Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
Stormwater Pollution Prevention Plan for:
Albuquerque International Sunport
2200 Sunport Boulevard SE
Albuquerque, NM 87106
(505) 244‐7700
SWPPP Contact:
City of Albuquerque Aviation Department
Christopher Albrecht
Environmental Manager
P.O. Box 9948
Albuquerque, NM 87119
Fax: (505) 244‐7793
SWPPP Preparation Date:
September 18, 2015
Prepared By:
6000 Uptown Blvd. NE, Suite 200 Albuquerque, NM 87110 CDM Smith Project No.: 36361‐108320
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
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Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
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Contents Overview of SWPPP Development and Availability .................................................................... 1
Section 1: Facility Description and Contact Information ............................................................. 5
1.1 FacilityInformation.................................................................................................................................................51.2 DischargeInformation............................................................................................................................................51.3 ContactInformation/ResponsibleParties......................................................................................................61.4 StormwaterPollutionPreventionTeam(PPT)............................................................................................71.5 ActivitiesattheFacility..........................................................................................................................................71.6 GeneralLocationMap.............................................................................................................................................81.7 SiteMaps......................................................................................................................................................................8
Section 2: Potential Pollutant Sources ...................................................................................... 11
2.1 IndustrialActivityandAssociatedPollutants............................................................................................112.2 SpillsandLeaks......................................................................................................................................................112.3 Non‐StormwaterDischargesDocumentation............................................................................................142.4 SaltStorage...............................................................................................................................................................152.5 SamplingDataSummary....................................................................................................................................15
Section 3: Stormwater Control Measures ................................................................................. 17
3.1 MinimizeExposure...............................................................................................................................................173.2 GoodHousekeeping..............................................................................................................................................183.3 MaintenanceofControlMeasures..................................................................................................................183.4 SpillPreventionandResponse.........................................................................................................................183.5 ErosionandSedimentControls.......................................................................................................................193.6 ManagementofRunoff........................................................................................................................................203.7 SaltStoragePilesorPilesContainingSalt...................................................................................................203.8 MSGPSector‐SpecificNon‐NumericEffluentLimits...............................................................................203.9 EmployeeTraining................................................................................................................................................213.10 Non‐StormwaterDischarges.............................................................................................................................213.11 Waste,GarbageandFloatableDebris............................................................................................................223.12 DustGenerationandVehicleTrackingofIndustrialMaterials...........................................................22
Section 4: Schedules and Procedures ........................................................................................ 23
4.1 SchedulesandProceduresPertainingtoControlMeasures................................................................234.2 SchedulesandProceduresPertainingtoInspections............................................................................23
4.2.1 RoutineFacilityInspections..................................................................................................................234.2.2 MonthlyDeicingInspections.................................................................................................................25
4.3 SchedulesandProceduresPertainingtoMonitoring.............................................................................254.3.1 QuarterlyVisualStormwaterAssessment.......................................................................................254.3.2 BenchmarkMonitoring...........................................................................................................................274.3.3 ELGMonitoring...........................................................................................................................................274.3.4 State‐orTribal‐SpecificMonitoring...................................................................................................27
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
ii © 2015 CDM Smith All Rights Reserved
4.3.5 ImpairedWatersMonitoring...............................................................................................................274.3.6 SubstantiallyIdenticalOutfallException.........................................................................................28
4.4 SchedulesandProceduresPertainingtoCorrectiveAction................................................................294.5 SchedulesandProceduresPertainingtoAnnualReports....................................................................30
Section 5: Documentation to Support Eligibility Considerations under Other Federal Laws ...... 33
5.1 DocumentationRegardingEndangeredSpecies.......................................................................................335.2 DocumentationRegardingHistoricProperties........................................................................................335.3 DocumentationRegardingNEPAReview(ifapplicable)......................................................................33
Section 6: SWPPP Certification ................................................................................................. 35
6.1 Person(s)ResponsibleforSWPPPPreparation........................................................................................356.2 SWPPPCertification–AviationDepartment..............................................................................................356.3 SWPPPCertification–Operators....................................................................................................................36
Section 7: SWPPP Modifications ............................................................................................... 37
SWPPP Appendices ................................................................................................................... 39
AppendixA PollutionPreventionTeamMembersAppendixB Multi‐SectorGeneralPermit2015AppendixC Figures
Figure1GeneralLocationMapFigure2SitePlanFigure3DrainagePlanFigure4NorthTerminalActivitiesPlanFigure5FixedBaseOperatorsActivitiesPlanFigure6AirCargoActivitiesPlanFigure7CarRentalFacilityActivitiesPlanFigure8Roadway/RunwayAnti‐icingPlan
AppendixD ListofTenantSpecificPotentialPollutantsAppendixE EvaluationofNon‐StormwaterDischargesAppendixF BestManagementPracticesandSummaryofTenant‐SpecificBMPsAppendixG TrainingRecordsAppendixH EndangeredandThreatenedSpeciesScreeningMemorandumAppendixI HistoricPropertiesPreservationScreeningMemorandumAppendixJ CopyoftheNoticeofIntentandAcknowledgementLetterAppendixK DocumentationofMaintenancetoControlMeasuresAppendixL DocumentationofCorrectiveActionTakenAppendixM Reports
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
39 © 2015 CDM Smith All Rights Reserved
SWPPP Appendices AppendixA PollutionPreventionTeamMembers
AppendixB Multi‐SectorGeneralPermit2015
AppendixC Figures
Figure1LocationMap
Figure2SitePlan
Figure3DrainagePlan
Figure4TerminalTenantsActivitiesPlan
Figure5FixedBaseOperatorsActivitiesPlan
Figure6CargoFacilityActivitiesPlan
Figure7CarRentalFacilityActivitiesPlan
Figure8Building/GroundsMaintenanceRoadway/RunwayAnti‐icingPlan
Figure9Non‐StormwaterDischarges/SignificantSpillsPlan
AppendixD ListofTenantSpecificPotentialPollutants
AppendixE EvaluationofNon‐StormwaterDischarges
AppendixF BestManagementPractices
BMPsAssignedtoTenant/Operations
AppendixG TrainingRecords
AppendixH EndangeredandThreatenedSpeciesScreeningMemorandum
AppendixI HistoricPropertiesPreservationScreeningMemorandum
AdditionalDocumentation
AppendixJ CopyoftheNoticeofIntentandAcknowledgementLetter
AppendixK DocumentationofMaintenancetoControlMeasures
AppendixL DocumentationofCorrectiveActionTaken
AppendixM Reports
QuarterlyRoutineFacilityInspectionsComprehensiveSiteComplianceEvaluationQuarterlyStormwaterMonitoringMonthlyDeicingInspectionsAnnualReportSemi‐annualInspections
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
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Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
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APPENDIX H ENDANGERED AND THREATENED SPECIES
SCREENING MEMORANDUM
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
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© 2015 CDM Smith All Rights Reserved APP H2 ‐ ESA Criterion Eligibility 2015
Memorandum
To: Christopher Albrecht, Environmental Manager Albuquerque Aviation Department
From: Sarah C. Tuite, P.E.
Date: July 13, 2015
Subject: Update to Albuquerque International Sunport and Double Eagle II Airport Documentation of Eligibility with respect to Endangered Species for Coverage under the Multi‐Sector General Permit for Stormwater Discharges Associated with Industrial Activities (MSGP 2015)
AspartoftheStormwaterPollutionPreventionPlan(SWPPP)updatesfortheAlbuquerqueInternationalSunport(ABQ)andDoubleEagleIIAirport(DEII),areviewofthreatenedandendangeredspecieswasperformed.ThepurposeofthisreviewwastoverifythespeciesthathavebeenplacedontheU.S.FishandWildlifeService’s(FWS)threatenedorendangeredspecieslistfortheActionAreasofthetwoairportssincetheevaluationperformedin2013.TheeligibilitydeterminationwascompletedinsupportoftheAviationDepartment’sNoticesofIntent(NOIs)forcoverageofbothairportsundertheMulti‐SectorGeneralPermit(MSGP2015)forStormwaterDischargesAssociatedwithIndustrialActivity.
UsingthemethodologyoutlinedinAppendixEofMSGP2015,bothairportshavebeendeterminedeligibleforcoverageunderCriterionCrelatedtoendangeredspeciesprotection.Theendangeredspeciesdatacollectedandtheassessmentofthepotentialeffectsofairportdischargesaredescribedinthismemorandum. TheinformationisformattedinaccordancewiththerequirementsofMSGP2015,AppendixE. Thisinformationmayalsobehelpfultotenants(operators)atthetwoairportsthatintendtofileNOIsandclaimforeligibilityunderCriterionBofMSGP2015,AppendixE.
ItisimportantthattheEnvironmentalManagerbeuptodateonthethreatenedandendangeredspeciesintheeventthatanissueregardinganimalsateitherairportoccurs.ThisinformationshouldalsobeconveyedtoAirfieldMaintenancestaff.
Step One: Determine if the Eligibility Requirements of Criterion B, D, or E Can Be Met
NoneoftheeligibilityrequirementsofCriteriaB,D,orEapplytoAviation’soperationsatABQorDEII.Aviation’sactivitiesatthetwoairportsarenotcoveredundertheeligibilitycertificationofanotheroperatorfortheprojectarea(CriterionBrequirement).Also,AviationhasnotpreviouslycompletedanEndangeredSpeciesAct(ESA)Section7consultation(aCriterionDrequirement)foreitheroftheairportproperties.Lastly,Aviation’sactivitiesattheairportshavenotbeenaddressedthroughapprovalofaHabitatConservationPlanunderSection10ofthe
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© 2015 CDM Smith All Rights Reserved APP H2 ‐ ESA Criterion Eligibility 2015
ESA(aCriterionErequirement).However,operatorsatABQandDEIImayclaimeligibilityunderCriterionB(i.e.,coverageundertheDepartment’scertification)aslongastheymeettherequirementsoutlinedinMSGP2015,AppendixE.
Step Two: Determine the Extent of Your Action Area
TheActionArea,asdefinedintheMSGP2015,includes“allareastobeaffecteddirectlyorindirectlybythefederalactionandnotmerelytheimmediateareainvolvedintheaction,includingareasbeyondthefootprintofthefacilitythatarelikelytobeaffectedbystormwaterdischarges,discharge‐relatedactivities,andallowablenon‐stormwaterdischarges.” Assuch,AppendixEdirectstheevaluatortoconsiderareasbeyondthefootprintofthefacilityincludingdownstreamareasthatmaybeimpactedbydischargesofpollutants.
UsingAppendixEdirectionsandthe2015MSGPActionAreadescription,theActionAreaforeachairportwasdelineatedusingthesubwatershedsthatcontaintheairportproperties,arroyosandchannelsthatreceiveandconveystormwaterdischargesfromtheairportsandtheRioGrandeastheultimatereceivingwater.Thetributariesandreceivingwatersconsideredarelistedbelow:
AlbuquerqueInternationalSunportAirport–KirtlandChannel,AMAFCASouthDiversionChannel,TijerasArroyoandtheRioGrande
DoubleEagleIIAirport–North&SouthBocaNegraArroyos,MariposaDetentionBasin,SanAntonioArroyo,CorralesRiversideDrainExtension,andtheRioGrande.
GeographicInformationSystem(GIS)mappingsystemwasutilizedtocreatetheActionAreas.ThefirststepwastodownloadthecountywideparcelboundariesshapefilefromtheCityofAlbuquerqueGISwebsite( ).https://www.cabq.gov/gis/geographic‐information‐systems‐dataTheattributestableintheparcelboundariesshapefilewasusedtolocateallparcelsassociatedwitheachairport.TheparcelsweremergedinGIStocreateoneshapefile.
Thenextstepwastodeterminewhichsubwatershedswereassociatedwitheachairport.Thehydrographygeodatabase(geodatabase)fortheAlbuquerqueNewMexicoareawasdownloadedfromtheUnitedStatesGeologicalSurvey(USGS)NationalMapViewerwebsitebasedonthetwoairportsshapefiles( ).Thehttp://viewer.nationalmap.gov/viewer/subwatershedswereselectedbasedontheairports’mergedshapefilelocationwithinthegeodatabase.GISwasthenusedtocreateshapefilesoftheActionAreaatthe12‐digithydrologicunitcode(HUC)sixth‐levelsubwatershedforeachairport.ThesesubwatershedshapefileswereusedtoperformStep3.
Note:Eachairportcrossedtwosubwatersheds,thetwosubwatershedswerecombinedtocreatetheActionAreaspecifictoeachairport.ThesubwatershedsthatweredeterminedforeachairportarelistedonTable1below:
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© 2015 CDM Smith All Rights Reserved APP H2 ‐ ESA Criterion Eligibility 2015
Table 1 Airport Subwatersheds for Generation of Action Area
Airport Name HUC12 Number Subwatershed Name Square Miles
Albuquerque International Sunport Airport 130202030304 City of Albuquerque 59
130202030203 Lower Tijeras Arroyo 43
Double Eagle II Airport 130202030108 City of Paradise Hills‐Rio Grande 47
130202030303 West Mesa Airport‐Rio Grande 58
TheActionAreasareshownonthefigureincludedintheCriterionCEligibilityFormasAttachment1.
Step Three: Determine if Listed Threatened or Endangered Species and Critical Habitat are Present in the Action Area.
TheU.S.Fish&WildlifeService(FWS)maintainsanonlinemappingtoolInformation,PlanningandConsultationSystem(IPaC)( ),usedtocreateareaspecificlistingsofhttp://ecos.fws.gov/ipac/endangeredspecies.ImportedGISgeneratedshapefilesfromStep2wereusedinIPaCtocreatethesitespecificendangeredspecieslist.AnOfficialSpeciesListRequestwasperformedandanOfficialSpeciesList(List)wascreatedforeachActionArea.BothListscontainthesamethreatenedorendangeredspeciesandcriticalhabitat.TheinformationfromtheIPaCwebsiteispresentedinAttachment2foreachActionArea.
BasedontheLists,therearesixfederally‐listedspeciesandtwocriticalhabitatsdeterminedtopotentiallyoccurintheActionArea.ThesesixspeciesarelistedonTable2andtwocriticalhabitatsarelistedonTable3.Thereweretwonewspeciesaddedafter2013,thenewspeciesarehighlightedinyellowinTable2.
Table 2 Threatened or Endangered Species listed for Action Areas
Common Name Scientific Name Species Group
Listing Status
Mexican spotted owl Strix occidentalis lucida birds T
New Mexico meadow jumping mouse Zapus hudsonius luteus mammals E
Rio Grande silvery minnow Hybognathus amarus fishes E
Southwest Willow flycatcher Empidonax traillii extimus birds E
Sprague's Pipit Anthus spragueii birds C
Yellow‐Billed Cuckoo Coccyzus americanus birds T
C – Candidate, E – Endangered, T – Threatened
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© 2015 CDM Smith All Rights Reserved APP H2 ‐ ESA Criterion Eligibility 2015
Table 3 Critical habitats listed as within the Action Areas
Species Habitat Critical Habitat Type
Yellow‐Billed Cuckoo (Coccyzus americanus) Proposed
Rio Grande silvery minnow (Hybognathus amarus) Final designated
InformationprovidedontheFWSwebsiteindicatesthattheendangeredNewMexicomeadowjumpingmouseresidesinmoist,streamside,denseriparian/wetlandvegetation.Theseenvironmentalconditionsaresubstantiallydifferentthanthosepresentateitherairport.Additionally,nodesignatedcriticalhabitathasbeenestablishedforthisspecies.
InformationprovidedontheFWSwebsiteindicatesthatthecandidateSprague'sPipitisfoundinextensiveareasofwell‐developeddesertgrasslandsduringwintermonths.Theseenvironmentalconditionsaresubstantiallydifferentthanthosepresentateitherairport.
AspreviouslyindicatedinpastMSGPreportsnoneofthethreatenedorendangeredspeciesarelikelytooccurontheestablishedABQorDEIIproperties. However,twoendangeredspecies,theRioGrandesilveryminnowandthesouthwestwillowflycatcherareknownorlikelytobepresent,atleastseasonally,attheRioGrande,receivingwatersforairportstormwaterdischarges.
Step Four: Determine If Your Industrial Facility’s Discharges Or Discharge‐Related Activities Are Likely To Adversely Affect Listed Threatened Or Endangered Species Or Designated Critical Habitat And Any Measures That Must Be Implemented To Avoid Adverse Effects
Step4wasperformedbasedonthelistofendangeredspeciesandtheirpotentialorknownhabitatgeneratedinStep3.Assuch,anassessmentofeachairportsdischargesanddischargerelatedactivitiesthatcouldadverselyaffectthelistedspeciesandcriticalhabitatwasperformed.TheassessmentincludedthecompletionoftheCriterionCEligibilityFormutilizingcurrentinformationandinstructionsincombinationwithpastMSGPinformation.ThissectionprovidestheinformationthatwasutilizedtocompletetheCriterionCEligibilityFormforbothABQandDEII.
Albuquerque International Sunport Airport
Theairportpropertyoccupiesapproximately2,500acresorlessthan5percentofthedrainageareaofthe100plussquaremileCityofAlbuquerque/LowerTijerasArroyodrainagearea.AnecdotalevidencefromthelastseveralyearsofquarterlystormwatermonitoringatABQconfirmsthatonlyafewstormseachyearproducesufficientrunoffforstormwaterdischargesfromtheairporttoreachTijerasArroyo.WhenstormwaterflowsfromtheairportreachTijerasArroyo,theyaredilutedbythesignificantlygreaterflowinthechannelbeforedischargetotheRioGrande.AppendixEoftheMSGPindicates“whereastormwaterdischargeconstitutesaminuteportionofthetotalvolumeofthereceivingwater,adversehydrologicaleffectsarelesslikely.”Adverseeffectstoreceivingwaterssuchastemperature,salinity,pH,ordissolvedoxygenintheRioGrandeareconsideredremote.
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DirectimpactstohabitatarealsounlikelybecausehabitatfortheidentifiedendangeredspeciesisnotpresentatABQ.Materialstorage,constructionormaintenanceofstormwatercontrolmeasuresattheairportwillnotimpacthabitat.Stormwaterdischargesfromtheairportcouldcontributeminimallytopotentialinundationofhabitatintheeventofanextremeprecipitationevent.
DeicingchemicalusageatABQisfarbelowtheMSGPSectorSthresholdsandtherefore,theDepartmentisnotrequiredtoperformbenchmarkmonitoring,samplingforeffluentlimitationguidelines,oranyotheranalysisofstormwaterdischargesfromABQ.Thereisnoreasontosuspectthatthestormwaterdischargesfromtheairporthaveeverexceededanyguidelines,establishedstandardsorrequirements.ThemostnotablepotentialpollutantsinstormwaterdischargesfromABQincludedeicing/anti‐icingchemicals,additivestotheseformulations(addpacks)andpetroleumhydrocarbons.TheairportSWPPPincludesbestmanagementpractices(BMPs)andothercontrolsdesignedtominimizestormwaterimpactsbytheseorotherpotentialpollutants.ItisbelievedthatanytracepollutantsthatmaybepresentinstormwaterdischargedfromABQwouldbesignificantlydilutedbytheexistingflowintheTijerasArroyoandRioGrande.
Double Eagle II Airport
Theairportpropertyoccupiesapproximately4,300acresorlessthan7percentofthedrainageareaofthe100plussquaremileCityofParadiseHills‐RioGrande/WestMesaAirport‐RioGrandedrainagearea.TheairportpropertylieseastofAlbuquerqueontherelativelyflatWestMesaandispartiallyisolatedfromtheRioGrandeValleybythetopographicreliefoftheAlbuquerqueVolcanoes.
Themajorityofthestormwaterrunoffgeneratedattheairport,pondsinshallowdepressionswhereiteventuallyevaporatesand/orinfiltratesintothesoils.ItispossibleforstormwaterdischargesfromextremeeventstoentertheNorthorSouthBocaNegraArroyosandflowtowardtheRioGrande.However,anecdotalevidencefromthelastseveralyearsofquarterlystormwatermonitoringatDEIIconfirmsthatoff‐siterunoffisextremelyrare.IfstormwaterflowsfromtheairportweretoreachtheRioGrande,theywouldbedilutedbythesignificantlygreaterflowintheriver.AppendixEoftheMSGPindicates“whereastormwaterdischargeconstitutesaminuteportionofthetotalvolumeofthereceivingwater,adversehydrologicaleffectsarelesslikely.”Adverseeffectstoreceivingwaterssuchastemperature,salinity,pH,ordissolvedoxygenintheRioGrandeareconsideredveryremote.
DirectimpactstohabitatarealsounlikelybecausehabitatfortheidentifiedendangeredspeciesisnotpresentatDEII.Materialstorage,constructionormaintenanceofstormwatercontrolmeasuresattheairportwillnotimpacthabitat.Stormwaterdischargesfromtheairportcouldcontributeminimallytopotentialinundationofhabitatintheeventofanextremeprecipitationevent.
ThereisnodeicingchemicalusageatDEIIandtherefore,Aviationisnotrequiredtoperformbenchmarkmonitoring,samplingforeffluentlimitationguidelines,oranyotheranalysisofstormwaterdischargesfromDEII.Thereisnoreasontosuspectthatthestormwaterdischargesfromtheairporthaveeverexceededanyguidelines,establishedstandardsorrequirements.The
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© 2015 CDM Smith All Rights Reserved APP H2 ‐ ESA Criterion Eligibility 2015
mostnotablepotentialpollutantsinstormwaterdischargesfromDEIIarepetroleumhydrocarbons.TheairportSWPPPincludesBMPsandothercontrolsdesignedtominimizestormwaterimpactsbytheseorotherpotentialpollutants.ItisbelievedthatanytracepollutantsthatmaybepresentinstormwaterdischargedfromDEIIwouldbesignificantlydilutedbytheexistingflowinthetributarydrainagesandtheRioGrande.
Attachments:
Document1–ABQCriterionCEligibilityForm(includingAttachment1and2)
Document2–DEIICriterionCEligibilityForm(includingAttachment1and2)
cc: ABQandDEIIAirportOperators
Attachment 1 Include a map and a written description of the action area of your facility, as required in Step 2. You may choose to include the map that is generated from the FWS’ on-line mapping tool IPaC (the Information, Planning, and Consultation System) located at http://ecos.fws.gov/ipac/.
The written description of your action area that accompanies your action area map must explain your rationale for the extant of the action area drawn on your map. For example, your action area written description may look something like this:
The action area for the (name of your facility)’s stormwater discharges extends downstream from the outfall(s) in (name of receiving waterbody) (# of meters/feet/kilometers/miles). The downstream limit of the action area reflects the approximate distance at which the discharge waters and any pollutants would be expected to cause potential adverse effects to listed species and/or critical habitat because (insert rationale). The action area does/does not extend to the (name of receiving waterbody)’s confluence with (name of confluence waterbody) because (insert rationale).
Note that you action area written description will be highly site-specific, depending on the expected effects of your facility’s dishcarges and discharge-related activities, receiving waterbody characteristics, etc.
Criterion C Eligibility Form Page 10 of 11
Attachment 2 List or attach the listed species and critical habitat in your action area on this sheet, as required in Step 3. You must include a list for applicable listed NMFS and FWS species and critical habitat. If there are listed species and/or critical habitat for only one Service, you must include a statement confirming there are no listed species and/or critical habitat for the other Service. For FWS species, include the full printout from your IPaC query. Note: If your Official Species List from the USFWS indicated no species or critical habitat were present in your action area, include the full consultation tracking code at the top of your Official Species List in your NOI submittal in the question “Provide a brief summary of the basis for the criterion selected in Appendix E.” If an Official Species List was not available on IPaC, list the contact date and name of the Service staff with whom you corresponded to identify the existence of any USFWS species or critical habitat present in your action area.
Criterion C Eligibility Form Page 11 of 11
See attached Official Species List for Albuquerque International Sunport
United States Department of the InteriorFISH AND WILDLIFE SERVICE
New Mexico Ecological Services Field Office2105 OSUNA ROAD NE
ALBUQUERQUE, NM 87113PHONE: (505)346-2525 FAX: (505)346-2542
URL: www.fws.gov/southwest/es/NewMexico/;www.fws.gov/southwest/es/ES_Lists_Main2.html
Consultation Code: 02ENNM00-2015-SLI-0382 June 26, 2015Event Code: 02ENNM00-2015-E-00484Project Name: Albuquerque International Sunport Airport SWPPP
Subject: List of threatened and endangered species that may occur in your proposed projectlocation, and/or may be affected by your proposed project
To Whom It May Concern:
Thank you for your recent request for information on federally listed species and importantwildlife habitats that may occur in your project area. The U.S. Fish and Wildlife Service(Service) has responsibility for certain species of New Mexico wildlife under the EndangeredSpecies Act (ESA) of 1973 as amended (16 USC 1531 et seq.), the Migratory Bird Treaty Act(MBTA) as amended (16 USC 701-715), and the Bald and Golden Eagle Protection Act(BGEPA) as amended (16 USC 668-668c). We are providing the following guidance to assistyou in determining which federally imperiled species may or may not occur within your projectarea and to recommend some conservation measures that can be included in your project design.
FEDERALLY-LISTED SPECIES AND DESIGNATED CRITICAL HABITAT
Attached is a list of endangered, threatened, and proposed species that may occur in your projectarea. Your project area may not necessarily include all or any of these species. Under the ESA,it is the responsibility of the Federal action agency or its designated representative to determineif a proposed action "may affect" endangered, threatened, or proposed species, or designatedcritical habitat, and if so, to consult with the Service further. Similarly, it is the responsibility ofthe Federal action agency or project proponent, not the Service, to make "no effect"determinations. If you determine that your proposed action will have "no effect" on threatenedor endangered species or their respective critical habitat, you do not need to seek concurrencewith the Service. Nevertheless, it is a violation of Federal law to harm or harass anyfederally-listed threatened or endangered fish or wildlife species without the appropriate permit.
If you determine that your proposed action may affect federally-listed species, consultation withthe Service will be necessary. Through the consultation process, we will analyze information
contained in a biological assessment that you provide. If your proposed action is associated withFederal funding or permitting, consultation will occur with the Federal agency under section7(a)(2) of the ESA. Otherwise, an incidental take permit pursuant to section 10(a)(1)(B) of theESA (also known as a habitat conservation plan) is necessary to harm or harass federally listedthreatened or endangered fish or wildlife species. In either case, there is no mechanism forauthorizing incidental take "after-the-fact." For more information regarding formal consultationand HCPs, please see the Service's Consultation Handbook and Habitat Conservation Plans atwww.fws.gov/endangered/esa-library/index.html#consultations.
The scope of federally listed species compliance not only includes direct effects, but also anyinterrelated or interdependent project activities (e.g., equipment staging areas, offsite borrowmaterial areas, or utility relocations) and any indirect or cumulative effects that may occur in theaction area. The action area includes all areas to be affected, not merely the immediate areainvolved in the action. Large projects may have effects outside the immediate area to speciesnot listed here that should be addressed. If your action area has suitable habitat for any of theattached species, we recommend that species-specific surveys be conducted during theflowering season for plants and at the appropriate time for wildlife to evaluate any possibleproject-related impacts.
Candidate Species and Other Sensitive Species
A list of candidate and other sensitive species in your area is also attached. Candidate speciesand other sensitive species are species that have no legal protection under the ESA, although werecommend that candidate and other sensitive species be included in your surveys andconsidered for planning purposes. The Service monitors the status of these species. If significantdeclines occur, these species could potentially be listed. Therefore, actions that may contributeto their decline should be avoided.
Lists of sensitive species including State-listed endangered and threatened species are compiledby New Mexico state agencies. These lists, along with species information, can be found at thefollowing websites:
Biota Information System of New Mexico (BISON-M): www.bison-m.org
New Mexico State Forestry. The New Mexico Endangered Plant Program: www.emnrd.state.nm.us/SFD/ForestMgt/Endangered.html
New Mexico Rare Plant Technical Council, New Mexico Rare Plants: nmrareplants.unm.edu
Natural Heritage New Mexico, online species database: nhnm.unm.edu
WETLANDS AND FLOODPLAINS
Under Executive Orders 11988 and 11990, Federal agencies are required to minimize thedestruction, loss, or degradation of wetlands and floodplains, and preserve and enhance theirnatural and beneficial values. These habitats should be conserved through avoidance, ormitigated to ensure that there would be no net loss of wetlands function and value.
2
We encourage you to use the National Wetland Inventory (NWI) maps in conjunction withground-truthing to identify wetlands occurring in your project area. The Service's NWI programwebsite, www.fws.gov/wetlands/Data/Mapper.html integrates digital map data with otherresource information. We also recommend you contact the U.S. Army Corps of Engineers forpermitting requirements under section 404 of the Clean Water Act if your proposed action couldimpact floodplains or wetlands.
MIGRATORY BIRDS
The MBTA prohibits the taking of migratory birds, nests, and eggs, except as permitted by theService's Migratory Bird Office. To minimize the likelihood of adverse impacts to migratorybirds, we recommend construction activities occur outside the general bird nesting season fromMarch through August, or that areas proposed for construction during the nesting season besurveyed, and when occupied, avoided until the young have fledged.
We recommend review of Birds of Conservation Concern at websitewww.fws.gov/migratorybirds/CurrentBirdIssues/Management/BCC.html to fully evaluate theeffects to the birds at your site. This list identifies birds that are potentially threatened bydisturbance and construction.
BALD AND GOLDEN EAGLES
The bald eagle ( ) was delisted under the ESA on August 9, 2007. BothHaliaeetus leucocephalusthe bald eagle and golden eagle ( ) are still protected under the MBTA andAquila chrysaetosBGEPA. The BGEPA affords both eagles protection in addition to that provided by the MBTA,in particular, by making it unlawful to "disturb" eagles. Under the BGEPA, the Service mayissue limited permits to incidentally "take" eagles (e.g., injury, interfering with normal breeding,feeding, or sheltering behavior nest abandonment). For information on bald and golden eaglemanagement guidelines, we recommend you review information provided atwww.fws.gov/midwest/eagle/guidelines/bgepa.html.
On our web site www.fws.gov/southwest/es/NewMexico/SBC_intro.cfm, we have includedconservation measures that can minimize impacts to federally listed and other sensitive species.These include measures for communication towers, power line safety for raptors, road andhighway improvements, spring developments and livestock watering facilities, wastewaterfacilities, and trenching operations.
We also suggest you contact the New Mexico Department of Game and Fish, and the NewMexico Energy, Minerals, and Natural Resources Department, Forestry Division forinformation regarding State fish, wildlife, and plants.
Thank you for your concern for endangered and threatened species and New Mexico's wildlifehabitats. We appreciate your efforts to identify and avoid impacts to listed and sensitive speciesin your project area. For further consultation on your proposed activity, please call505-346-2525 or email [email protected] and reference your Service Consultation TrackingNumber.
Attachment
3
4
http://ecos.fws.gov/ipac, 06/26/2015 01:40 PM
1
Official Species ListProvided by:
New Mexico Ecological Services Field Office
2105 OSUNA ROAD NE
ALBUQUERQUE, NM 87113
(505) 346-2525
http://www.fws.gov/southwest/es/NewMexico/
http://www.fws.gov/southwest/es/ES_Lists_Main2.html
Consultation Code: 02ENNM00-2015-SLI-0382Event Code: 02ENNM00-2015-E-00484
Project Type: WATER QUALITY MODIFICATION
Project Name: Albuquerque International Sunport Airport SWPPPProject Description: This project is updating the Albuquerque International Sunport AirportSWPPP. Located in Albuquerque New Mexico. This information is needed late June to early July tomeet EPA submittal deadlines. This information is needed to submit to EPA to meet Step 3 ofAppendix E of the MSGP.
Please Note: The FWS office may have modified the Project Name and/or Project Description, so itmay be different from what was submitted in your previous request. If the Consultation Codematches, the FWS considers this to be the same project. Contact the office in the 'Provided by'section of your previous Official Species list if you have any questions or concerns.
United States Department of InteriorFish and Wildlife Service
Project name: Albuquerque International Sunport Airport SWPPP
http://ecos.fws.gov/ipac, 06/26/2015 01:40 PM
2
Project Location Map:
Project Coordinates: The coordinates are too numerous to display here.
Project Counties: Bernalillo, NM
United States Department of InteriorFish and Wildlife Service
Project name: Albuquerque International Sunport Airport SWPPP
http://ecos.fws.gov/ipac, 06/26/2015 01:40 PM
3
Endangered Species Act Species List
There are a total of 6 threatened, endangered, or candidate species on your species list. Species on this list should be
considered in an effects analysis for your project and could include species that exist in another geographic area. For
example, certain fish may appear on the species list because a project could affect downstream species. Critical habitats
listed under the Has Critical Habitat column may or may not lie within your project area. See the Critical habitatswithin your project area section further below for critical habitat that lies within your project. Please contact the
designated FWS office if you have questions.
Birds Status Has Critical Habitat Condition(s)
Mexican Spotted owl (Strixoccidentalis lucida) Population: Entire
Threatened Final designated
Southwestern Willow flycatcher
(Empidonax traillii extimus) Population: Entire
Endangered Final designated
Sprague's Pipit (Anthus spragueii) Candidate
Yellow-Billed Cuckoo (Coccyzusamericanus) Population: Western U.S. DPS
Threatened Proposed
Fishes
Rio Grande silvery minnow
(Hybognathus amarus) Population: Entire, except where listed as an
experimental population
Endangered Final designated
Mammals
New Mexico meadow jumping mouse
(Zapus hudsonius luteus)Endangered Proposed
United States Department of InteriorFish and Wildlife Service
Project name: Albuquerque International Sunport Airport SWPPP
http://ecos.fws.gov/ipac, 06/26/2015 01:40 PM
4
Critical habitats that lie within your project area
The following critical habitats lie fully or partially within your project area.
Birds Critical Habitat Type
Yellow-Billed Cuckoo (Coccyzus americanus) Population: Western U.S. DPS
Proposed
Fishes
Rio Grande silvery minnow (Hybognathusamarus) Population: Entire, except where listed as an
experimental population
Final designated
United States Department of InteriorFish and Wildlife Service
Project name: Albuquerque International Sunport Airport SWPPP
Attachment 1 Include a map and a written description of the action area of your facility, as required in Step 2. You may choose to include the map that is generated from the FWS’ on-line mapping tool IPaC (the Information, Planning, and Consultation System) located at http://ecos.fws.gov/ipac/.
The written description of your action area that accompanies your action area map must explain your rationale for the extant of the action area drawn on your map. For example, your action area written description may look something like this:
The action area for the (name of your facility)’s stormwater discharges extends downstream from the outfall(s) in (name of receiving waterbody) (# of meters/feet/kilometers/miles). The downstream limit of the action area reflects the approximate distance at which the discharge waters and any pollutants would be expected to cause potential adverse effects to listed species and/or critical habitat because (insert rationale). The action area does/does not extend to the (name of receiving waterbody)’s confluence with (name of confluence waterbody) because (insert rationale).
Note that you action area written description will be highly site-specific, depending on the expected effects of your facility’s dishcarges and discharge-related activities, receiving waterbody characteristics, etc.
Criterion C Eligibility Form Page 10 of 11
Attachment 2 List or attach the listed species and critical habitat in your action area on this sheet, as required in Step 3. You must include a list for applicable listed NMFS and FWS species and critical habitat. If there are listed species and/or critical habitat for only one Service, you must include a statement confirming there are no listed species and/or critical habitat for the other Service. For FWS species, include the full printout from your IPaC query. Note: If your Official Species List from the USFWS indicated no species or critical habitat were present in your action area, include the full consultation tracking code at the top of your Official Species List in your NOI submittal in the question “Provide a brief summary of the basis for the criterion selected in Appendix E.” If an Official Species List was not available on IPaC, list the contact date and name of the Service staff with whom you corresponded to identify the existence of any USFWS species or critical habitat present in your action area.
Criterion C Eligibility Form Page 11 of 11
See attached Official Species List for Double Eagle II Airport
United States Department of the InteriorFISH AND WILDLIFE SERVICE
New Mexico Ecological Services Field Office2105 OSUNA ROAD NE
ALBUQUERQUE, NM 87113PHONE: (505)346-2525 FAX: (505)346-2542
URL: www.fws.gov/southwest/es/NewMexico/;www.fws.gov/southwest/es/ES_Lists_Main2.html
Consultation Code: 02ENNM00-2015-SLI-0379 June 25, 2015Event Code: 02ENNM00-2015-E-00481Project Name: Double Eagle II Airport SWPPP
Subject: List of threatened and endangered species that may occur in your proposed projectlocation, and/or may be affected by your proposed project
To Whom It May Concern:
Thank you for your recent request for information on federally listed species and importantwildlife habitats that may occur in your project area. The U.S. Fish and Wildlife Service(Service) has responsibility for certain species of New Mexico wildlife under the EndangeredSpecies Act (ESA) of 1973 as amended (16 USC 1531 et seq.), the Migratory Bird Treaty Act(MBTA) as amended (16 USC 701-715), and the Bald and Golden Eagle Protection Act(BGEPA) as amended (16 USC 668-668c). We are providing the following guidance to assistyou in determining which federally imperiled species may or may not occur within your projectarea and to recommend some conservation measures that can be included in your project design.
FEDERALLY-LISTED SPECIES AND DESIGNATED CRITICAL HABITAT
Attached is a list of endangered, threatened, and proposed species that may occur in your projectarea. Your project area may not necessarily include all or any of these species. Under the ESA,it is the responsibility of the Federal action agency or its designated representative to determineif a proposed action "may affect" endangered, threatened, or proposed species, or designatedcritical habitat, and if so, to consult with the Service further. Similarly, it is the responsibility ofthe Federal action agency or project proponent, not the Service, to make "no effect"determinations. If you determine that your proposed action will have "no effect" on threatenedor endangered species or their respective critical habitat, you do not need to seek concurrencewith the Service. Nevertheless, it is a violation of Federal law to harm or harass anyfederally-listed threatened or endangered fish or wildlife species without the appropriate permit.
If you determine that your proposed action may affect federally-listed species, consultation withthe Service will be necessary. Through the consultation process, we will analyze information
contained in a biological assessment that you provide. If your proposed action is associated withFederal funding or permitting, consultation will occur with the Federal agency under section7(a)(2) of the ESA. Otherwise, an incidental take permit pursuant to section 10(a)(1)(B) of theESA (also known as a habitat conservation plan) is necessary to harm or harass federally listedthreatened or endangered fish or wildlife species. In either case, there is no mechanism forauthorizing incidental take "after-the-fact." For more information regarding formal consultationand HCPs, please see the Service's Consultation Handbook and Habitat Conservation Plans atwww.fws.gov/endangered/esa-library/index.html#consultations.
The scope of federally listed species compliance not only includes direct effects, but also anyinterrelated or interdependent project activities (e.g., equipment staging areas, offsite borrowmaterial areas, or utility relocations) and any indirect or cumulative effects that may occur in theaction area. The action area includes all areas to be affected, not merely the immediate areainvolved in the action. Large projects may have effects outside the immediate area to speciesnot listed here that should be addressed. If your action area has suitable habitat for any of theattached species, we recommend that species-specific surveys be conducted during theflowering season for plants and at the appropriate time for wildlife to evaluate any possibleproject-related impacts.
Candidate Species and Other Sensitive Species
A list of candidate and other sensitive species in your area is also attached. Candidate speciesand other sensitive species are species that have no legal protection under the ESA, although werecommend that candidate and other sensitive species be included in your surveys andconsidered for planning purposes. The Service monitors the status of these species. If significantdeclines occur, these species could potentially be listed. Therefore, actions that may contributeto their decline should be avoided.
Lists of sensitive species including State-listed endangered and threatened species are compiledby New Mexico state agencies. These lists, along with species information, can be found at thefollowing websites:
Biota Information System of New Mexico (BISON-M): www.bison-m.org
New Mexico State Forestry. The New Mexico Endangered Plant Program: www.emnrd.state.nm.us/SFD/ForestMgt/Endangered.html
New Mexico Rare Plant Technical Council, New Mexico Rare Plants: nmrareplants.unm.edu
Natural Heritage New Mexico, online species database: nhnm.unm.edu
WETLANDS AND FLOODPLAINS
Under Executive Orders 11988 and 11990, Federal agencies are required to minimize thedestruction, loss, or degradation of wetlands and floodplains, and preserve and enhance theirnatural and beneficial values. These habitats should be conserved through avoidance, ormitigated to ensure that there would be no net loss of wetlands function and value.
2
We encourage you to use the National Wetland Inventory (NWI) maps in conjunction withground-truthing to identify wetlands occurring in your project area. The Service's NWI programwebsite, www.fws.gov/wetlands/Data/Mapper.html integrates digital map data with otherresource information. We also recommend you contact the U.S. Army Corps of Engineers forpermitting requirements under section 404 of the Clean Water Act if your proposed action couldimpact floodplains or wetlands.
MIGRATORY BIRDS
The MBTA prohibits the taking of migratory birds, nests, and eggs, except as permitted by theService's Migratory Bird Office. To minimize the likelihood of adverse impacts to migratorybirds, we recommend construction activities occur outside the general bird nesting season fromMarch through August, or that areas proposed for construction during the nesting season besurveyed, and when occupied, avoided until the young have fledged.
We recommend review of Birds of Conservation Concern at websitewww.fws.gov/migratorybirds/CurrentBirdIssues/Management/BCC.html to fully evaluate theeffects to the birds at your site. This list identifies birds that are potentially threatened bydisturbance and construction.
BALD AND GOLDEN EAGLES
The bald eagle ( ) was delisted under the ESA on August 9, 2007. BothHaliaeetus leucocephalusthe bald eagle and golden eagle ( ) are still protected under the MBTA andAquila chrysaetosBGEPA. The BGEPA affords both eagles protection in addition to that provided by the MBTA,in particular, by making it unlawful to "disturb" eagles. Under the BGEPA, the Service mayissue limited permits to incidentally "take" eagles (e.g., injury, interfering with normal breeding,feeding, or sheltering behavior nest abandonment). For information on bald and golden eaglemanagement guidelines, we recommend you review information provided atwww.fws.gov/midwest/eagle/guidelines/bgepa.html.
On our web site www.fws.gov/southwest/es/NewMexico/SBC_intro.cfm, we have includedconservation measures that can minimize impacts to federally listed and other sensitive species.These include measures for communication towers, power line safety for raptors, road andhighway improvements, spring developments and livestock watering facilities, wastewaterfacilities, and trenching operations.
We also suggest you contact the New Mexico Department of Game and Fish, and the NewMexico Energy, Minerals, and Natural Resources Department, Forestry Division forinformation regarding State fish, wildlife, and plants.
Thank you for your concern for endangered and threatened species and New Mexico's wildlifehabitats. We appreciate your efforts to identify and avoid impacts to listed and sensitive speciesin your project area. For further consultation on your proposed activity, please call505-346-2525 or email [email protected] and reference your Service Consultation TrackingNumber.
Attachment
3
4
http://ecos.fws.gov/ipac, 06/25/2015 02:51 PM
1
Official Species ListProvided by:
New Mexico Ecological Services Field Office
2105 OSUNA ROAD NE
ALBUQUERQUE, NM 87113
(505) 346-2525
http://www.fws.gov/southwest/es/NewMexico/
http://www.fws.gov/southwest/es/ES_Lists_Main2.html
Consultation Code: 02ENNM00-2015-SLI-0379Event Code: 02ENNM00-2015-E-00481
Project Type: WATER QUALITY MODIFICATION
Project Name: Double Eagle II Airport SWPPPProject Description: This project is updating the Double Eagle II Airport SWPPP. Located inAlbuquerque New Mexico. This information is needed late June to early July to meet EPA submittaldeadlines. This information is needed to submit to EPA to meet Step 3 of Appendix E of the MSGP.
Please Note: The FWS office may have modified the Project Name and/or Project Description, so itmay be different from what was submitted in your previous request. If the Consultation Codematches, the FWS considers this to be the same project. Contact the office in the 'Provided by'section of your previous Official Species list if you have any questions or concerns.
United States Department of InteriorFish and Wildlife Service
Project name: Double Eagle II Airport SWPPP
http://ecos.fws.gov/ipac, 06/25/2015 02:51 PM
2
Project Location Map:
Project Coordinates: The coordinates are too numerous to display here.
Project Counties: Bernalillo, NM
United States Department of InteriorFish and Wildlife Service
Project name: Double Eagle II Airport SWPPP
http://ecos.fws.gov/ipac, 06/25/2015 02:51 PM
3
Endangered Species Act Species List
There are a total of 6 threatened, endangered, or candidate species on your species list. Species on this list should be
considered in an effects analysis for your project and could include species that exist in another geographic area. For
example, certain fish may appear on the species list because a project could affect downstream species. Critical habitats
listed under the Has Critical Habitat column may or may not lie within your project area. See the Critical habitatswithin your project area section further below for critical habitat that lies within your project. Please contact the
designated FWS office if you have questions.
Birds Status Has Critical Habitat Condition(s)
Mexican Spotted owl (Strixoccidentalis lucida) Population: Entire
Threatened Final designated
Southwestern Willow flycatcher
(Empidonax traillii extimus) Population: Entire
Endangered Final designated
Sprague's Pipit (Anthus spragueii) Candidate
Yellow-Billed Cuckoo (Coccyzusamericanus) Population: Western U.S. DPS
Threatened Proposed
Fishes
Rio Grande silvery minnow
(Hybognathus amarus) Population: Entire, except where listed as an
experimental population
Endangered Final designated
Mammals
New Mexico meadow jumping mouse
(Zapus hudsonius luteus)Endangered Proposed
United States Department of InteriorFish and Wildlife Service
Project name: Double Eagle II Airport SWPPP
http://ecos.fws.gov/ipac, 06/25/2015 02:51 PM
4
Critical habitats that lie within your project area
The following critical habitats lie fully or partially within your project area.
Birds Critical Habitat Type
Yellow-Billed Cuckoo (Coccyzus americanus) Population: Western U.S. DPS
Proposed
Fishes
Rio Grande silvery minnow (Hybognathusamarus) Population: Entire, except where listed as an
experimental population
Final designated
United States Department of InteriorFish and Wildlife Service
Project name: Double Eagle II Airport SWPPP
1
Tuite, Sarah
From:
Sent:
To:
Cc:
Subject:
Orndorff, Adam <[email protected]>
Thursday, July 30, 2015 9:30 AM
Tuite, Sarah
COMPLETE - Criterion C Eligibility Form Forwarded to the Services, City of Albuquerque
Aviation Department, Albuquerque International Sunport and Double Eagle II Airport,
New Mexico
This email is in response to the Criterion C Eligibility Forms (Forms) submitted to U.S. EPA as part of the industrial
stormwater Multi-Sector General Permit (MSGP) requirements. The Forms submitted for both Albuquerque
International Sunport and Double Eagle II Airport was complete and forwarded to the Services (FWS and NMFS) for
review on 7/17/2015. You may submit the NOI for permit coverage if no response is received by 8/15/2015.
I’m really sorry for not responding earlier! Please let me know if you have any questions.
Adam Orndorff | Environmental Scientist Direct: 703.385.2130 | Fax: 703.385.6007
Tetra Tech | Complex World, Clear Solutions10306 Eaton Place, Suite 340 | Fairfax, VA 22030-2201 | www.tetratech.com
PLEASE NOTE: This message, including any attachments, may include privileged, confidential and/or inside information. Any distribution or use of this communication by anyone other than the intended recipient is strictly prohibited and may be unlawful. If you are not the intended recipient, please notify the sender by replying to this message and then delete it from your system.
