Amendment FormsInspector QualificationsPhotosCorrespondence

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Storm Water Pollution Prevention Plan (SWPPP) NarrativeFor

Village of Buffalo Grove, ILWhite Pine Drainage Channel

Restoration Improvements001528-05110-0

1. Site DescriptionThe purpose of the proposed project is to implement streambank restoration and enhancement along the White PineDrainage Channel. The approximately 2.8-acre site is located south of Bernard Drive / west of White Pine Road andsouth of Lake Cook Road / east of Mary Lu Lane in the Village of Buffalo Grove. The project site is situated inSection 5, Township 42 North, Range 11 East in the Vernon Township, Lake County, Illinois. The project involvesstabilizing the channel, banks, and outlets, planting native wetland vegetation, and construction of a bituminousbike trail.

The intended sequence of major activities which disturb soils:Install perimeter silt fence, construction entrance, construction entrance.Permanent erosion control structures will be installed when appropriate during the construction process.Tree and brush clearing.Strip and stockpile topsoil.Complete necessary grading for channel improvements.Respread topsoil on completed sections and all open areas.Restore wetland and remaining disturbed areas.

Construction activities will begin October 2008 and the completion date is December 2008.

Total estimated area of the site is 2.8 acres.

Soils on the project site consist of Ashkum silty clay loam (Hydrologic Group B).

The project site is in the Des Plaines River watershed with the overall prevailing drainage pattern from the south tothe north. The channel discharges to Buffalo Creek, which flows into the Des Plaines River. Both the Buffalo Creekand Des Plaines River are listed as IEPA Section 303(d) and 305(b) Lists of Impaired Waters for total nitrogen,phosphorus, dissolved/suspended solids, fecal coliform, and polychlorinated biphenyls. The channel, wetlands,floodplain, and upland openspace areas are found within the restoration area.

2. Potential Discharge of Sediment and/or Other Potential Pollutants

Summary of Areas of ConcernThe following items have been considered areas of concern for this project:

1. Sediment tracking on adjacent streets.2. Wind/Dust erosion.

All areas outside of the construction limits of this project will remain undisturbed throughout the duration of theconstruction process.

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Control Measures for Areas of ConcernThe following control measures address the critical issues listed above.

1. A rock construction entrance will be utilized to access the site and prevent sediment tracking onto adjacentstreets.

2. Adjacent streets will be swept as needed.3. Straw, mulch, or water, or in combination, will be applied to dry soils as needed to reduce the amount of

wind/dust erosion.

Summary of Critical IssuesThe following items have been considered areas of concern for this project:

1. Increased sediment entering the channel.

All areas outside of the construction limits of this project will remain undisturbed throughout the duration of theconstruction process.

Control Measures for Critical IssuesThe following control measures address the critical issues listed above.

1. All open soil not actively being worked after 14 days will be temporarily seeded and mulched to preventsediment laden runoff to critical areas.

2. Two stabilized construction entrance will be utilized to access the site and prevent sediment tracking ontoadjacent streets which drain to the lake.

3. Adjacent streets will be swept as needed.4. Construction will be completed during dry/low-flow conditions.5. Temporary stone silt trap with anionic polymer blocks will be installed downstream of disturbance.6. Erosion control blanket and turf reinforcement mat will be installed on all newly graded slopes.

Other Potential PollutantsThe table below represents possible storm water pollutants, and control measures for each, which will be presentduring the construction of this project:

Potential Pollutant Location Control MeasureAntifreeze Random leaks Trained personnelDiesel Fuel Secondary containment Oil absorbing diapers, trained

personnelFertilizer Areas to be sodded Managed application, certified

installers, not stored on-siteGasoline Secondary containment Oil absorbing diapers, trained

personnelHydraulic oil/fluids Random leaks Properly stored, oil absorbing

diapers, trained personnelGlue/Adhesives Pipe joints Empty container management

Hydraulic oil/ fluids Random leaks Oil absorbing diapers, trainedpersonnel

Paints Kept with contractor Contractor responsibleGrease Kept with contractor Secondary containmentSanitary Waste Various Service provider to secure units

from tipping over

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Stabilization PracticesTemporary soil stabilization shall be applied to disturbed areas within 14 days of the end of active hydrologicdisturbance. Soil can be temporarily stabilized using spring oats, wheat or cereal rye, straw or hydro mulch.Permanent stabilization (Kentucky bluegrass or sod) shall be done within 7 days after completion of final grading ofthe soil.

Structural PracticesStructural practices to be installed include silt fence, stabilized construction entrance, erosion control blanket, turfreinforcement mat, riprap at outfalls, rock check dams, boulder toe, and temporary silt trap and perforated riser.Structural measures will limit runoff and the discharge of pollutants from leaving the site. A sediment trap will bepositioned downstream of disturbance.

Storm Water ManagementThere are 0.94 acres of wetlands on the construction site, the majority of which will be impacted due to grading forstabilization purposes. Improvements to the channel will disturb 0.679 acres of wetlands. Total proposed wetlandimpact is 0.095 acres. Planting wet sedge meadow species and native vegetation mixes will result in 0.79 acres ofwetland restoration. The final product of a 0.016 acre increase of wetlands is anticipated.

The project site is surrounded by public right-of-way and residential lots.

Best Management Practices (BMPs) will be employed to prevent water quality impacts. The establishment of nativevegetation along the channel will increase water quality by filtering pollutants, excess nutrients, and suspendedsolids and will slow water velocity, therefore reducing soil erosion. The boulder toe installed along both sides of thechannel will prevent streambank erosion. Rock check damns will slow the water in the channel, reducingsedimentation and scour potential.

Waste DisposalSolid waste must be disposed of properly off site by the contractor.

Hazardous materials must be properly stored to prevent spills, leaks, or other discharge. Restricted access to storageareas must be provided to prevent vandalism. Storage and disposal of hazardous waste must be in compliance withcurrent environmental regulations.

External washing of trucks and other construction vehicles are limited to a defined wash-out area. Runoff must becontained and waste properly disposed of. No engine degreasing is allowed on site.

SWPPP ImplementationEach Operator of the site and the area of the site over which the Operator has control are provided in the SWPPP.

Chain of ResponsibilityConstruction Site Superintendent – It is the responsibility of the construction site superintendent to review andapprove the inspector’s corrective action notices and to oversee all areas of the construction project including theinstallation of BMPs.ESC Subcontractor – It is the responsibility of the ESC subcontractor to install and maintain the BMPs recommendedby inspectors and approved by the Construction Site Superintendent.

Landscaping Materials Kept with landscape contractor Contractor responsibleWaste/Trash Various Disposed of off site

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Inspector – It is the responsibility of the inspectors to perform weekly site inspections and to recommend correctiveactions to be completed on site.Trade Partners – It is the responsibility of the trade partners to comply with al parts of this SWPPP.

Installation and Timing of BMPsThe sequence and timing of significant soil-disturbing activities at the site are:

1. Install perimeter silt fence, construction fence, and construction entrance prior to soil disturbance.2. Tree and brush clearing.3. Strip and stockpile soil.4. Construct silt trap and perforated riser.5. Necessary grading for channel improvements.6. Install permanent stabilization structures.7. Respread topsoil on completed sections and vegetate.8. Restore wetland and remaining disturbed areas.

Plan AmendmentsThe Storm Water Pollution Prevention Plan (SWPPP) will be amended if there is a change in design, construction,operation, maintenance, weather or seasonal conditions that has a significant impact on the discharge to surfacewaters or underground waters. The Plan will also be amended if it is proven to be inadequate in controllingpollutants in storm water discharges due to construction activities.

Final Stabilization MethodsFinal site stabilization is achieved when perennial vegetative cover provides permanent stabilization with a densitygreater than 70 percent over the entire pervious surface area, or other equivalent means necessary to prevent soilfailure under erosive conditions.

All temporary synthetic and structural erosion prevention and sediment control BMPs must be removed as part of thefinal stabilization.

Accumulated sediment must be cleaned out from temporary sediment trap.

3. MaintenanceDuring construction activity, the maintenance of all BMPs will be required as set forth in the SWPPP.

4. InspectionsThe ESC Technician will inspect the site on a weekly basis and within 24 hours of every 0.5-inch storm event. An“Incidence of Noncompliance” report should be completed for any SWPPP violations and submitted the EnforcementOfficer.

5. CalculationsThe project involves improvements directly to the channel and surrounding area. Erosion and runoff rates will bereduced.

Illinois Pollution Control Agency1021 North Grand Avenue EastPO Box 19276Springfield, IL 62794-9276

Re: Delegating __________________________ as “Duly Authorized Representative” for White Pine Drainage Channel Restoration Improvements, NPDES # ___________

To Whom It May Concern:

This letter serves to designate the specifically described position as an authorized person forsigning reports and performing certain activities requested by the Director or required by theNPDES Construction General Permit until further notice is provided in writing. This authorizationcannot be used for signing a NPDES permit application (e.g., Notice of Intent (NOI)) in accordancewith 40 CFR 122.22. The authorized representative is hereby authorized to perform stormwatersite inspections and to prepare, sign, and certify stormwater inspection reports.

By signing this authorization, I confirm that I meet the requirements to make such a designation asset forth in the NPDES Construction General Permit, or as set forth in the applicable StateConstruction General Permit.

Sincerely,

CERTIFICATION

EROSION AND SEDIMENT CONTROL REPORTS:

I certify under penalty of law that this document and all attachments were prepared under mydirection or supervision in accordance with a system designed to assure that qualified personnelproperly gathered and evaluated the information submitted. Based on my inquiry of the person orpersons who manage the system, or those persons directly responsible for gathering theinformation, the information submitted is, to the best of my knowledge and belief, true, accurate,and complete. I am aware that there are significant penalties for submitting false information,including the possibility of a fine and imprisonment for knowing violations.

Signed _________________________________________________________________

Company_______________________________________________________________

CERTIFICATION

CONTRACTORS:

I certify under penalty of law that I understand the terms and conditions of the general NationalPollutant Discharge and Elimination System (NPDES) permit (ILR10) that authorizes storm waterdischarges associated with industrial activity from the construction site identified as a part of thiscertification.

Signed _________________________________________________________________

Company_______________________________________________________________

CERTIFICATION

CONTRACTORS:

I certify under penalty of law that I understand the terms and conditions of the general NationalPollutant Discharge and Elimination System (NPDES) permit (ILR10) that authorizes storm waterdischarges associated with industrial activity from the construction site identified as a part of thiscertification.

Signed _________________________________________________________________

Company_______________________________________________________________

CERTIFICATION

CONTRACTORS:

I certify under penalty of law that I understand the terms and conditions of the general NationalPollutant Discharge and Elimination System (NPDES) permit (ILR10) that authorizes storm waterdischarges associated with industrial activity from the construction site identified as a part of thiscertification.

Signed _________________________________________________________________

Company_______________________________________________________________

CERTIFICATION

CONTRACTORS:

I certify under penalty of law that I understand the terms and conditions of the general NationalPollutant Discharge and Elimination System (NPDES) permit (ILR10) that authorizes storm waterdischarges associated with industrial activity from the construction site identified as a part of thiscertification.

Signed _________________________________________________________________

Company_______________________________________________________________

ESC Project Contact List

© Bonestroo, Inc. www.bonestroo.com

St. Paul Office: Milwaukee Office: Rochester Office: Willmar Office: St. Cloud Office: Chicago Office:2335 West Highway 36 1516 West Mequon Road 112 7th Street NE 205 5th Street SW 3721 23rd Street S 1860 West Winchester RoadSt. Paul, MN 55113 Mequon, WI 53092 Rochester, MN 55906 Willmar, MN 56201 St. Cloud, MN 56301 Libertyville, IL 60048Phone: 651-636-4600 Phone: 262-241-4466 Phone: 507-282-2100 Phone: 320-214-9557 Phone: 320-251-4553 Phone: 847-816-1631Fax: 651-636-1311 Fax: 262-241-4901 Fax: 507-282-3100 Fax: 320-214-9458 Fax: 320-251-6252 Fax: 847-816-3762

