96-20228. Interpretative Policy Memorandum on Reapplication Requirements for Municipal Separate Storm Sewer Systems  

  • [Federal Register Volume 61, Number 155 (Friday, August 9, 1996)]
    [Rules and Regulations]
    [Pages 41698-41699]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 96-20228]
    
    
    
    [[Page 41697]]
    
    
    _______________________________________________________________________
    
    Part III
    
    
    
    
    
    Environmental Protection Agency
    
    
    
    
    
    _______________________________________________________________________
    
    
    
    40 CFR Part 122
    
    
    
    Interpretative Policy Memorandum on Reapplication Requirements for 
    Municipal Separate Storm Sewer Systems; Final Rule
    
    Federal Register / Vol. 61, No. 155 / Friday, August 9, 1996 / Rules 
    and Regulations
    
    [[Page 41698]]
    
    
    
    ENVIRONMENTAL PROTECTION AGENCY
    
    40 CFR Part 122
    
    [FRL-5533-7]
    
    
    Interpretative Policy Memorandum on Reapplication Requirements 
    for Municipal Separate Storm Sewer Systems
    
    AGENCY: Environmental Protection Agency (EPA).
    
    ACTION: Policy statement; interpretation.
    
    -----------------------------------------------------------------------
    
    SUMMARY: By today's notice EPA announces federal policy, signed by 
    Robert Perciasepe, Assistant Administrator for Water, on May 17, 1996, 
    regarding application requirements for renewal or reissuance of 
    National Pollutant Discharge Elimination System (NPDES) permits for 
    municipal separate storm sewer systems (MS4s). Today's action responds 
    to requests from municipalities and NPDES permit writers for 
    clarification about regulations which do not appear to address 
    reapplication requirements, i.e., permit reissuance. Today's notice 
    explains that MS4 permit applicants and NPDES permit writers have 
    considerable discretion to customize appropriate and streamlined 
    reapplication requirements on a case-by-case basis, specifically, by 
    using the fourth year annual report as the principal reapplication 
    document.
    
    EFFECTIVE DATE: This policy is effective May 17, 1996.
    
    FOR FURTHER INFORMATION CONTACT: Marilyn Fonseca, Office of Wastewater 
    Management, MC-4203, U.S. Environmental Protection Agency, 401 M Street 
    SW., Washington, DC 20460, (202)-260-0592, e-mail: 
    Fonseca.Marilyn@epamail.epa.gov
    
    SUPPLEMENTARY INFORMATION: The text of this policy is as follows:
    
    Municipal Separate Storm Sewer System Permit Reapplication Policy
    
        The 1987 amendments to the Clean Water Act added Section 402(p) 
    which directed the Environmental Protection Agency to establish 
    regulations governing storm water discharges under the National 
    Pollutant Discharge Elimination System (NPDES) program. Early in the 
    program, Congress specifically required NPDES permits for municipal 
    separate storm sewer systems (MS4s) serving populations over 100,000. 
    In response, EPA promulgated regulations in 1990 that established 
    permit application requirements for MS4s that serve populations over 
    100,000. MS4 permits have since been drafted and finalized for many 
    municipal systems. A number of MS4 permits are due to expire and must 
    be reissued.
        EPA is providing this policy memorandum to outline permit 
    reapplication requirements for regulated MS4s. There are three 
    components to EPA's reapplication policy. First, EPA is not requiring 
    that the process used for part 1 and 2 of the initial permit 
    application be repeated in full. Second, EPA has identified basic 
    information that should be included in every reapplication package. 
    Finally, EPA is seeking to improve existing MS4 storm water management 
    programs by using information and experience municipalities have gained 
    during the previous permit term.
    
    Is a Permit Reapplication Necessary?
    
        Yes. The requirement that all point source discharges authorized by 
    a NPDES permit must reapply is well established at 40 CFR 122.41(b) and 
    122.46(a):
    
        Duty to reapply. If the permittee wishes to continue an activity 
    regulated by this permit after the expiration date of this permit, 
    the permittee must apply for and obtain a new permit.
        Duration of permits. NPDES permits shall be effective for a 
    fixed term not to exceed 5 years.
    
        The reapplication requirement is also found at 40 CFR 122.21(d):
    
        Duty to reapply. . . . All other permittees with currently 
    effective permits shall submit a new application 180 days before the 
    existing permit expires.
    
        Therefore, all regulated Phase I MS4s need to participate in a 
    permit reapplication process.
        Where a complete reapplication package has been submitted as 
    directed by the permit authority, conditions of an expired MS4 permit 
    will continue until the effective date of a new permit, as stated in 40 
    CFR 122.6(a) and (b):
    
        (a) EPA permits. When EPA is the permit-issuing authority, the 
    conditions of an expired permit continue in force . . . until the 
    effective date of a new permit . . . and (b) Effect. Permits 
    continued under this section remain fully effective and enforceable.
    
    Are Initial MS4 Permit Application Requirements Applicable To Permit 
    Reapplication?
    
        No. The scope of the initial permit application requirements was 
    comprehensive and regulated MS4s invested considerable resources to 
    develop these applications. The initial applications have laid the 
    foundation for the long-term implementation of MS4 storm water 
    management programs. EPA believes reapplications should focus on 
    maintenance and improvement of these programs.
        The MS4 permit application requirements at 40 CFR 122.26(d)(1) and 
    (2) apply to the first round permit applications required of large and 
    medium MS4s. The permit application deadline regulations in 40 CFR 
    122.26(e) (3) & (4) clearly reflect the ``one time'' nature of the Part 
    I & II application requirements for large and medium MS4s. EPA has not 
    promulgated regulations applicable to reapplication for MS4s. 
    Requirements to demonstrate adequate legal authority, perform source 
    identification (e.g., identify major outfalls and facility inventory), 
    characterize data, and develop a storm water management program should 
    have been addressed in the initial application phase. Therefore, to 
    request the same information again, where it has already been provided 
    and has not changed, would be needlessly redundant. Thus, as a 
    practical matter, most first-time permit application requirements are 
    unnecessary for purposes of second round MS4 permit application.
    