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
APPENDIX I HISTORIC PROPERTIES PRESERVATION
SCREENING MEMORANDUM
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
ThisPageIntentionallyLeftBlank
©2015 CDM Smith Inc. All Rights Reserved
Memorandum
To: Christopher Albrecht, Environmental Manager
From: Sarah C. Tuite
Date: July 13, 2015
Subject: Albuquerque International Sunport Stormwater Pollution Prevention Plan Eligibility Screening for the National Historic Preservation Act
OnbehalfoftheCityofAlbuquerqueAviationDepartment,CDMSmithInc.(CDMSmith)hereinpresentstheresultsofadeterminationofeligibilityfortheAlbuquerqueInternationalSunport(ABQ),regardingtheNationalHistoricPreservationAct(NHPA),forcoverageundertheMulti‐SectorGeneralPermitforStormwaterDischargesAssociatedwithIndustrialActivity(MSGP)2015.TheresultofthedeterminationdescribedhereinisthatABQiseligibleforcoverageundertheMSGPwithregardstoNHPA.AttachmentFoftheMSGPprovidesaguidelinefordeterminingeligibilityuponmeetingoneoffourcriteria.ThismemorandumdocumentsthecriteriamettodeterminethatthisFederalundertakinghasnopotentialtohaveaneffectonhistoricproperties.
Step One: Are you an existing facility that is reapplying for certification under the 2015 MSGP?
Duringadeterminationofeligibilityin2004,itwasdeterminedthatonlyonefacilityregisteredasaNationalHistoricPlacehadpotentialtobeimpactedbystormwaterdischargesatABQ.TheOldAlbuquerqueMunicipalAirportBuildingislocatedonCityofAlbuquerquepropertywestoftheoperationalterminalbuilding.TheOldAirportBuildinghasundergonerestorationandrenovationtoprotectitsvalueasanhistoricpropertyandislocatedinanareaservicedbyaseparatestormwatersewer.
AsanexistingfacilitytheNHPAwaspreviouslyaddressed.Asrequiredunderthe2015MSGP,ABQcertifiedthatitdoesnotaffecttheonehistoricproperty,OldAirportBuilding.TheAviationDepartmenthasnoplansofconstructingorinstallinganynewstormwatercontrolmeasures,thereforetheeligibilityCriterionAoftheMSGPhasbeenmet.
HavingmetCriterionA,nofurtherstepsarerequiredunderAttachmentFoftheMSGP.
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
APPENDIX J COPY OF THE NOTICE OF INTENT AND ACKNOWLEDGEMENT LETTER
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
ThisPageIntentionallyLeftBlank
Page 1 of 14
2015 NPDES Multi-Sector General Permit For Stormwater Discharges Associated With Industrial Activity (MSGP) Forms
United States Environmental Protection Agency 1200 Pennsylvania Ave, NW Washington, DC 20460
Note: This is a "smart form"; as you fill out the form, additional questions willl appear that you will need to answer.
Permit Information
1. What action would you like to take? *
File a New Notice of Intent Form
Submission of this Notice of Intent (NOI) constitutes notice that the operator identified in the Facility Operator Information section of this form requests authorization to discharge pursuant to the NPDES Stormwater Multi-Sector General Permit (MSGP) permit number identified in the Permit Information section of this form. Submission of this NOI also constitutes notice that the operator identified in the Facility Operator Information section of this form meets the eligibility conditions of Part 1.1 of the MSGP for the facility identified in the Facility Information section of this form. To obtain authorization, you must submit a complete and accurate NOI form. Discharges are not authorized if your NOI is incomplete or inaccurate or if you were never eligible for permit coverage.
Operator Name (Organization Name) *
City of Albuquerque Aviation Department
Operator Name as Noted by the NOI Preparer
City of Albuquerque Aviation Department
2. Select the state/territory where your facility is located *
NM
3. Is your facility located on Indian Country lands? *
Yes No
4. Are you requesting coverage as a "federal operator" as defined in Appendix A? * Yes No
Page 2 of 14
5. Are you a new discharger or a new source as defined in Appendix A? * Yes No
5a. Have stormwater discharges from your facility been covered previously under an NPDES permit? * Yes No
5aa. Provide your most current NPDES ID (i.e., permit tracking number) if you had coverage under EPA's MSGP 2008 or the NPDES permit number if you had coverage under an EPA individual permit *
NMR05GC75
6. Do you directly discharge to any of the waters of the U.S. that are designated by the state or tribal authority under its antidegradation policy as a Tier 3 water (Outstanding Natural Resource Water) (See Appendix L)? Your project will be considered to discharge to a Tier 3 water if the first water of the US to which you discharge is identified by a state, tribe, or EPA as a Tier 3 water. For discharges that enter a storm sewer system prior to discharge, the first water of the US to which you discharge is the waterbody that receives the stormwater discharge from the storm sewer system. *
Yes No
7. Does your facility directly discharge to a Federal CERCLA site listed in Appendix P? For the purposes of this permit, a permittee discharges to a Federal CERCLA site if the discharge flows directly into the site through its own conveyance, or through a conveyance owned by others, such as a municipal separate storm sewer system. *
Yes No
8. Has the Stormwater Pollution Prevention Plan (SWPPP) been prepared in advance of filing this NOI, as required? * Yes No
9. By indicating “Yes”, I confirm that I understand that the MSGP only authorizes the allowable stormwater discharges in Part 1.1.2 and the allowable non-stormwater discharges in Part 1.1.3. Any discharges not expressly authorized under the MSGP are not covered by the MSGP and they cannot become authorized by disclosure to EPA and/or a state via this Notice of Intent to be covered by the permit or by any other means (e.g., in the Stormwater Pollution Prevention Plan or during an inspection). If any discharges requiring NPDES permit coverage other than the allowable stormwater and non-stormwater discharges listed in Parts 1.1.2 and 1.1.3 will be discharged, they must be covered under another NPDES permit. *
Yes No
10. Master Permit Number
NMR050000
A: Facility Operator Information
1. Operator Name (Organization Name) *
City of Albuquerque Aviation Department
2. Street *
2200 Sunport Blvd SE
3. Supplemental Address
P.O. Box 9948
4. City *
Albuquerque
5. State *
NM
6. Zip Code *
87106
7. Facility County or Similar Govt. Subdivision *
Bernalillo
8. Phone (10-digits, No dashes) * 9. Extension 10. E-Mail *
Operator point of contact information
11. First Name *
James
12. Middle Initial
D
13. Last Name *
Hinde
14. Professional Title *
Director of Aviation
B: Facility Information
Page 3 of 14
1. Facility Name *
Albuquerque International Sunport Facility address same as facility operator address
2. Street/Location *
2200 Sunport Blvd SE
3. Supplemental Address
P.O. Box 9948
4. City *
Albuquerque
5. State *
NM
6. Zip Code *
87106
7. Facility County or Similar Govt. Subdivision *
Bernalillo
Latitude/Longitude for the facility:
+
8. Latitude (Decimal Degrees) *
35.049099 -
9. Longitude (Decimal Degrees) *
106.616921
10. Latitude/Longitude Data Source *
Map
11. Horizontal Reference Datum
WGS84
12. What is the ownership type of the facility *
Municipality
13. Estimated area of industrial activity at your facility exposed to stormwater (to the nearest quarter acre) *
1850
Identify the applicable sector and subsector of your primary industrial activity (See Appendix D) that best represents the products produced or services rendered for which your facility is primarily engaged, as defined in the MSGP, and the 4-digit Standard Industrial Classification (SIC) code or 2-letter Activity Code:
15. Sector *
SECTOR S: AIR TRANSPORTATION FACILITIES
16. Primary SIC Code *
4581: Airports, Flying Fields, & Services
17. Subsector
S1: Air Transportation Facilities
18. Identify the applicable sectors(s) of any co-located industrial activity for which you are requesting permit coverage.
Sector
SECTOR P: LAND TRANSPORTATION AND WAREHOUSING
Subsector *
P1: Local and Highway Passenger Transportation Delete Sector
Sector
SECTOR P: LAND TRANSPORTATION AND WAREHOUSING
Subsector *
P1: Petroleum Bulk Stations and Terminals Delete Sector
Sector
SECTOR AB: TRANSPORTATION EQUIPMENT, INDUSTRIAL OR COMMERCIAL MACHINERY
Subsector *
AB1: Industrial and Commercial Machinery, Except Computer and Office Equipment (see Sector Delete Sector
Add Sector
21. Do you anticipate using more than 100,000 gallons of glycol-based deicing/anti-icing chemicals and/or 100 tons or more of urea on an annual basis. (Note, if you are an airport tenant and are not responsible for outfall monitoring, answer No). *
Yes No
22. Is your facility presently inactive and unstaffed? *
Yes No
Page 4 of 14
C: Discharge Information
3. Identify if the following Effluent Limitation Guideline(s) apply to any of your discharges
40 CFR Part/Subpart: Part 449 Eligible Discharges: Runoff containing urea from airfield pavement deicing at existing and new primary airports with 1,000 or more annual non-propeller aircraft departures
Affected MSGP Sector: S New Source Date: 6/15/2012 Does your facility have any discharges subject to this effluent limitation guideline? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
N17 +
B. Latitude (Decimal Degrees) *
35.053028 -
C. Longitude (Decimal Degrees) *
106.619164 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
South Diversion Channel
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
SP1 +
B. Latitude (Decimal Degrees) *
35.047443 -
C. Longitude (Decimal Degrees) *
106.624714 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
Page 5 of 14
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
South Diversion Channel
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
SP2 +
B. Latitude (Decimal Degrees) *
35.046168 -
C. Longitude (Decimal Degrees) *
106.629847 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
South Diversion Channel
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
08W +
B. Latitude (Decimal Degrees) *
35.044017 -
C. Longitude (Decimal Degrees) *
106.627449 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
Page 6 of 14
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
South Diversion Channel
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
CRNE +
B. Latitude (Decimal Degrees) *
35.043930 -
C. Longitude (Decimal Degrees) *
106.627861 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
South Diversion Channel
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
Page 7 of 14
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
CRNW +
B. Latitude (Decimal Degrees) *
35.043904 -
C. Longitude (Decimal Degrees) *
106.628237 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
E. Substantially identical to outfall ID *
CRNE
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
South Diversion Channel
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
GAV +
B. Latitude (Decimal Degrees) *
35.039149 -
C. Longitude (Decimal Degrees) *
106.634706 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
South Diversion Channel
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
Page 8 of 14
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
W3W +
B. Latitude (Decimal Degrees) *
35.020903 -
C. Longitude (Decimal Degrees) *
106.628646 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
Tijeras Arroyo
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
35A +
B. Latitude (Decimal Degrees) *
35.026610 -
C. Longitude (Decimal Degrees) *
106.614109 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
E. Substantially identical to outfall ID *
W3W
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
Page 9 of 14
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
Tijeras Arroyo
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
35B +
B. Latitude (Decimal Degrees) *
35.026580 -
C. Longitude (Decimal Degrees) *
106.613355 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
E. Substantially identical to outfall ID *
35A
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
Tijeras Arroyo
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
35C +
B. Latitude (Decimal Degrees) *
35.026793 -
C. Longitude (Decimal Degrees) *
106.612830 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
Page 10 of 14
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
E. Substantially identical to outfall ID *
35B
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
Tijeras Arroyo
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
W3S +
B. Latitude (Decimal Degrees) *
35.015046 -
C. Longitude (Decimal Degrees) *
106.616772 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
E. Substantially identical to outfall ID *
W3W
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
Tijeras Arroyo
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
Page 11 of 14
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
S35A +
B. Latitude (Decimal Degrees) *
35.031202 -
C. Longitude (Decimal Degrees) *
106.610926 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
E. Substantially identical to outfall ID *
35C
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
Tijeras Arroyo
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Outfalls
4. List all of the stormwater outfalls from your facility. Each outfall must be identified by a unique 3-digit ID (e.g., 001, 002) or a 4-digit ID. Also provide the latitude and longitude in decimal degrees for each outfall.
A. Outfall ID *
S35B +
B. Latitude (Decimal Degrees) *
35.031208 -
C. Longitude (Decimal Degrees) *
106.610919 Lookup Receiving Waters Information(This button will prepopulate the receiving water information associated with your outfall on your form. You may edit the information that is returned if you believe it is incorrect)
Delete Outfall
D. Substantially Identical to Any Outfalls Listed Above? *
Yes No
E. Substantially identical to outfall ID *
S35A
If for any reason the Lookup Receiving Water Information button does not prepopulate your form with receiving waters information, you must manually enter the information on your form.
Outfall Section
1. Provide the name of the first water of the U.S that receives stormwater directly from the outfall and/or from the MS4 that the outfall discharges to. (You may edit the name of the water of the U.S. that was returned if incorrect.) *
Tijeras Arroyo
2. Is the receiving water listed as impaired on the 303(d) list and in need of a TMDL? *
Yes No
Page 12 of 14
3. Has a TMDL been completed for this receiving waterbody? *
Yes No
Add Another Outfall
Provide the following information about your outfall latitude longitude.
5. Latitude/Longitude Data Source *
Map
6. Horizontal Reference Datum
WGS84
7. Does your facility discharge into a Municipal Separate Storm Sewer System (MS4)? *
Yes No
7a. Provide the name of the MS4 Operator *
ABQ Metropolitan Arroyo Flood Control Authority
8. Do you discharge to any of the waters of the U.S. that are designated by the state or tribal authority under its antidegradation policy as a Tier 2 (or Tier 2.5) water (water quality exceeds levels necessary to support propagation of fish, shellfish, and wildlife and recreation in and on the water) (See Appendix L)? *
Yes No
D: Stormwater Pollution Prevention Plan (SWPPP) Information
SWPPP Contact Information
1. First Name *
Christopher
2. Middle Initial
P
3. Last Name *
Albrecht
4. Professional Title *
Environmental Manager
5. Phone (10-digits, No dashes) * 6. Extension 7. E-Mail *
8. Your current SWPPP or certain information from your SWPPP must be made available through one of the following two options. Select one of the options and provide the required information. *
Note: You are not required to post any confidential business information (CBI) or restricted information (as defined in Appendix A) (such information may be redacted), but you must clearly identify those portions of the SWPPP that are being withheld from public access.
Option 1: Maintain a Current Copy of your SWPPP on an Internet page (Universal Resource Locator or URL).
Provide the web address URL *
http://www.abqsunport.com/about-us/sustainability-at-sunport/
Option 2: Provide the following information from your SWPPP.
E: Endangered Species Protection
1. Using the instructions in Appendix E of the MSGP, under which endangered species criterion listed in Part 1.1.4.5 are you eligible for coverage under this permit? *
Criterion C – Discharges and discharge-related activities are not likely to adversely affect listed species and critical habitat
2. Provide a brief summary of the basis for the criterion selected in Appendix E (e.g., communication with U.S. Fish and Wildlife Service or National Marine Fisheries Service to determine no species in action area; implementation of controls approved by EPA and the Services). *
Not eligible for Criteria B, D, or E. Listed threatened and endangered species and critical habitats in the action area were determined. Direct impacts to habitat are unlikely because habitat for identified endangered
Page 13 of 14
species is not present. Activities at the airport will not impact habitat. Adverse effects to receiving waters are considered remote.
a. What federally-listed species or federally-designated critical habitat are located in your “action area." *
Mexican spotted oil, New Mexico meadow jumping mouse, Rio Grande silvery minnow, Southwest Willow flycatcher, Sprague's Pipit, Yellow Billed Cuckoo
b. Using the Criterion C Eligibility Form, check which of the following is applicable to your facility and answer any corresponding questions. *
I submitted my completed Criterion C Eligibility Form to EPA at least 30 days prior to submitting this NOI and agree to implement any controls that were determined by EPA to be necessary to ensure that my discharges and/or discharge-related activities will have no likely adverse affects on listed species and critical habitat.
