Vol. 19 No. 6 September 12, 2011


EPA Withdraws Turbidity Limit; Virginia SWM Regulations Update; Revised DEQ Notification Procedures; Proposed Updates to Water Reclamation and Reuse Regulations; Wood Turtle Surveys; Homeowners Guide to Amended Soils

 

EPA Withdraws Turbidity Limit

The U.S. Environmental Protection Agency (EPA) has recently withdrawn its proposal to the White House Office of Management and Budget (OMB) to revise the controversial numeric turbidity limit.  These limits were first issued in December 2009 as part of the Final Rule entitled “Effluent Limitations Guidelines and Standards for the Construction and Development Point Source Category”, which established the first enforceable numeric limit on the amount of pollutants in stormwater that may be discharged from certain construction and development sites (as described in Field Notes Vol. 18, No. 10). 

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Virginia SWM Regulations Published in Virginia Registrar

On August 29, the proposed stormwater management regulations were published in the Virginia Registrar, making them one step closer to completion.  The public comment period will run from August 29, 2011 through September 12, 2011.  Following the comment period, the regulations will become effective on September 13, 2011.

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Revised Notification Procedures for DEQ Individual Permits

Earlier this year, the Commonwealth of Virginia Department of Environmental Quality (DEQ) issued a guidance memorandum announcing revised notification procedures for the issuance of Virginia Pollutant Discharge Elimination System (VPDES), