HomeMy WebLinkAboutStorm Water Pollution Prevention Plan
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(7) A storm water pollution prevention plan associated with construction activities. The plan must
be designed to, at least, meet the requirements of sections 7 and 7.5 of this rule and must include
the following:
(A) Location, dimensions, detailed specifications, and construction details of all temporary
and permanent storm water quality measures.
See Mueller Property North Sand and Gravel Operation Erosion and Sediment
Control Report contained on page 6-4 of this Construction Plan as well as the
Storm Water Pollution Prevention Plan beginning on page 7-2.
(B) Temporary stabilization plans and sequence of implementation.
See Mueller Property North Sand and Gravel Operation Erosion and Sediment
Control Report contained on page 6-4 of this Construction Plan.
(C) Permanent stabilization plans and sequence of implementation.
See Mueller Property North Sand and Gravel Operation Erosion and Sediment
Control Report contained on page 6-4 of this Construction Plan.
(D) Temporary and permanent stabilization plans shall include the following:
(i) Specifications and application rates for soil amendments and seed mixtures.
(ii) The type and application rate for anchored mulch.
See Mueller Property North Sand and Gravel Operation Erosion and Sediment
Control Report contained on page 6-4 of this Construction Plan.
(E) Construction sequence describing the relationship between implementation of storm
water quality measures and stages of construction activities.
See Mueller Property North Sand and Gravel Operation Erosion and Sediment
Control Report contained on page 6-4 of this Construction Plan.
(F) Self-monitoring program including plan and procedures.
See Storm Water Pollution Prevention Plan beginning on page 7.2.
(G) A description of potential pollutant sources associated with the construction activities,
that may reasonably be expected to add a significant amount of pollutants to storm water
discharges.
See Storm Water Pollution Prevention Plan beginning on page 7.2.
(H) Material handling and storage associated with construction activity shall meet the spill
prevention and spill response requirements in 327 lAC 2-6.1.
See Spill Prevention, Control, and Countermeasure (SPCC) Plan on page 7-9.
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MUELLER PROPERTY NORTH
SAND AND GRAVEL OPERATION
STORM WATER POLLUTION
PREVENTION PLAN
PREPARED FOR
MARTIN MARIETTA MATERIALS, INC.
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PREPARED BY
SKELLY AND LOY, INC.
ENGINEERS-CONSULTANTS
JANUARY 2005
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TABLE OF CONTENTS
PAGE
EMERGENCY CONTACT INFORMATION. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7-4
DESCRIPTION OF POTENTIAL POLLUTANT SOURCES ..................... 7-5
STORMW A TER MANAGEMENT CONTROLS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7-6
FACILITY INSPECTION CHECKLIST. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7-8
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STORM WATER POLLUTION PREVENTION PLAN
MARTIN MARIETTA MATERIALS, INC.
MUELLER PROPERTY NORTH SAND AND GRAVEL OPERATION
Emergency Contact: Max Williams
Title: Environmental Enaineer
Work Phone: 317-573-4460
Emergency Phone: 317-418-2508 (mobile), 317-576-9421 (home)
NPDES Permit Number: N/A
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STORM WATER POLLUTION PREVENTION PLAN
This storm water pollution prevention plan was developed in accordance with the
requirements of sections 7 and 7.5 of Rule 5. Proposed activities for the project site include
conducting a surface sand and gravel operation on the Mueller Property North utilizing typical
earthmoving equipment (pans, front end loaders, etc.) to extract overburden and a floating dredge
to extract sand and gravel. The sand and gravel extraction will result in the creation of an artificial
lake, which will essentially serve as an extension of the existing Carmel Sand Plant lake to the
north of the subject property.
A separate document entitled, "Mueller Property North Sand and Gravel Operation Erosion
and Sediment Control Report," provided on page 6-4 of this Construction Plan, presents
information relevant to erosion and sediment control measures appropriate to minimize
sedimentation. Within the referenced report, the locations, dimensions, detailed specifications, and
construction details for all controls are provided. Temporary and permanent stabilization plans, and
sequence of implementation and construction are also provided in said report. All erosion and
sediment control measures will be installed under the guidance of a trained individual.
DESCRIPTION OF POTENTIAL POLLUTANT SOURCES
The minerals to be extracted from the proposed operation include soils, sand, and gravel.
The products are used by consumers for various construction activities. Material extracted from
the site will be processed and stored off-site at existing Martin Marietta processing facilities
adjacent to Mueller Property North. Overburden will be removed using earthmoving equipment
such as pans, front-end loaders, etc. Martin Marietta will use a floating suction dredge to remove
the sand and gravel. A phased approach to mining and concurrent reclamation plan will be
employed to the extent possible in order to minimize the disturbance of large areas.
The sand and gravel will be removed by dredge via a wet mining method and conveyed on
the subject property by closed pipe to the Carmel Sand Plant.
There will be no fuel or other chemical storage within the proposed Mueller Property North
Sand and Gravel Operation, other than the fuel contained directly in the operating equipment.
Appropriate measures will be implemented to eliminate wastes (garbage, debris, etc.) from being
carried from the project site. Discretely placed dumpsters will be used as receptors if necessary
for municipal-type trash produced at the site.
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No new points of construction traffic ingress and egress are proposed to the project site.
No impervious surfaces are proposed for the site. There are no potential pollutant sources
associated with the construction activities that may reasonably be expected to add a significant
amount of pollutants to storm water discharges.
A notice will be posted near the main entrance to the project site containing a copy of the
completed Notice of Intent (NOI) letter, NPDES permit number, name, company name, telephone
number, and address of a contact person, and the location of the Construction Plan. Any
contractors who enter the site will be informed of the conditions of Rule 5 and the conditions and
standards of the Storm Water Pollution Prevention Plan.
STORM WATER MANAGEMENT CONTROLS
Nonstructural pollution prevention practices and self-monitoring (inspection, good
housekeeping, preventive maintenance, and employee training) will be practiced at all times. The
self-monitoring program to be implemented will include the following. A trained individual will
perform a written evaluation of the project site by the end of thenext business day following each
measurable storm event and, at a minimum, onetime per week. The evaluation will address the
U maintenance of the storm water quality measures (i.e., basin, channels, berms, etc.) to ensure that
they are functioning properly. Any additional measures necessary to remain in compliance with all
applicable statutes and rules will be identified. Written evaluation reports will include
. name of the individual performing the evaluation,
. date of the evaluation,
. problems identified at the project site, and
. details of corrective actions recommended and completed.
These reports will be made available to the inspecting authority (Hamilton County Soil and Water
Conservation District) within 48 hours of a request. See sample inspection form on page 7-8.
Best management practices will be adhered to during refueling of the dredge and the Spill
Prevention, Control, and Countermeasure Plan will be adhered to at all times. Equipment will be
inspected daily to ensure that there are no hydraulic fluid, oil, antifreeze, or fuel leaks. In the event
that a piece of equipment would break down on-site, with no ability to relocate off-site for servicing,
U proper spill prevention and control practices will be implemented. The excavation contractor, and
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any other contractors on-site, will adhere to the Spill Prevention, Control, and Countermeasure
U Plan. Solvents and other chemical reagents will be handled and disposed of by an approved dealer
in accordance with all local, state, and federal regulations. The Spill Prevention, Control, and
Countermeasure Plan, covering the proposed operation and Martin Marietta's adjacent Carmel
Sand Plant is also included on page 7-8 of the Construction Plan.
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STORMWATER POLLUTION PREVENTION PLAN
FACILITY INSPECTION CHECKLIST
Name:
Date of Inspection:
CONTROL STRUCTURE PROBLEMS CORRECTIVE ACTIONS CORRECTIVE ACTIONS
IDENTIFIED RECOMMENDED COMPLETED
Berms
- Check for good vegetation
- Check for openings or erosion
Channels
- Check for proper drainage
- Check for accumulation of sediment
in flow area
- Check outlets for bank stability
- Check lining
Additional Comments