Date your Criterion C Eligibility Form was sent to EPA (in DD/MM/YYYY format) *
17 Jul 2015
Describe any EPA-approved controls and/or management practices you will implement to ensure your discharges will not have likely adverse affects on listed species and critical habitat *
Minimize exposure, good housekeeping, maintenance of control measures, spill prevention and response, erosion and sediment controls, management of runoff, employee training, waste garbage, and floatable debris
I submitted my completed Criterion C Eligibility Form to EPA at least 30 days prior to submitting this NOI and have not been notified of any additional controls necessary to ensure no likely adverse affects on listed species and critical habitat.
F: Historic Preservation
1. If your facility is not located in Indian country lands, is your facility located on a property of religious or cultural significance to an Indian tribe? *
Yes No
2. Using the instructions in Appendix F of the MSGP, under which historic properties preservation criterion listed in Part 1.1.4.7 are you eligible for coverage under this permit *
Criterion A - No subsurface stormwater controls
Page 14 of 14
Certification Information
I certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, 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 fine and imprisonment for knowing violations. 40 CFR 122.22(d)
Certifier E-Mail * Form Action *
Approve
1
Tuite, Sarah
From:
Sent:
To:
Subject:
Attachments:
Hinde, James D.
Monday, August 17, 2015 3:59 PM
Albrecht, Christopher P.; Tuite, Sarah
FW: EPA Multi-Sector General Permit (MSGP) Notice of Intent (NOI) Submitted to EPA
for 30-Day Review - Albuquerque International Sunport, NPDES ID: NMR053023 SubmittedNewNOIReceipt.pdf
J A M E S D . H I N D E , C . M .
Director
ALBUQUERQUE INTERNATIONAL SUNPORT | DOUBLE EAGLE II AIRPORT
2200 Sunport Blvd | PO Box 9948 | Albuquerque, New Mexico 87119 |
Fax: 505-244-7750
| | www.abqsunport.com | Facebook | Twitter
From: [email protected] [mailto:[email protected]]
Sent: Monday, August 17, 2015 3:58 PM To: Hinde, James D.
Cc: Albrecht, Christopher P.
Subject: EPA Multi-Sector General Permit (MSGP) Notice of Intent (NOI) Submitted to EPA for 30-Day Review - Albuquerque International Sunport, NPDES ID: NMR053023
2015-08-17
NeT Submission ID: MSGP-702
Your Notice of Intent (NOI) requesting coverage for Albuquerque International Sunport, 2200 Sunport Blvd SE
P.O. Box 9948 Albuquerque NM 87106, under EPA's Multi-Sector General Permit (MSGP) has been certified
and submitted to the EPA for review. The NPDES ID for this NOI is NMR053023. Your coverage under the
MSGP begins at the conclusion of the 30-day waiting period, unless otherwise notified that your coverage has
been delayed or denied. You will receive an email informing you once your coverage under the MSGP is active
with a copy of the certified NOI attached.
For a copy of the form you submitted, please go to the History tab within NeT, which is accessible from
https://cdx.epa.gov/epa_home.asp, and click on the View Receipt button for NeT Submission ID MSGP-702.
For guidance about this process, please visit: http://water.epa.gov/polwaste/npdes/stormwater/Stormwater-
eNOI-System-for-EPAs-MultiSector-General-Permit.cfm. For more information about the MSGP, including a
copy of the permit, please visit: http://water.epa.gov/polwaste/npdes/stormwater/EPA-Multi-Sector-General-
Permit-MSGP.cfm. If you have specific questions, please contact [email protected]; [email protected];
2
[email protected]; [email protected]; [email protected];
To access a history of your submissions, go to MyCDX within EPA's Central Data Exchange (CDX) and click
on the Submission History tab. To see details about this submission, click on the Search tab within My
Submissions, enter the following Submission ID value: _51246dae-ccfa-481c-8461-d4ab19167159, and click
Search.
This is an automated response; please do not reply to this email.
City of Albuquerque Aviation DepartmentStorm Water Pollution Prevention
2015 MSGP Notices of Intent
9/23/2015 2:58 PM
ORGANIZATION NAME PROJECT NAME Tracking # EPA NOI Application Search LinkNOI SUBMITTED
DATEDATE OF COVERAGE
APPLICATION TYPE
County City State STATUS
Aero Charter & Transport dba Aeroylynx
Aero Charter & Transport dba Aeroylynx
NMR053029 August 19, 2015 September 19, 2015 eNOI Bernalillo Albuquerque NM Authorized
Aerowestern Aerowestern NMR053179 September 2, 2015 eNOI Bernalillo Albuquerque NM Waiting
Aircraft Service International Incorporated
ASIG Sunport Fuel Facility NMR053040 August 21, 2015 September 20, 2015 eNOI Bernalillo Albuquerque NM Authorized
Alaska AirlinesAlaska Airlines Albuquerque
NMR053138 September 1, 2015 eNOI Bernalillo Albuquerque NM Waiting
Albuquerque Police Department
APD Air Support Unit Double Eagle II Airport
NMR053041 August 21, 2015 September 20, 2015 eNOI Bernalillo Albuquerque NM Authorized
American AirlinesUS Airways
EnvoyAmeriflight Ameriflight Albuquerque NMR053206 September 7, 2015 eNOI Bernalillo Albuquerque NM Waiting
Atlantic Aviation Atlantic Aviation NMR053031 August 20, 2015 September 19, 2015 eNOI Bernalillo Albuquerque NM AuthorizedBernalillo County Sheriff
Air SupportBernalillo County Sheriff
Air SupportNMR053253 September 23, 2015 eNOI Bernalillo Albuquerque NM Waiting
Bode Aviation (Sunport) Bode Aviation (Sunport) NMR053037 August 21, 2015 eNOI Bernalillo Albuquerque NM WaitingBode Aero Services
(Double Eagle II Airport)Bode Aero Services
(Double Eagle II Airport)NMR053056 August 26, 2015 eNOI Bernalillo Albuquerque NM Waiting
Boutique Air, Inc. Boutique Air, Inc. NMR053036 August 20, 2015 September 19, 2015 eNOI Bernalillo Albuquerque NM AuthorizedCity of Albuquerque Double Eagle II Airport NMR053025 August 18, 2015 September 17, 2015 eNOI Bernalillo Albuquerque NM Authorized
Albuquerque International Sunport
Airfield MaintenanceLandside OperationsTerminal Operations
Cutter Aviation Albuquerque Inc.
Cutter Aviation Albuquerque Inc.
NMR053058 August 26, 2015 eNOI Bernalillo Albuquerque NM Waiting
Delta AirlinesDelta Global Services
DeMar Machine DeMar Machine NMR053038 August 21, 2015 eNOI Bernalillo Albuquerque NM WaitingEclipse Aerospace, Inc. Eclipse Aerospace, Inc. NMR053116 August 31, 2015 eNOI Bernalillo Albuquerque NM Waiting
Federal Express FedEx Express -ABQR NMR053213 September 8, 2015 eNOI Bernalillo Albuquerque NM Waiting
eNOI Bernalillo Albuquerque NM AuthorizedDelta Air Lines, Inc. NMR053039 August 21, 2015 September 20, 2015
American Airlines ABQ Sunport
NMR053033
City of Albuquerque NMR0530263 August 17, 2015 September 16, 2015 eNOI
eNOIAugust 20, 2015 NM Waiting
Bernalillo Albuquerque NM Authorized
Bernalillo Albuquerque
City of Albuquerque Aviation DepartmentStorm Water Pollution Prevention
2015 MSGP Notices of Intent
9/23/2015 2:58 PM
ORGANIZATION NAME PROJECT NAME Tracking # EPA NOI Application Search LinkNOI SUBMITTED
DATEDATE OF COVERAGE
APPLICATION TYPE
County City State STATUS
Jet BlueJet Blue - Albuquerque
AirportNMR053109 August 31, 2015 eNOI Bernalillo Albuquerque NM Waiting
Main Event Transportation
Main Event Transportation Provisions
BuildingNMR053034 August 20, 2015 September 20, 2015 eNOI Bernalillo Albuquerque NM Authorized
Matheson Flight Extenders
Matheson Flight Extenders Albuquerque
NMR053188 September 3, 2015 eNOI Bernalillo Albuquerque NM Waiting
Kevothermal, LLC Kevothermal, LLC NMR053055 August 26, 2015 eNOI Bernalillo Albuquerque NM WaitingPHI Air Medical PHI Air Medical NMR053139 September 1, 2015 eNOI Bernalillo Albuquerque NM Waiting
Primeflight (United Airlines)
Prime Flight Aviation Services
NMR053207 September 8, 2015 eNOI Bernalillo Albuquerque NM Waiting
Southwest Airlines Co. Southwest Airlines
Co. ABQNMR053136 September 1, 2015 eNOI Bernalillo Albuquerque NM Waiting
South Aero, Inc Albuquerque Sunport NMR053051 August 25, 2015 eNOI Bernalillo Albuquerque NM WaitingSP Plus Transportation SP Plus Transportation NMR053030 August 20, 2015 September 19, 2015 eNOI Bernalillo Albuquerque NM AuthorizedSwissport Fueling, Inc. ABQ NMR053140 September 1, 2015 eNOI Bernalillo Albuquerque NM Waiting
United Parcel ServiceUPS- Albuquerque
GatewayNMR053242 September 14, 2015 eNOI Bernalillo Albuquerque NM Waiting
Vertical Limit Helicopters Email reminder sent 9/2/15
10 Tanker Air Carrier 10 Tanker Air Carrier NMR053142 September 1, 2015 eNOI Bernalillo Albuquerque NM WaitingAdvantage Rent A Car Advantage Rent A Car N/A
AvisBudgetPayless
City of Albuquerque Parks and Recreation N/AEnterprise
AlamoNational
Hertz corporation Hertz Rent A car N/A
National Weather Service NWS Weather Forecast
Office, Albuquerque N/A
Not Regulated under MSGP
Avis/Budget Rental Car N/A Not Regulated under MSGP
Not Regulated under MSGP
NOI for MSGP coverage has not been submitted
EAN N/A Not Regulated under MSGP
Not Regulated under MSGP
Not Regulated under MSGP
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
APPENDIX K DOCUMENTATION OF MAINTENANCE
TO CONTROL MEASURES
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
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Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
APPENDIX L DOCUMENTATION OF CORRECTIVE ACTION TAKEN
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
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Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
APPENDIX M REPORTS
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
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Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
QUARTERLY ROUTINE FACILITY INSPECTIONS
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
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CITY OF ALBUQUERQUE AVIATION DEPARTMENTQUARTERLY SWPPP INSPECTION FORM
FACILITY INFORMATION
AIRPORT:
FACILITY INSPECTOR: EMAIL:
FACILITY INSPECTOR: EMAIL:
SITE VISIT DATE: SITE VISIT TIME:
QUARTER: WEATHER CONDITIONS:
DOCUMENTATION (BMPs 1, 3, 5, 6, 7) BMP
Facility Inspections and Maintenance Documentation
1.24 YES NO
5.21 YES NO
YES NO
1.16 YES NO DOC
Training
1.19 YES NO DOC
1.21 YES NO DOC
1.20 YES NO DOC
1.21 YES NO DOC
5.19 YES NO DOC
6.06 YES NO DOC
Other Documentation
YES NO
GENERAL (BMP 1)
1.01 1.02 YES NO
1.03 YES NO
1.04 YES NO
1.05 YES NO
1.23 YES NO
YES NO
COVER AND SECONDARY CONTAINMENT (BMPs 1, 2, 4, 5)
Industrial and Maintenance Activities
1.06 2.05 YES NO
2.01 YES NO
1.14 YES NO
2.06 YES NO
4.02 YES NO
5.12 YES NO
Contractor SWPPP Education (1.21)
Maintenance performed indoors or under storm resistant cover
Comply w/ record keeping & reporting rqt's of MSGP
Retain waste generation and disposal documentation
Responded to previous year's Compliance Letter
Activities inspected for non-stormwater discharges
Material inventory limited
Comments
Comments
Signs posted near outdoor hose bibs listing use restrictions
If not, is the building with the hose bib City-owned?
Waste management training (5.19)
Designated areas for temp. tanker/materials truck parking
Parts cleaning & degreasing performed indoors or under cover
Exposure to run-on & run-off minimized
Performed away from storm drains or drains covered
Fuel spill response training (6.06)
If you have an SPCC plan, is the plan up to date?
Exposed areas clean and orderly
Oil, grease, solvents, batteries, etc. recycled
Biodegradable or less hazardous products used where possible
Loading/unloading under cover and in contained area
PHONE:
PHONE:
FACILITY NAME:
Annual employee training conducted (1.19)
Representative(s) attended annual CABQ stormwater training (1.21)
Stormwater training for employees (1.20)
Comments
ABQ DEII
Apr-Jun Oct-DecJul-SeptJan-Mar
Rev. 10/15/2010c:\cdmxm\chivingtonbuckjk\d2230513\Sunport Quarterly Insp Form.xls Page 1 of 3
CITY OF ALBUQUERQUE AVIATION DEPARTMENTQUARTERLY SWPPP INSPECTION FORM
COVER AND SECONDARY CONTAINMENT (BMPs 1, 2, 4, 5)
Waste and Material Storage Areas
Haz materials indoors and away from exit doors or under storm-resistant cover
1.07, 5.01 5.13 YES NO
Secondary containment provided and adequately sized 5.01 YES NO
Stored and handled in paved areas 5.01 YES NO
Clearly labeled and stored containers 5.04 YES NO
Exposure to run-on & run-off minimized 5.20 YES NO
Liquids dispensed from upright drums w/ hand pump 5.02, 5.14 YES NO
MSDS available 5.21 YES NO
SPILLS (BMPs 1, 5)
Spill Response Plan posted and revised annually 1.09 YES NO
Spill kits located where spills are probable to occur 1.10 YES NO
Spill kits stocked with appropriate materials 1.10 YES NO
Spill(s) or staining observed 1.11 YES NO
Drip pans/spill mats/booms used 1.12 YES NO
Collected spill materials properly disposed 1.13 YES NO
Material storage area signs posted listing materials stored 5.03 YES NO
LAVATORY (BMP 5) YES NO SUB:
Only use fluids approved for discharge to the sewer 5.10 YES NO
Waste spill and/or leak observed 5.09 YES NO
Proper disposal of lavatory waste 5.11 YES NOPerform water truck flushing ops in designated area and discharge to sanitary sewer
5.12 YES NO
SOLID WASTE (BMP 5) YES NO SUB:
Used batteries properly stored or recycled in 30 days 5.05 YES NO
Used oil containers and filters properly recycled 5.06 YES NO
Bone yards eliminated 5.07 YES NO
Waste and unusable material disposed of properly 5.08 YES NO
Garbage collection area properly maintained 5.09 YES NO
Dumpster drains equipped with plugs 5.09 YES NO
Dumpster lids closed 5.09 YES NO
FUEL STORAGE AND DELIVERY (BMP 6) YES NO SUB:
Vehicle fueling station fitted with "no topping off" signs 6.01 YES NO
Fueling tanks fitted with monitoring and alarm equipment 6.02 YES NO
Fueling tanks fitted with breakaway hose connections 6.02 YES NO
Accidental releases blocked from reaching storm drains 6.03 YES NO
Equipment fueled in designated areas 6.03 YES NO
Spill kits maintained on mobile refuelers 6.03 YES NO
Aircraft fuel samples properly collected and properly disposed 6.04 YES NO
Comments
Comments
Comments
Comments
Comments
Rev. 10/15/2010c:\cdmxm\chivingtonbuckjk\d2230513\Sunport Quarterly Insp Form.xls Page 2 of 3
CITY OF ALBUQUERQUE AVIATION DEPARTMENTQUARTERLY SWPPP INSPECTION FORM
BUILDING & GROUNDS MAINTENANCE (BMP 7)
Building Maintenance
Grounds maintenance waste disposed of properly 7.01
Interior floor cleaning water properly disposed 7.03
Fire fighting foam deluge system tested and maintained, if applicable 7.02
Landscape Maintenance
Landscaping waste properly disposed 7.01
Exterior ground surfaces cleaned properly 7.03
Grounds/landscaping design considerations 7.04
Storm drains labeled 7.10
Use of pesticide, herbicide and fertilizer minimized 7.11
Landscaping provided for erosion control 7.14
DEICING (BMP 8)
Does tenant perform aircraft deicing? 8.0
Is Airfield Maintenance contact after each deicing event? 8.1
Deicing done in properly designed & designated areas 8.2, 8.5
FAA deicing recommendations followed 8.4
Proper quantities of deicing fluid used 8.6
Monthly quantities of deicing fluids tracked and reported 8.5
CONSTRUCTION / RENOVATION (BMPs 1, 7)
As-built drawings maintained (1.8) 1.20
Designed for pollution prevention (1.9) 1.21
Construction plans reviewed for illicit connections (1.18) 1.21
Stormwater controls used during construction (7.5) 1.22
STRUCTURAL (BMPs 3, 4, 7)
Stormwater control devices maintained (e.g., hay bales, basins) 6.05
Catch basins clean and maintained 7.06
Storage and wash areas maintained 3.02, 4.01
Erosion control landscaped areas are maintained 7.14
AIRCRAFT, VEHICLE, AND EQUIPMENT CLEANING (BMP 3)
Inside
Aircraft
Vehicles
Equipment
AIRCRAFT, VEHICLE, AND EQUIPMENT STORAGE (BMP 4)
Under CoverAway from
DrainsSized 2nd
Containment
Aircraft
Vehicles
Equipment
INSPECTOR SIGNAUTRE
Name:Signaure:
Comments
Store the following? (4.01) InsideOUTSIDE Other / Comment
Comments
Comments
Note: Remind tenant to inform CABQ of monthly deicing fluid usage. Have them send this information to Chris Albrecht of CABQ and Sarah Tuite of CDM.
Comments
Wash the following? (3.01)
I certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designated to assure that qualified personnel properly gathered and evaluated the information contained therein. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information contained 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 fine and imprisonment for knowing violations.
Dry-WashWET-WASH Other / Comment
Outside in Permitted Area
YES NO
YES NO
YES NO
NO SUB:
YES NO
YES NO
YES NO
YES NO
YES NO
YES NO
YES NO
YES NO
YES NO
YES NO
YES NO
YES NO SUB:
YES NO SUB:
YES NO
YES
NO
NO
YES NO SUB:
NO
NO
YES
YES
YES
YES
NO
NO
NO
NO
YES
YES
YES
YES
YES NO SUB:
YES NO SUB
YES NO SUB
YES NO SUB
YES NO SUB:
YES NO SUB
Rev. 10/15/2010c:\cdmxm\chivingtonbuckjk\d2230513\Sunport Quarterly Insp Form.xls Page 3 of 3
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
QUARTERLY STORMWATER MONITORING
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
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Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
MONTHLY DEICING MONITORING
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
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Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
ANNUAL REPORT
Stormwater Pollution Prevention Plan Albuquerque International Sunport September 2015
© 2015 CDM Smith All Rights Reserved
ThisPageIntentionallyLeftBlank
6000 Uptown Blvd. NE, Suite 200
Albuquerque, NM 87110
tel: 505 243-3200
fax: 505 243-2700
© 2015 CDM Smith All Rights Reserved
June 3, 2015
U.S. Environmental Protection Agency
Office of Water, Water Permits Division
Room 7420, ATTN: MSGP Reports
1201Constitution Avenue, NW
Washington, D.C. 20004
Subject: Multi-Sector General Permit Annual Report for Albuquerque International Sunport
(NPDES Tracking No. NMR05GC75), Albuquerque, New Mexico
CDM Smith Project No.: 36361-108320-INSPECT.LBR
Dear Sir or Madam:
On behalf of the City of Albuquerque Aviation Department (Aviation), CDM Smith Inc. (CDM
Smith) herein submits the annual report for the Albuquerque International Sunport (ABQ) as
required by the Multi-Sector General Permit for Stormwater Discharges Associated with
Industrial Activity (MSGP). The 2015 annual report was completed following a Comprehensive
Site Compliance Evaluation (CSCE) performed at the airport from April 20 through May 1, 2015.
This annual report is being submitted within the 45 day reporting limit.
The annual report included herein is comprehensive of the results of annual inspections
performed at Aviation facilities and tenant (leaseholder) operations. Each tenant that was
inspected as part of the CSCE and their associated NPDES tracking numbers are listed in Table 1.
New facilities that began discharging stormwater after September 29, 2013 have not submitted a
Notice of Intent (NOI) or a Notice of No Exposure. These entities are covered under the EPA
memorandum, “Extension of No Action Assurance for the NPDES Stormwater Multi-Sector
General Permit for Industrial Activities”, dated September 30, 2014. Additionally, some tenants
had begun discharging stormwater before September 29, 2013, but, for various reasons, did not
submit a NOI before submission closure. Aviation has notified tenants of the eNOI training that
will be conducted after the final permit is issued. During CSCE inspections, tenants were also
asked to begin internal discussions to determine who will submit and verify the NOI for their
facility. The enclosed annual report is intended to meet the reporting requirements of Aviation
and all tenants who have submitted an NOI for MSGP coverage of their Albuquerque operations.
U.S. Environmental Protection Agency
Office of Water, Water Permits Division
June 3, 2015
Page 2
© 2015 CDM Smith All Rights Reserved c:\cdmxm\tuitesc\d2174046\epa letter abq 20150521.docx
Table 1 – NPDES Tracking Numbers – Albuquerque International Sunport
Tenant / Operation Tracking Number Tenant / Operation Tracking Number
City of Albuquerque Aviation
Department
Airfield Maintenance
Landside Operations
Terminal Operations
Parks and General Services
NMR05GC75
EAN Holdings No Action Assurance
Eclipse Aerospace NMR05GF42
Federal Express NMR05GY09
Hertz NMR05GB14
Jet Blue Airlines NMR05HT47
10 Tanker Air Carrier No Action Assurance Kevothermal Insulation NMR05HR94
Advantage Rent-A-Car No Submission Main Event Transportation NMR05HU52
AeroLynx NMR05HS90 Matheson Flight Extenders No Submission
Aircraft Services International
Group NMR05GC12 National Weather Service NMR05GC07
American Airlines NMR05GC24 New Mexico Airlines NMR05GC11
American Eagle Airlines No Action Assurance Payless Rental Car No Submission
Ameriflight No Action Assurance PrimeFlight NMR05HI73
Atlantic Aviation NMR08H00 South Aero NMR05GC36
Avis/Budget Group NMR05GG27
NMR05GG28 Southwest Airlines NMR05GC34
Bode Aviation Inc. (Sunport) No Submission Standard Parking No Submission
Boutique Air No Action Assurance Swissport Fueling Services NMR05HU75
Cutter Aviation NMR05GB16 United Airlines NMR05GC85
Delta Airlines NMR05GD99 United Parcel Service NMR05GM68
DAL Global Services No Submission US Postal Service NMR05HT65
DeMar Machine NMR05HR87 USAirways NMR05GB83
Please contact CDM Smith at (505) 243-3200 or Christopher Albrecht, Environmental
Manager, City of Albuquerque Aviation Department at with any questions or concerns
regarding this correspondence or the enclosed stormwater annual report.
Sincerely,
Sarah C. Tuite, P.E. Paul A. Karas, C.P.G., CHMM
Project Manager Vice President, Client Service Leader
CDM Smith Inc. CDM Smith Inc.
Attachment - 2015 ABQ Annual Report
cc: Christopher Albrecht, City of Albuquerque Aviation Department
File
6000 Uptown Blvd. NE, Suite 200
Albuquerque, NM 87110
tel: 505 243-3200
fax: 505 243-2700
© 2014 CDM Smith All Rights Reserved
May 8, 2014
U.S. Environmental Protection Agency
Office of Water, Water Permits Division
Room 7420, ATTN: MSGP Reports
1201Constitution Avenue, NW
Washington, D.C. 20004
Subject: Multi-Sector General Permit Annual Report for Albuquerque International Sunport
(NPDES Tracking No. NMR05GC75), Albuquerque, New Mexico
CDM Smith Project No.: 36361-103070-INSPECT.LBR
Dear Sir or Madam:
On behalf of the City of Albuquerque Aviation Department (Aviation), CDM Smith Inc. (CDM
Smith) herein submits the annual report for the Albuquerque International Sunport (ABQ) as
required by the Multi-Sector General Permit for Stormwater Discharges Associated with
Industrial Activity (MSGP). The 2014 annual report was completed following a Comprehensive
Site Compliance Evaluation (CSCE) performed at the airport from March 17 through March 27,
2014. This annual report is being submitted within the 45 day reporting limit.
The annual report included herein is comprehensive of the results of annual inspections
performed at Aviation facilities and tenant (leaseholder) operations. Each tenant listed in Table 1
was inspected as part of the CSCE; however, not all tenants have submitted a Notice of Intent
(NOI) or Notice of No Exposure. Further, of those tenants that have submitted an NOI, not all have
provided their NPDES tracking number to Aviation, or submitted NOIs were not retrievable in the
EPA’s NPDES online tracking system. NPDES tracking numbers for the airport (submitted by
Aviation) and available tracking numbers for tenants of the airport are listed in Table 1. The
enclosed annual report is intended to meet the reporting requirements of Aviation and all tenants
who have submitted an NOI for MSGP coverage of their Albuquerque operations.
Table 1 – NPDES Tracking Numbers – Albuquerque International Sunport
Tenant / Operation Tracking Number Tenant / Operation Tracking Number
City of Albuquerque Aviation
Department
Airfield Maintenance
Landside Operations
Terminal Operations
Parks and General Services
NMR05GC75
Federal Express NMR05GY09
Hertz NMR05GB14
Jet Blue Airlines n/a
Kevothermal Insulation NMR05HR94
Main Event Transportation NMR05HU52
U.S. Environmental Protection Agency
Office of Water, Water Permits Division
May 8, 2014
Page 2
© 2014 CDM Smith All Rights Reservedp:\36361 cabq aviation dept\103070 2014 env on-call\03 reports and studies\01 environmental reports\02 epa annual reports\abq 2014 annual report\final\epa letter abq 20140508.docx
Table 1 – NPDES Tracking Numbers – Albuquerque International Sunport
Tenant / Operation Tracking Number Tenant / Operation Tracking Number
10 Tanker Air Carrier n/a Matheson Flight Extenders n/a
Advantage Rent-A-Car n/a National Weather Service NMR05GC07
AeroLynx NMR05HS90 New Mexico Airlines NMR05GC11
Aircraft Services International
Group NMR05GC12 Payless Rental Car n/a
American Airlines NMR05GC24 PrimeFlight NMR05HI73
American Eagle Airlines n/a Sandia National Laboratories /
FAA AANC NMR05GL16
Atlantic Aviation NMR08H00 South Aero NMR05GC36
Avis/Budget Group NMR05GG27
NMR05GG28 Southwest Airlines NMR05GC34
Bode Aviation Inc. (Sunport) n/a Standard Parking n/a
Cutter Aviation NMR05GB16 Swissport Fueling Services NMR05HU75
Delta Airlines NMR05GD99 United Airlines NMR05GC85
DAL Global Services n/a United Parcel Service NMR05GM68
DeMar Machine NMR05HR87 US Postal Service NMR05HT65
EAN Holdings n/a USAirways NMR05GB83
Eclipse Aerospace NMR05GF42
Please contact CDM Smith at (505) 243-3200 or Christopher Albrecht, Environmental Manager,
City of Albuquerque Aviation Department at with any questions or concerns regarding this
correspondence or the enclosed stormwater annual report.
Sincerely,
Sarah C. Tuite, P.E. Paul A. Karas, C.P.G., CHMM
Project Manager Associate
CDM Smith Inc. CDM Smith Inc.
Attachment - 2014 ABQ Annual Report
cc: Christopher Albrecht, City of Albuquerque Aviation Department
File
NPDES Permit Tracking No.:
N M R 0 5 G C 7 5
P:\36361 CABQ Aviation Dept\103070 2014 Env On-Call\03 Reports and Studies\01 Environmental Reports\02 EPA Annual Reports\ABQ 2014 Annual Report\Final\2014 Annual Report ABQ.doc
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY WASHINGTON, DC 20460
Annual Reporting Form A. GENERAL INFORMATION
1. Facility Name: A L B U Q U E R Q U E I N T E R N A T I O N A L S U N P O R T
2. NPDES Permit Tracking No.: N M R 0 5 G C 7 5
3. Facility Physical Address:
a.Street:
2 2 0 0 S U N P O R T B L V D S E
b.City:
A L B U Q U E R Q U E c. State: N M d. Zip Code: 8 7 1 0 6 -
4. Lead Inspectors Name: M I C H A E L A R E M P K O W S K I Title: C D M S M I T H E N G I N E E R
Additional Inspectors Name(s): G R E G O R Y L A R S O N P E C D M S M I T H E N G I N E E R
Additional Inspectors Name(s): C H R I S T O P H E R A L B R E C H T C A B Q E N V . M A N A G E R
Additional Inspectors Name(s):
5. Contact Person: C H R I S T O P H E R A L B R E C H T Title: E N V . M A N A G E R
Phone: E-mail:
6. Inspection Date: 0 3 / 1 7 / 2 0 1 4 t h r o u g h 0 3 / 2 7 / 2 0 1 4
B. GENERAL INSPECTION FINDINGS
1. As part of this comprehensive site inspection, did you inspect all potential pollutant sources, including areas where industrial activity may beexposed to stormwater?
YES NO
If NO, describe why not:
NOTE: Complete Section C of this form for each industrial activity area inspected and included in your SWPPP or as newly identified in B.2 or B.3 below where pollutants may be exposed to stormwater.
2. Did this inspection identify any stormwater or non-stormwater outfalls not previously identified in your SWPPP? YES NO
If YES, for each location, describe the sources of those stormwater and non-stormwater discharges and any associated control measures in place:
3. Did this inspection identify any sources of stormwater or non-stormwater discharges not previously identified in your SWPPP? YES NO
If YES, describe these sources of stormwater or non-stormwater pollutants expected to be present in these discharges, and any control measures in place:
NPDES Permit Tracking No.:
N M R 0 5 G C 7 5
P:\36361 CABQ Aviation Dept\103070 2014 Env On-Call\03 Reports and Studies\01 Environmental Reports\02 EPA Annual Reports\ABQ 2014 Annual Report\Final\2014 Annual Report ABQ.doc
4. Did you review stormwater monitoring data as part of this inspection to identify potential pollutant hot spots? YES NO NA, no monitoring performed
If YES, summarize the findings of that review and describe any additional inspection activities resulting from this review:
Stormwater monitoring reports for 2013 indicate the following potential pollutant areas which were all observed during the comprehensive inspections:
• Drainage Basin SP-1
• Drainage Basin SP-2
• Drainage Basin CRN (Outfalls CRN-E and CRN-W)
During the CSCE, each drainage basin listed above was inspected for potential pollutant sources. The following facilities/areas were inspected for potential pollutant sources in each respective drainage basin:
• Drainage Basin SP-1: United States Postal Service Facility; Southwest Airlines and Delta Global Services ground vehicle andequipment maintenance areas; Aviation Department wash rack, glycol dispensing facility, Main Event Transportation, and AviationDepartment triturator facility.
• Drainage Basin SP-2: Aviation Department Terminal Operations, Landside Operations, and Airfield Maintenance Operations; andall airline gate operations.
• Drainage Basin CRN: Rental car facilities.
No apparent leaks or spills of petroleum products were observed during the inspection. Monthly deicing inspections were conducted in December of 2013 and February 2014. Recovery of available deicing fluid is conducted promptly by Airfield Maintenance during and/or immediately after each dry weather deicing event. No other releases of glycol were observed.
5. Describe any evidence of pollutants entering the drainage system or discharging to surface waters, and the condition of and around outfalls,including flow dissipation measures to prevent scouring:
Each of the outfalls at ABQ have energy dissipation structures such as riprap, gabions, or crushed concrete. The discovery of an additional outfall at the location of outfall CRN was made during the July 2013 dry weather inspection. Subsequently, the original outfall was renamed CRN-E and the additional outfall was named CRN-W. Outfall W3W, the concrete energy dissipation structure, was found damaged during the 2013 dry weather inspection. A request to repair the structure was made by the City of Albuquerque Aviation Department following the inspection. Outfall W3S was determined to be substantially identical to W3W and will continue to be monitored in place of outfall W3W.
6. Have you taken or do you plan to take any corrective actions, as specified in Part 3 of the permit, since your last annual report submission (orsince you received authorization to discharge under this permit if this is your first annual report), including any corrective actions identified as aresult of this annual comprehensive site inspection?
YES NO
If YES, how many conditions requiring review for correction action as specified in Parts 3.1 and 3.2 were addressed by these corrective actions?
0 1
As part of the Comprehensive Site Compliance Evaluation process, each airport tenant and operation receives a letter of compliance or a letter summarizing their non-compliance issues. Each tenant receiving a letter of non-compliance is required to submit written documentation within 30 days of receipt of the letter describing the actions taken to correct any areas of non-compliance. The corrective action items listed in Section D are the major items that were identified during the annual comprehensive inspections.
NOTE: Complete the attached Corrective Action Form (Section D) for each condition identified, including any conditions identified as a result of this comprehensive stormwater inspection.
NPDES Permit Tracking No.:
N M R 0 5 G C 7 5
P:\36361 CABQ Aviation Dept\103070 2014 Env On-Call\03 Reports and Studies\01 Environmental Reports\02 EPA Annual Reports\ABQ 2014 Annual Report\Final\2014 Annual Report ABQ.doc
C. INDUSTRIAL ACTIVITY AREA SPECIFIC FINDINGS
Complete one block for each industrial activity area where pollutants may be exposed to stormwater. Copy this page for additional industrial activity areas.
In reviewing each area, you should consider:
• Industrial materials, residue, or trash that may have or could come into contact with stormwater;
• Leaks or spills from industrial equipment, drums, tanks, and other containers;
• Offsite tracking of industrial or waste materials from areas of no exposure to exposed areas; and
• Tracking or blowing of raw, final, or waste materials from areas of no exposure to exposed areas.
INDUSTRIAL ACTIVITY AREA Terminal / Tarmac:
1. Brief Description:
The Terminal/Tarmac area is the large paved area near the gates and runway where passenger aircraft are loaded, unloaded, maintained, and parked for short periods of time. There are large storm drains to catch stormwater runoff during storm events. In the Terminal/Tarmac area near the gates, commercial aircraft are fueled, minor aircraft maintenance is conducted, outdoor handling and storage of material takes place, and solid wastes are handled. During winter months aircraft deicing is performed in the Terminal/Tarmac area at a minimum of 50 feet away from any storm drain.
Potential pollutants associated with fueling activities include: Avgas, Jet-A fuel, unleaded gasoline, and diesel fuel.
Potential pollutants associated with maintenance include: engine oil, hydraulic fluid, coolant, Skydrol (aircraft hydraulic fluid), battery acid, brake fluid, solvents, antifreeze, paint, transmission fluid, WD 40, and grease.
Potential pollutants associated with deicing/anti-icing include: Type I and Type IV deicing fluid, urea, and potassium acetate.
Potential pollutants associated with waste handling and disposal include: solid waste and used maintenance fluids.
Potential pollutants associated with lavatory service include: sanitary waste and aircraft bluewater.
2. Are any control measures in need of maintenance or repair? YES NO
3. Have any control measures failed and require replacement? YES NO
4. Are any additional/revised control measures necessary in this area? YES NO
If YES to any of these three questions, provide a description of the problem: (Any necessary corrective actions should be described on the attached Corrective Action Form)
INDUSTRIAL ACTIVITY AREA Fixed-Based Operators:
1. Brief Description:
The Fixed-Base Operators area is to the west of the airfield. The activities conducted in this area include: vehicle, equipment, and small aircraft fueling; fuel storage in tanks and fueling vehicles; aircraft, ground vehicle, and equipment maintenance; occasional aircraft deicing/anti-icing; aircraft, ground vehicle, and equipment washing; outdoor handling and storage of materials; waste handling and disposal; and equipment cleaning and degreasing.
Potential pollutants associated with fueling include: Avgas, Jet-A fuel, unleaded gasoline, and diesel fuel.
Potential pollutants associated with maintenance include: engine oil, hydraulic fluid, coolant, degreasers, Skydrol (aircraft hydraulic fluid), battery acid, solvents, paints, and grease.
Potential pollutants associated with deicing/anti-icing include: Type I and Type IV deicing fluid and potassium acetate.
Potential pollutants associated with washing include: washwater, soaps, detergents, grease, and oil.
Potential pollutants associated with outdoor handling and storage of materials include: fuels, lubricants, and waste oils.
Potential pollutants associated with waste handling and disposal include: solid waste and used maintenance fluids.
Potential pollutants associated with building and ground maintenance include: paint, fire suppressant, ice melting agents, and sludge from oil water separators.
Potential pollutants associated with equipment cleaning and degreasing include: degreasing solvents, oil, and grease.
2. Are any control measures in need of maintenance or repair? YES NO
3. Have any control measures failed and require replacement? YES NO
4. Are any additional/revised control measures necessary in this area? YES NO
If YES to any of these three questions, provide a description of the problem: (Any necessary corrective actions should be described on the attached Corrective Action Form)
NPDES Permit Tracking No.:
N M R 0 5 G C 7 5
P:\36361 CABQ Aviation Dept\103070 2014 Env On-Call\03 Reports and Studies\01 Environmental Reports\02 EPA Annual Reports\ABQ 2014 Annual Report\Final\2014 Annual Report ABQ.doc
INDUSTRIAL ACTIVITY AREA Car Rental Facility:
1. Brief Description:
The Car Rental Facility is a consolidated facility located at the west edge of the airport. The activities that occur in this area include: vehicle fueling, washing, and maintenance; outdoor handling and storage of materials; waste handling and disposal; and equipment cleaning and degreasing.
Potential pollutants associated with fueling/fuel storage include: unleaded gasoline and diesel fuel.
Potential pollutants associated with maintenance include: engine oil, hydraulic fluid, coolant, degreasers, windshield wiper fluid, battery acid, and grease.
Potential pollutants associated with washing include: washwater, soaps, detergents, grease, and oil.
Potential pollutants associated with outdoor handling and storage of materials include: fuels, lubricants, and waste oils.
Potential pollutants associated with waste handling and disposal include: solid waste and used maintenance fluids.
Potential pollutants associated with equipment cleaning and degreasing include: solvents, oil, and grease.
2. Are any control measures in need of maintenance or repair? YES NO
3. Have any control measures failed and require replacement? YES NO
4. Are any additional/revised BMPs necessary in this area? YES NO
If YES to any of these three questions, provide a description of the problem: (Any necessary corrective actions should be described on the attached Corrective Action Form)
NOTE: Copy this page and attach additional pages as necessary
INDUSTRIAL ACTIVITY AREA Miscellaneous:
1. Brief Description:
The miscellaneous areas are located around the airport, mostly to the west. Activities performed in the miscellaneous areas include: vehicle fueling, maintenance, and washing; triturator facility; outdoor handling and storage of materials; waste handling and disposal; buildings and ground maintenance; and equipment cleaning and degreasing.
Potential pollutants associated with fueling include: unleaded gasoline and diesel gasoline.
Potential pollutants associated with maintenance include: engine oil, hydraulic fluid, coolant, degreasers, Skydrol (aircraft hydraulic fluid), battery acid, paint, dyes, and grease.
Potential pollutants associated with washing include: washwater, soaps, detergents, grease, and oil.
Potential pollutants associated with outdoor handling and storage of materials include: fuels, lubricants, and waste oils.
Potential pollutants associated with waste handling and disposal include: solid waste, used oil, used hydraulic fluid, and used coolant.
Potential pollutants associated with buildings and ground maintenance include: urea, sand, paints, fertilizer, pesticides, and potassium acetate.
Potential pollutants associated with equipment cleaning and degreasing include: degreasing solvents, oil, and grease.
2. Are any control measures in need of maintenance or repair? YES NO
3. Have any control measures failed and require replacement? YES NO
4. Are any additional/revised BMPs necessary in this area? YES NO
If YES to any of these three questions, provide a description of the problem: (Any necessary corrective actions should be described on the attached Corrective Action Form)
D. CORRECTIVE ACTIONS
Complete this page for each specific condition requiring a corrective action or a review determining that no corrective action is needed. Copy this page for additional corrective actions or reviews.
Include both corrective actions that have been initiated or completed since the last annual report, and future corrective actions needed to address problems identified in this comprehensive stormwater inspection. Include an update on any outstanding corrective actions that had not been completed at the time of your previous annual report.
1. Corrective Action # 0 1 of 0 1 for this reporting period.
NPDES Permit Tracking No.:
N M R 0 5 G C 7 5
P:\36361 CABQ Aviation Dept\103070 2014 Env On-Call\03 Reports and Studies\01 Environmental Reports\02 EPA Annual Reports\ABQ 2014 Annual Report\Final\2014 Annual Report ABQ.doc
2. Is this corrective action:
An update on a corrective action from a previous annual report; or
A new corrective action?
3. Identify the condition(s) triggering the need for this review:
Unauthorized release or discharge
Numeric effluent limitation exceedance
Control measures inadequate to meet applicable water quality standards
Control measures inadequate to meet non-numeric effluent limitations
Control measures not properly operated or maintained
Change in facility operations necessitated change in control measures
Average benchmark value exceedance
Other (describe): ________________________________
4. Briefly describe the nature of the problem identified:
During periods of high use, washwater from pre-washing and the entrance side of the car wash at the Avis/Budget Production rental car facility flows toward the storm drain.
5. Date problemidentified:
0 3 / 2 6 / 2 0 1 3
6. How problem was identified:
Comprehensive site inspection
Quarterly visual assessment
Routine facility inspection
Benchmark monitoring
Notification by EPA or State or local authorities
Other (describe): ________________________________
7. Description of corrective action(s) taken or to be taken to eliminate or further investigate the problem (e.g., describe modifications or repairs to controlmeasures, analyses to be conducted, etc.) or if no modifications are needed, basis for that determination:
Avis/Budget Production has plans to install a containment dike to prevent washwater from entering the storm drain in 2014. Until the containment dike is installed, tenants will continue to be trained in best management practices for vehicle washing and limit pre-wash activities.
8. Did/will this corrective action require modification of your SWPPP? YES NO
9. Date corrective action initiated: 0 5 / 0 1 / 2 0 1 4
10.Date correction action completed: / / or expected to be completed:
1 2 / 3 1 / 2 0 1 4
11. If corrective action not yet completed, provide the status of corrective action at the time of the comprehensive site inspection and describe anyremaining steps (including timeframes associated with each step) necessary to complete corrective action:
This issue will be a continuous operations issue until the facility has installed the containment dike as proposed by Avis/Budget management, anticipated to be within the next year. To address some of the immediate issues, Avis/Budget will follow best management practices associated with vehicle washing and limit pre-wash activities.
E. ANNUAL REPORT CERTIFICATION
1. Compliance Certification
Do you certify that your annual inspection has met the requirements of Part 4.2 of the permit, and that, based upon the results of this inspection, to the best of your knowledge, you are in compliance with the permit? YES NO
If NO, summarize why you are not in compliance with the permit:
6000 Uptown Blvd. NE, Suite 200
Albuquerque, NM 87110
tel: 505 243‐3200
fax: 505 243‐2700
© 2012 CDM Smith All Rights Reserved
May 31, 2013
U.S. Environmental Protection Agency Office of Water, Water Permits Division Room 7420, ATTN: MSGP Reports 1201Constitution Avenue, NW Washington, D.C. 20004
Subject: Multi‐Sector General Permit Annual Report for Albuquerque International Sunport (NPDES Tracking No. NMR05GC75), Albuquerque, New Mexico CDM Smith Project No.: 36361‐96866‐INSPECT.LBR
Dear Sir or Madam:
On behalf of the City of Albuquerque Aviation Department (Aviation), CDM Smith Inc. (CDM Smith) herein submits the annual report for the Albuquerque International Sunport (ABQ) as required by the Multi‐Sector General Permit for Stormwater Discharges Associated with Industrial Activity (MSGP). The 2013 annual report was completed following a Comprehensive Site Compliance Evaluation (CSCE) performed at the airport from March 18 through March 28 2013. Due to the high volume of facility inspections performed at ABQ and the Double Eagle II Airport (DEII), the compilation of results and completion of this annual report required greater than 45 days.
The annual report included herein is comprehensive of the results of annual inspections performed at Aviation facilities and tenant (leaseholder) operations. Each tenant listed in Table 1 was inspected as part of the CSCE although not all tenants meet the definition of industrial facilities subject to the permit requirements of the MSGP. Not all tenants have submitted a Notice of Intent (NOI) or Notice of No Exposure and of those tenants that have submitted an NOI, not all have provided their NPDES tracking number to Aviation, or submitted NOIs were not retrievable in the EPA’s NPDES online tracking system. NPDES tracking numbers for the airport (submitted by Aviation) and available tracking numbers for tenants of the airport are listed in Table 1. The enclosed annual report is intended to meet the reporting requirements of Aviation and all tenants who have submitted an NOI for MSGP coverage of their Albuquerque operations under Sector S – Air Transportation.
U.S. Environmental Protection Agency Office of Water, Water Permits Division May 31, 2013 Page 2
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Table 1 – NPDES Tracking Numbers – Albuquerque International Sunport
Tenant / Operation Tracking Number Tenant / Operation Tracking Number
City of Albuquerque Aviation Department
Airfield Maintenance Landside Operations Terminal Operations Parks and General Services
NMR05GC75
Frontier Airlines n/a
Hertz NMR05GB14
Main Event Transportation n/a
Matheson Flight Extenders n/a
Nanopore Insulation NMR05HR94
Advantage Rent‐A‐Car n/a National Weather Service NMR05GC07
AeroLynx NMR05HS90 New Mexico Airlines NMR05GC11
Airline Services International Group
NMR05GC12 Payless Rental Car n/a
American Airlines NMR05GC24 PrimeFlight NMR05HI73
American Eagle Airlines n/a Sandia National Laboratories / FAA AANC
NMR05GL16
Atlantic Aviation NMR08H00 South Aero NMR05GC36
Avis/Budget Group NMR05GG27 NMR05GG28
Southwest Airlines NMR05GC34
Bode Aviation Inc. (Sunport) n/a Standard Parking n/a
Cutter Aviation NMR05GB16 Swissport Fueling Services n/a
Delta Airlines NMR05GD99 Thrifty Car Rental NMR05GD41
DAL Global Services n/a United Airlines NMR05GC85
DeMar Machine NMR05HR87 United Parcel Service NMR05GM68
EAN Holdings n/a US Postal Service NMR05HT65
Eclipse Aerospace NMR05GF42 USAirways NMR05GB83
Federal Express NMR05GY09
Note: n/a – Either tenant has not submitted a NOI or the tracking number was not available.
U.S. Environmental Protection Agency Office of Water, Water Permits Division May 31, 2013 Page 3
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Please contact CDM Smith at (505) 243‐3200 or Christopher Albrecht, Environmental Manager, City of Albuquerque Aviation Department at with any questions or concerns regarding this correspondence or the enclosed stormwater annual report.
Sincerely,
Sarah C. Tuite, P.E. Paul A. Karas, C.P.G., CHMM Project Manager Associate CDM Smith Inc. CDM Smith Inc.