Project Name: White Pine Drainage Chanel Restoration Improvements

City

Project Number:

Bonestroo

Project Number: 001528-05110-0

Position Name Phone #

Project Superintendent Dan DaviesEarthwerks, Inc (630) 510-8486

Project Manager Dan DaviesEarthwerks, Inc (630) 510-8486

Foremen Dan DaviesEarthwerks, Inc (630) 510-8486

Grading Subcontractor Dan DaviesEarthwerks, Inc (630) 510-8486

ESC Technician Brian RacineBonestroo (847) 816-1631

Erosion Control Contractor Dan DaviesEarthwerks, Inc (630) 510-8486

Village Contact Greg BoysenVillage of Buffalo Grove (847) 459-2547

SWCD Contact Rick McAndlessNorth Cook SWCD (847) 468-0071

IDNR Contact Rich LewisIDNR-Div of Ecosystems & Environment (217) 782-6302

ACOE Contact Kathy ChernichChicago District (312) 846-5531

Engineer Contact John BriggsBonestroo (847) 816-1631

Other Contact(s)

HOUSEKEEPING BMPS

1. Will vehicle or equipment maintenance and repair be conducted at the Site?

No

Yes, vehicle and equipment maintenance and repair activities at the Site will beperformed in designated control areas that will be included on the SWPPP Map inSection F.

2. Solid materials, including building materials, garbage, and debris will be cleaned up dailyand properly disposed of to prevent the discharge of these materials to surface waters orto storm drains.

3. Waste receptacles are provided at convenient locations throughout the Site. Thesereceptacles are, to the extent practicable, placed in locations that do not receivesubstantial amounts of storm water runoff and that do not drain directly to surface waterbodies. The receptacles will be emptied and the waste removed from the Site forappropriate disposal or recycling on a regular schedule to prevent them from overfilling,as described below:

4. Will equipment wash out activities occur at the Site?

No

Yes, equipment wash out areas at the site are provided in the SWPPP Map in SectionF. Equipment wash water will be controlled to prevent unauthorized dry weatherdischarges and to avoid mixing with storm water.

5. Construction materials and chemicals used or stored on-site are kept in small quantitieswhenever possible. When not in use, they will be stored in sealed containers and undercover to prevent direct contact with storm water. Approximate locations of designatedmaterials and chemical storage areas are provided on the SWPPP Map in Section F. Anyinadvertent spills will be cleaned up immediately upon discovery and the materials willbe disposed of in accordance with local, state and federal requirements.

6. Will vehicle fueling be conducted at the Site?

No

Yes, vehicle fueling will be conducted in a location away from access to surfacewaters whenever practicable. On-site fuel storage tanks other than approved portablefuel containers such as gasoline cans, will have a means of secondary containmentand will be located, whenever practicable, undercover. Any inadvertent spills will be

cleaned up immediately upon discovery and the materials will be disposed of inaccordance with local, state and federal requirements.

7. Releases of hazardous substances or oil in excess of reportable quantities in storm waterdischarges from the construction Site will be reported as required by the applicable CGP,and the SWPPP will be modified within 7 calendar days of learning of the release.SWPPP modifications will be recorded in Section R to reflect the release, including adescription of the release, the circumstances leading to the release, and the date of therelease. The SWPPP modification will also identify responses to be employed for suchreleases and measures to prevent the reoccurrence of such releases.

8. Portable toilet facilities at the constructions site are provided. Sanitary waste facilitiesincluding portable toilet facilities at the construction Site will be adequately maintained

9. Other Housekeeping BMPs that will be used at the Site are described below:

NA

OFF-SITE VEHICLE TRACKING AND DUST CONTROL

The Site will implement measures to minimize, to the extent practicable, off-site vehicletracking of sediments onto paved surfaces and the generation of dust. Sediment tracked off-site will be removed at a frequency sufficient to minimize off-site impacts. The measuresthat will be implemented include:

stabilized construction entrances and exits

water-based dust suppression controls

street sweeping

other :

A description of these measures:

is included in this Section

is found in the report included in this SWPPP

Stabilized construction entrances/exits are depicted on the SWPPP Map

Yes

No

NON-STORM WATER MANAGEMENT

Non-storm water discharges will be eliminated or reduced to the extent feasible, with theexception of those necessary for the completion of certain construction activities. Authorizednon-storm water discharges from this Site include:

fire hydrant flushings

water used to wash vehicles when no detergent is used

water used for dust control purposes

potable water and uncontaminated water line flushing

external building wash water when detergent is not used

pavement wash waters where spills or leaks of toxic materials have not occurred(unless all spilled material has been removed) and where detergents are not used

uncontaminated air conditioning or compressor condensate

uncontaminated groundwater or spring water

foundation or footing drains where flows are not contaminated with process materialssuch as solvents

uncontaminated excavation dewatering

the application of water by water trucks or piped irrigation

pre-watering of a construction site in order to conduct grading activities

pumping of detention basins or de-silting basins after rain events (using properfiltering devices per General Permit Requirements)

landscaping activities requiring irrigation

street cleaning (where permitted)

other

____________________________________________

These authorized non-storm water discharges will be conducted in accordance with therequirements of the CGP, and every effort will be made to minimize non-storm water runofffrom these site activities.

The BMPs for the non-storm water discharges from this Site are:

______________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________

ENDANGERED SPECIES

If the EPA is the permitting authority for the construction site, the EPA CGP requires theSWPPP to document the Site’s eligibility with regard to endangered species. If the State isthe permitting authority, the State CGP may or may not require the SWPPP to containdocumentation of the Site’s permit eligibility with regard to endangered species. It may benecessary to consult with an environmental specialist for this Section. If so, thatenvironmental professional should provide the documentation.

IS THE EPA THE PERMITTING AUTHORITY?

YES

The Endangered Species Assessment Review Procedures were completed and it wasdetermined that storm water discharges from the Site are eligible for coverage underthe CGP with respect to endangered species.

Documentation of permit eligibility with regard to endangered species is included inthe Section of the SWPPP, including:

Information on whether federally-listed endangered or threatened species, orfederally-designated critical habitat may be in the project area;

Whether such species or critical habitat may be adversely affected by storm waterdischarges or storm water discharge-related activities from the project;

Results of the listed species and critical habitat screening determinations;

Confirmation of delivery of NOI to EPA or EPA’s electronic NOI system. Thismay include an overnight express, express or registered mail receiptacknowledgement; or electronic acknowledgment from EPA’s electronic NOIsystem.

Any correspondence for any stage of project planning between the U.S. Fish andWildlife Service (FWS), EPA, the U.S. National Marine Fisheries Services(NMFS), or others and you regarding listed species and critical habitat, includingany notification that delays your authorization to discharge under this permit;

1

A description of measures necessary to project federally-listed endangered orthreatened species, or federally-designated critical habitat. The permitee mustdescribe and implement such measures to maintain eligibility for coverage underthis permit.

NO

The applicable State CGP for this construction Site does not requiredetermination and documentation of permit eligibility with regard to endangeredspecies.

The applicable State CGP for this construction Site does require determinationand documentation of permit eligibility with regard to endangered species. Theapplicable requirements for determining permit eligibility with regard toendangered species have been completed and it was determined that theconstruction Site is eligible for coverage under the State CGP. The requireddocumentation is included in this Section of the SWPPP.

1

TMDL DOCUMENTATION

If the EPA is the permitting authority for the construction site, the EPA CGP requires theSWPPP to include documentation supporting a determination of the Site’s eligibility withregard to waters that have an EPA-established or approved Total Maximum Daily Load(“TMDL”). If the State is the permitting authority, the State CGP may or may not require theSWPPP to contain this documentation. It may be necessary to consult with an environmentalspecialist for this Section. If so, that environmental professional should provide thedocumentation.

Is EPA the permitting authority?

YES

Storm water from this Site will not discharge into a water body for which theEPA has established or approved a TMDL.

Storm water from this Site will discharge into a water body for which the EPAhas established or approved a TMDL. Documentation of this determination isincluded in the Section that addresses the issues below.

Storm water discharges from this construction Site are not identified,specifically or generally, by the TMDL.

Storm water discharges from this construction Site are identified, specificallyor generally, by the TMDL.

State or Federal TMDL authorities have been consulted regarding theconsistency of SWPPP conditions with the TMDL. Summaries of theseconsultations are included.

Measures to assure that storm water discharges from this Site areconsistent with the assumptions or requirements of the TMDL, includingwaste load allocations and load allocations when applicable, have beenincorporated in the SWPPP.

2

NO

The applicable State CGP for this construction Site does not requiredetermination and documentation of permit eligibility with regard to dischargesto water bodies with established TMDLs.

The applicable State CGP for this construction Site does require determinationand documentation of permit eligibility with regard to discharges to water bodieswith established TMDLs. The applicable CGP determination requirements havebeen completed and it has been determined that storm water from this site willnot discharge into a water body with an established TMDL. Documentation ofthis determination is included in this Section.

The applicable State CGP for this construction Site does require determinationand documentation of permit eligibility with regard to discharges to water bodieswith established TMDLs. The applicable CGP determination requirements havebeen completed and it has been determined that storm water from this site willdischarge into a water body with an established TMDL. Documentation of thedetermination that addresses the issues below is included in this Section.

Storm water discharges from this construction Site are not identified, specificallyor generally, by the TMDL.

Storm water discharges from this construction Site are identified, specifically orgenerally, by the TMDL. Documentation of this determination is included.

State or Federal TMDL authorities have been consulted regarding theconsistency of SWPPP conditions with the TMDL. Summaries of theseconsultations are included.

Measures to assure that storm water discharges from this construction Site areconsistent with the assumptions or requirements of the TMDL, includingwaste load allocations and load allocations when applicable, have beenincorporated in the SWPPP.

Other requirements, if any, for eligibility under the applicable State CGP withregard to discharges to water bodies with an approved TMDL have beencompleted, and required documentation is included in this Section.

2

SAMPLING REQUIREMENTS (STATE CGP SPECIFIC)

Sampling is not required by this CGP.

Sampling requirements under the applicable CGP have been completed and anydocumentation required by the applicable CGP to be included in this SWPPP regardingsampling procedures, sampling events, and sample results are provided in this section ofthe SWPPP.

ADDENDUM FOR LOCAL REQUIREMENTS FOR EROSION AND SEDIMENTCONTROL AND STORM WATER MANAGEMENT

This Addendum provides local requirements—if any—for soil and erosion control andstorm water management, but it is not a federally-enforceable part of the SWPPP.

The local requirements are provided herein to assist in maintaining the SWPPP’sconsistency with local requirements for soil and erosion control and storm watermanagement.

These local requirements will be updated to include changes or additional requirementsduring the period of coverage under the CGP.

Are local requirements for soil and erosion control and storm water management attachedin this Addendum?

Yes

No

Inspection Log - Erosion and Sediment ControlSite Name: White Pine Drainage Channel Owner: Village of Buffalo Grove NPDES Permit:

Type of InspDate ofInspection Weekly Event

Date ofLast Rain

Amount ofPrecipitation

RunoffControlled?

ErosionMinimized?

SedimentManaged?

Corrective ActionsReq’d (Y / N)

Previous CorrectiveActions Completed? Comments

© 2007 Bonestroo, Inc Page #

BBOONNEESSTTRROOOO EESSCC TTEEAAMM -- IINNSSPPEECCTTIIOONN LLOOGG GGUUIIDDAANNCCEE -- © 2004 Bonestroo, Inc.

Inspection Log Guidance

General

Provisions of the NPDES Permit require that weekly and event driven inspections be done for all permittedprojects. A log of these inspections, and resulting corrective actions (maintenance), is also required.Therefore, the ESC Inspection Log is set up from the perspective of the permit requirements.

It is a good idea to take photos during inspections to photo-document good practices and site conditions aswell as BMPs or site conditions in need of corrective action. Then take photos during the followinginspection to document that the corrective action(s) has been done (or not).

Following is a description and explanation (where necessary) of all headings on the Inspection Log.

Project Name: Include Phase, Addition or other distinctions included on permit/application

Owner: The City or private client that the permit was obtained for

Contractor: Typically the prime or primary contractor signed on the Permit. May change with phase ofproject.

NPDES Permit #: Shown as the “Identification Number” on the yellow permit card (Notice of Storm WaterPermit Coverage)

Owner Project #/Bonestroo Project #: Self explanatory

Bonestroo Inspector: Our inspector doing the ESC inspection on our permitted portion of the project site.Could be from Construction Services or from the ESC Team.

ESC Supervisor: The individual named by and working for the contractor that is the go-to person for ESCissues.

ESC Contractor: The company subbed by the contractor to install, maintain, etc all ESC BMPs.

Date of Inspection: Must be no more than a week since the last date of inspection.

Type of Inspection: Is it the weekly inspection or within 24-hours of a rain event of more than ½ inch of rain.

Date of Last Rain: Any amount of rain. There should be a rain gauge on site. This is important because ifwe got only 3/10 inch, an event inspection is not required. Repeat last rain date on weekly during dry periods.

Amount of Rain: If this is ½ inch or more, the date of inspection should be no later than the next day.

Runoff Controlled?/Erosion Minimized?/Sediment Managed?: In keeping with objectives of constructionsite ESC, evaluate the site overall in these terms. Use this as an indicator for which BMPs are working, or not.

Corrective Action Required: Pertains to particular BMPs, practices, site conditions, etc.

Prior Corrective Action Completed?: Did the contractor satisfactorily complete the activities required asthe result of the last inspection or Corrective Action Notice?

Comments: Photos taken? Change of contractor/ESC tech? Large/intense rain? Corrective action issues? Etc.

Location of Permit Posting: Where the permit card is posted on the project site (required).

CALL THE ESC TEAM WITH QUESTIONS OR FOR TECHNICAL ASSISTANCE WITH INSPECTIONS

EErroossiioonn aanndd SSeeddiimmeenntt CCoonnttrrooll

Erosion & Sediment ControlCorrective Action Notice

1 Refers to the date that an item was either communicated verbally, or initially put on a CAN2 An item will be removed after having achieved the “Closed” status.

Project Name:White Pine DrainageChannel Improvements City Project Number:

BonestrooProject Number: 1528-05110-0

Owner: Village of Buffalo Grove Contractor: Date(s) of Inspection:

Inspector Name: Bonestroo Phone: (847) 816-1631

* - Except as noted

Item Date1 Description Status2

Corrective Action Deadline:

Erosion & Sediment ControlCorrective Action Notice

1 Refers to the date that an item was either communicated verbally, or initially put on a CAN2 An item will be removed after having achieved the “Closed” status.

Item Date1 Description Status2

Maintenance Log

Site Name: White Pine Drainage Channel Improvements Phase/Addition: NPDES Permit #:

Date Maintenance Act Location or Extent Company / Crew Chief’s Initials

© 2004 Bonestroo, Inc Page #

Rainfall LogSite Name: White Pine Drainage Channel Improvements Phase/Addition: NPDES Permit #

Builder: Village of Buffalo Grove ESC Subcontractor: Inspector: Bonestroo

Date Amount ofPrecipitation Comments Date Amount of

Precipitation Comments

© 2004 Bonestroo, Inc Page #

CONSTRUCTION ACTIVITY AND STABILIZATION LOG

LOCATION

DATECONSTRUCTION

STARTED

DATE CONSTRUCTIONTEMPORARILY CEASED(IF EARTH DISTURBING

ACTIVITIES WILL NOT BERESUMED WITHIN OVER

14 DAYS)

DATECONSTRUCTION

COMPLETED

DATE OFTEMPORARY

STABILIZATION*DATE OF FINAL

STABILIZATION*

* If implementation of stabilization measures within 14 days is precluded by snow coveror frozen ground conditions, indicate so below.

________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________

2

SWPPP AMENDMENTS FORM

Name of Project: White Pine Drainage Channel Improvements

Date of SWPPP Amendment _______________Date Amendment Implemented _______________

This SWPPP Amendment is made by the responsible corporate officer or theauthorized representative.

Reason for this SWPPP amendment:______________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________

This SWPPP amendment modifies the SWPPP by:_____________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________________