    What Basic Information Must Be Submitted for an MS4 Permit 
    Reapplication?
    
        EPA is committed to allowing permitting authorities to develop 
    flexible reapplication requirements that are site-specific. In the 
    absence of reapplication regulations specific to MS4s, minimum 
    reapplication requirements are drawn from the generic NPDES permit 
    application regulations at 40 CFR 122.21(f). EPA regulations suggest 
    the following basic information be included as part of any permit 
    reapplication:
    
    --name and mailing address(es) of the permittee(s) that operate the 
    MS4, and
    --names and titles of the primary administrative and technical contacts 
    for the municipal permittee(s).
    
        In addition, in the reapplication, municipalities should identify 
    any proposed changes or improvements to the storm water management 
    program and monitoring activities for the upcoming five year term of 
    the permit, if those proposed changes have not already been submitted 
    pursuant to 40 CFR 122.42(c). [A requirement to submit proposed changes 
    to the storm water management program is specified in the annual 
    reporting requirements in 40 CFR 122.42(c)(2).] EPA encourages 
    permitting authorities to make use of the fourth year annual report as 
    the basic permit reapplication package.
    
    [[Page 41699]]
    
        Changes to the storm water management program may be justified due 
    to the availability of new information on the relative magnitude of a 
    problem or new data on water quality impacts of the storm water 
    discharges. Municipalities may also propose to de-emphasize some 
    program components and strengthen others, based on the experience 
    gained under the first permit. Proposed elimination of a program 
    component might be justified upon permit renewal; for example, when a 
    component is no longer a problem area (i.e., all detention basins have 
    been retrofitted) or when a different water quality program would serve 
    the same goals.
        The components of the original storm water management program which 
    are found to be effective should be continued and made an ongoing part 
    of the proposed new storm water management program. Such components may 
    include:
    
    --continued emphasis on public education programs, particularly 
    programs on proper disposal of waste oil and household hazardous waste 
    and pesticide application;
    --continued, if not greater, emphasis on addressing impacts of new 
    development/construction;
    --proper storm design criteria for all new developments;
    --retrofitting and/or upgrading of the existing storm sewer system 
    according to a priority system;
    --more frequent maintenance of storm sewer systems and storm water 
    treatment systems;
    --coordination with adjacent MS4s on monitoring or other efforts; and
    --using a watershed approach to storm water management.
    
        The accumulated annual report information as outlined in 40 CFR 
    122.42(c) should be evaluated and, to the extent applicable, be 
    incorporated by reference into the reapplication package.
        To reiterate, MS4s may use the fourth year annual report, which 
    emphasizes proposed changes to the storm water management program, with 
    the additional required basic information, as the MS4 permit 
    reapplication. Changes to the storm water management program should be 
    jointly developed by the permitting authority and the permit applicant. 
    In this regard, we urge permit issuance authorities and permittees to 
    work together to assure that the permit reapplication is complete and 
    addresses all appropriate issues. The permitting agency may request 
    additional technical information be submitted in the reapplication. 
    NPDES permitting authorities, therefore, can exercise their information 
    gathering authority under CWA Section 308, or analogous State 
    provisions to complete the permit reapplication on a case-by case 
    basis, as appropriate.
    
    What Additional Information Should Be Considered for a Reapplication?
    
        EPA also recommends the following information be provided by 
    reapplicants to the permitting authority, as outlined in 40 CFR 
    122.26(d)(1)(iv)(C):
    
    --identification of any previously unidentified water bodies that 
    receive discharges from the MS4, and
    --a summary of any known water quality impacts on the newly identified 
    receiving waters (based on best available data).
    
        In addition, EPA recommends the following information be provided 
    to the permitting authority as well:
    
    --a description of changes in co-applicants since issuance of initial 
    MS4 permit, and
    --identification number of the existing NPDES MS4 permit.
    
        Further, EPA encourages permitting authorities to work with 
    permittees to determine if storm water monitoring efforts are 
    appropriate and useful. For example, during the previous permit term, 
    municipalities may have found that their monitoring program was not 
    fully successful in characterizing the nature and extent of storm water 
    problems. Reapplication is an appropriate time for MS4s to evaluate 
    their monitoring program and propose changes to make the program more 
    appropriate and useful. To accomplish this, municipalities may wish to 
    consider using monitoring techniques other than end-of-the pipe 
    chemical-specific monitoring, including habitat assessments, 
    bioassessments and/or other biological methods.
        Permitting authorities should incorporate any such new information, 
    together with assembled materials from the initial application and the 
    existing permit, to form the administrative record for any reissued MS4 
    permits. Such administrative records should be made publicly available 
    as part of the process to reissue the permit.
    
        Dated: June 28, 1996.
    Michael B. Cook,
    Director, Office of Wastewater Management.
    [FR Doc. 96-20228 Filed 8-8-96; 8:45 am]
    BILLING CODE 6560-50-P
    
    
    

Document Information

Effective Date:
5/17/1996
Published:
08/09/1996
Department:
Environmental Protection Agency
Entry Type:
Rule
Action:
Policy statement; interpretation.
Document Number:
96-20228
Dates:
This policy is effective May 17, 1996.
Pages:
41698-41699 (2 pages)
Docket Numbers:
FRL-5533-7
PDF File:
96-20228.pdf
CFR: (1)
40 CFR 122