Attachment ‐ ABQ Annual Report
cc: Christopher Albrecht, Aviation Department File
NPDES Permit Tracking No.:
N M R 0 5 G C 7 5
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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
WASHINGTON, DC 20460
Annual Reporting Form A. GENERAL INFORMATION
1. Facility Name: A L B U Q U E R Q U E I N T E R N A T I O N A L S U N P O R T
2. NPDES Permit Tracking No.: N M R 0 5 G C 7 5
3. Facility Physical Address:
a.Street:
2 2 0 0 S U N P O R T B L V D S E
b.City:
A L B U Q U E R Q U E c. State: N M d. Zip Code: 8 7 1 0 6 -
4. Lead Inspectors Name: G R E G O R Y L A R S O N P E Title: C D M S M I T H E N G I N E E R
Additional Inspectors Name(s): R O C H E L L E J I M C D M S M I T H E N G I N E E R
Additional Inspectors Name(s): C D M S M I T H E N G I N E E R
Additional Inspectors Name(s): C H R I S T O P H E R A L B R E C H T C A B Q E N V . M A N A G E R
5. Contact Person: C H R I S T O P H E R A L B R E C H T Title: E N V . M A N A G E R
Phone: E-mail:
6. Inspection Date: 0 3 / 1 8 / 2 0 1 3 t h r o u g h 0 3 / 2 8 / 2 0 1 3
B. GENERAL INSPECTION FINDINGS
1. As part of this comprehensive site inspection, did you inspect all potential pollutant sources, including areas where industrial activity may beexposed to stormwater?
YES NO
If NO, describe why not:
NOTE: Complete Section C of this form for each industrial activity area inspected and included in your SWPPP or as newly identified in B.2 or B.3 below where pollutants may be exposed to stormwater.
2. Did this inspection identify any stormwater or non-stormwater outfalls not previously identified in your SWPPP? YES NO
If YES, for each location, describe the sources of those stormwater and non-stormwater discharges and any associated control measures in place:
3. Did this inspection identify any sources of stormwater or non-stormwater discharges not previously identified in your SWPPP? YES NO
If YES, describe these sources of stormwater or non-stormwater pollutants expected to be present in these discharges, and any control measures in place:
NPDES Permit Tracking No.:
N M R 0 5 G C 7 5
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4. Did you review stormwater monitoring data as part of this inspection to identify potential pollutant hot spots? YES NO NA, no monitoring performed
If YES, summarize the findings of that review and describe any additional inspection activities resulting from this review:
Stormwater monitoring reports for 2012 indicate the following potential pollutant areas which were all observed during the comprehensive inspections:
• Drainage Basin SP-1
• Drainage Basin SP-2
• Drainage Basin CRN
During the CSCE, each drainage basin listed above was inspected for potential pollutant sources. The following facilities/areas were inspected for potential pollutant sources in each respective drainage basin:
• Drainage Basin SP-1: United States Postal Service Facility; Southwest Airlines ground vehicle and equipment maintenance areas;Aviation Department wash rack, glycol dispensing facility, Main Event Transportation, and Aviation Department triturator facility.
• Drainage Basin SP-2: Aviation Department Terminal Operations, Landside Operations, and Airfield Maintenance Operations; andall airline gate operations.
• Drainage Basin CRN: Rental car facilities.
In drainage basin SP-1, an oil leak was observed; however, oil did not enter the storm drain. Monthly deicing inspections were conducted in December of 2012 and March 2013. Recovery of available deicing fluid is conducted promptly by Airfield Maintenance during and/or immediately after each deicing event. No other releases of glycol were observed.
5. Describe any evidence of pollutants entering the drainage system or discharging to surface waters, and the condition of and around outfalls,including flow dissipation measures to prevent scouring:
Each of the outfalls at ABQ have energy dissipation structures such as riprap, gabions, or crushed concrete.
6. Have you taken or do you plan to take any corrective actions, as specified in Part 3 of the permit, since your last annual report submission (orsince you received authorization to discharge under this permit if this is your first annual report), including any corrective actions identified as aresult of this annual comprehensive site inspection?
YES NO
If YES, how many conditions requiring review for correction action as specified in Parts 3.1 and 3.2 were addressed by these corrective actions?
0 2
As part of the Comprehensive Site Compliance Evaluation process, each airport tenant and operation receives a letter of compliance or a letter summarizing their non-compliance issues. Each tenant receiving a letter of non-compliance is required to submit written documentation within 30 days of receipt of the letter describing the actions taken to correct any areas of non-compliance. The corrective action items listed in Section D are the major items that were identified during the annual comprehensive inspections.
NOTE: Complete the attached Corrective Action Form (Section D) for each condition identified, including any conditions identified as a result of this comprehensive stormwater inspection.
NPDES Permit Tracking No.:
N M R 0 5 G C 7 5
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C. INDUSTRIAL ACTIVITY AREA SPECIFIC FINDINGS
Complete one block for each industrial activity area where pollutants may be exposed to stormwater. Copy this page for additional industrial activity areas.
In reviewing each area, you should consider: Industrial materials, residue, or trash that may have or could come into contact with stormwater; Leaks or spills from industrial equipment, drums, tanks, and other containers; Offsite tracking of industrial or waste materials from areas of no exposure to exposed areas; and Tracking or blowing of raw, final, or waste materials from areas of no exposure to exposed areas.
INDUSTRIAL ACTIVITY AREA Terminal / Tarmac:
1. Brief Description:
The Terminal/Tarmac area is the large paved area near the gates and runway where passenger aircraft are loaded, unloaded, maintained, and parked for short periods of time. There are large storm drains to catch stormwater runoff during storm events. In the Terminal/Tarmac area near the gates, commercial aircraft are fueled, minor aircraft maintenance is conducted, outdoor handling and storage of material takes place, and solid wastes are handled. During winter months aircraft deicing is performed in the Terminal/Tarmac area at a minimum of 50 feet away from any storm drain.
Potential pollutants associated with fueling activities include: Avgas, Jet-A fuel, unleaded gasoline, and diesel fuel.
Potential pollutants associated with maintenance include: engine oil, hydraulic fluid, coolant, Skydrol (aircraft hydraulic fluid), battery acid, brake fluid, solvents, antifreeze, paint, transmission fluid, WD 40, and grease.
Potential pollutants associated with deicing/anti-icing include: Type I and Type IV deicing fluid and potassium acetate.
Potential pollutants associated with waste handling and disposal include: solid waste and used maintenance fluids.
Potential pollutants associated with lavatory service include: sanitary waste and aircraft bluewater.
2. Are any control measures in need of maintenance or repair? YES NO
3. Have any control measures failed and require replacement? YES NO
4. Are any additional/revised control measures necessary in this area? YES NO
If YES to any of these three questions, provide a description of the problem: (Any necessary corrective actions should be described on the attached Corrective Action Form)
INDUSTRIAL ACTIVITY AREA Fixed-Based Operators:
1. Brief Description:
The Fixed-Base Operators area is to the west of the airfield. The activities conducted in this area include: vehicle, equipment, and small aircraft fueling; fuel storage in tanks and fueling vehicles; aircraft, ground vehicle, and equipment maintenance; occasional aircraft deicing/anti-icing; aircraft, ground vehicle, and equipment washing; outdoor handling and storage of materials; waste handling and disposal; and equipment cleaning and degreasing.
Potential pollutants associated with fueling include: Avgas, Jet-A fuel, unleaded gasoline, and diesel fuel.
Potential pollutants associated with maintenance include: engine oil, hydraulic fluid, coolant, degreasers, Skydrol (aircraft hydraulic fluid), battery acid, solvents, paints, and grease.
Potential pollutants associated with deicing/anti-icing include: Type I and Type IV deicing fluid and potassium acetate.
Potential pollutants associated with washing include: washwater, soaps, detergents, grease, and oil.
Potential pollutants associated with outdoor handling and storage of materials include: fuels, lubricants, and waste oils.
Potential pollutants associated with waste handling and disposal include: solid waste and used maintenance fluids.
Potential pollutants associated with building and ground maintenance include: paint, fire suppressant, ice melting agents, and sludge from oil water separators.
Potential pollutants associated with equipment cleaning and degreasing include: degreasing solvents, oil, and grease.
2. Are any control measures in need of maintenance or repair? YES NO
3. Have any control measures failed and require replacement? YES NO
4. Are any additional/revised control measures necessary in this area? YES NO
If YES to any of these three questions, provide a description of the problem: (Any necessary corrective actions should be described on the attached Corrective Action Form)
NPDES Permit Tracking No.:
N M R 0 5 G C 7 5
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INDUSTRIAL ACTIVITY AREA Car Rental Facility:
1. Brief Description:
The Car Rental Facility is a consolidated facility located at the west edge of the airport. The activities that occur in this area include: vehicle fueling, washing, and maintenance; outdoor handling and storage of materials; waste handling and disposal; and equipment cleaning and degreasing.
Potential pollutants associated with fueling/fuel storage include: unleaded gasoline and diesel fuel.
Potential pollutants associated with maintenance include: engine oil, hydraulic fluid, coolant, degreasers, windshield wiper fluid, battery acid, and grease.
Potential pollutants associated with washing include: washwater, soaps, detergents, grease, and oil.
Potential pollutants associated with outdoor handling and storage of materials include: fuels, lubricants, and waste oils.
Potential pollutants associated with waste handling and disposal include: solid waste and used maintenance fluids.
Potential pollutants associated with equipment cleaning and degreasing include: solvents, oil, and grease.
2. Are any control measures in need of maintenance or repair? YES NO
3. Have any control measures failed and require replacement? YES NO
4. Are any additional/revised BMPs necessary in this area? YES NO
If YES to any of these three questions, provide a description of the problem: (Any necessary corrective actions should be described on the attached Corrective Action Form)
NOTE: Copy this page and attach additional pages as necessary
INDUSTRIAL ACTIVITY AREA Miscellaneous:
1. Brief Description:
The miscellaneous areas are located around the airport, mostly to the west. Activities performed in the miscellaneous areas include: vehicle fueling, maintenance, and washing; triturator facility; outdoor handling and storage of materials; waste handling and disposal; buildings and ground maintenance; and equipment cleaning and degreasing.
Potential pollutants associated with fueling include: unleaded gasoline and diesel gasoline.
Potential pollutants associated with maintenance include: engine oil, hydraulic fluid, coolant, degreasers, Skydrol (aircraft hydraulic fluid), battery acid, paint, dyes, and grease.
Potential pollutants associated with washing include: washwater, soaps, detergents, grease, and oil.
Potential pollutants associated with outdoor handling and storage of materials include: fuels, lubricants, and waste oils.
Potential pollutants associated with waste handling and disposal include: solid waste, used oil, used hydraulic fluid, and used coolant.
Potential pollutants associated with buildings and ground maintenance include: urea, sand, paints, fertilizer, pesticides, and potassium acetate.
Potential pollutants associated with equipment cleaning and degreasing include: degreasing solvents, oil, and grease.
2. Are any control measures in need of maintenance or repair? YES NO
3. Have any control measures failed and require replacement? YES NO
4. Are any additional/revised BMPs necessary in this area? YES NO
If YES to any of these three questions, provide a description of the problem: (Any necessary corrective actions should be described on the attached Corrective Action Form)
D. CORRECTIVE ACTIONS
Complete this page for each specific condition requiring a corrective action or a review determining that no corrective action is needed. Copy this page for additional corrective actions or reviews.
Include both corrective actions that have been initiated or completed since the last annual report, and future corrective actions needed to address problems identified in this comprehensive stormwater inspection. Include an update on any outstanding corrective actions that had not been completed at the time of your previous annual report.
1. Corrective Action #
0 1 of 0 3 for this reporting period.
NPDES Permit Tracking No.:
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2. Is this corrective action:
An update on a corrective action from a previous annual report; or
A new corrective action?
3. Identify the condition(s) triggering the need for this review:
Unauthorized release or discharge
Numeric effluent limitation exceedance
Control measures inadequate to meet applicable water quality standards
Control measures inadequate to meet non-numeric effluent limitations
Control measures not properly operated or maintained
Change in facility operations necessitated change in control measures
Average benchmark value exceedance
Other (describe): ________________________________
4. Briefly describe the nature of the problem identified:
During periods of high use, washwater from the entrance side of the car wash at EAN Holdings rental car facility flows toward a storm drain.
5. Date problem identified:
1 1 / 1 0 / 2 0 1 1
6. How problem was identified:
Comprehensive site inspection
Quarterly visual assessment
Routine facility inspection
Benchmark monitoring
Notification by EPA or State or local authorities
Other (describe): ________________________________
7. Description of corrective action(s) taken or to be taken to eliminate or further investigate the problem (e.g., describe modifications or repairs to controlmeasures, analyses to be conducted, etc.) or if no modifications are needed, basis for that determination:
EAN Holdings installed a containment dike to prevent washwater from entering the storm drain.
8. Did/will this corrective action require modification of your SWPPP? YES NO
9. Date corrective action initiated: 0 7 / 1 6 / 2 0 1 2
10.Date correction actioncompleted:
0 9 / 2 1 / 2 0 1 2 or expected to be completed:
/ /
11. If corrective action not yet completed, provide the status of corrective action at the time of the comprehensive site inspection and describe anyremaining steps (including timeframes associated with each step) necessary to complete corrective action:
1. Corrective Action #
0 2 of 0 3 for this reporting period.
2. Is this corrective action:
An update on a corrective action from a previous annual report; or
A new corrective action?
3. Identify the condition(s) triggering the need for this review:
Unauthorized release or discharge
Numeric effluent limitation exceedance
Control measures inadequate to meet applicable water quality standards
Control measures inadequate to meet non-numeric effluent limitations
NPDES Permit Tracking No.:
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Control measures not properly operated or maintained
Change in facility operations necessitated change in control measures
Average benchmark value exceedance
Other (describe): ________________________________
4. Briefly describe the nature of the problem identified:
Evidence of dried lavatory fluid/debris was observed outside of the triturator structure during the inspection. Since the issue was first identified, the Aviation Department has made upgrades to the facilities mechanical and piping components. However, some tenants are not using the triturator in accordance with the facility’s Best Management Practices and operating procedures.
5. Date problem identified:
0 3 / 3 0 / 2 0 1 1
6. How problem was identified:
Comprehensive site inspection
Quarterly visual assessment
Routine facility inspection
Benchmark monitoring
Notification by EPA or State or local authorities
Other (describe): ________________________________
7. Description of corrective action(s) taken or to be taken to eliminate or further investigate the problem (e.g., describe modifications or repairs to controlmeasures, analyses to be conducted, etc.) or if no modifications are needed, basis for that determination:
Tenants will continue to be trained on the appropriate operations of the triturator facility.
The Aviation Department is currently redesigning the west airport facilities which includes the triturator. The improvements will be made as part of a large construction project in the near future.
8. Did/will this corrective action require modification of your SWPPP? YES NO
9. Date corrective action initiated: 0 7 / 0 6 / 2 0 1 2
10.Date correction actioncompleted:
/ / or expected to be completed:
1 2 / 3 1 / 2 0 1 4
11. If corrective action not yet completed, provide the status of corrective action at the time of the comprehensive site inspection and describe anyremaining steps (including timeframes associated with each step) necessary to complete corrective action:
This issue will be a continuous operations issue until the facility is relocated as part of the airport master plan, anticipated to be within the next several years. To address some of the immediate issues, Aviation Terminal Operations recently re-routed the triturator roof drain gutter directly to the storm drain inlet to prevent ponding and contact with dried lavatory fluid/debris.
1. Corrective Action #
0 3 of 0 3 for this reporting period.
2. Is this corrective action:
An update on a corrective action from a previous annual report; or
A new corrective action?
3. Identify the condition(s) triggering the need for this review:
Unauthorized release or discharge
Numeric effluent limitation exceedance
Control measures inadequate to meet applicable water quality standards
Control measures inadequate to meet non-numeric effluent limitations
Control measures not properly operated or maintained
Change in facility operations necessitated change in control measures
Average benchmark value exceedance
Other (describe): ________________________________
4. Briefly describe the nature of the problem identified: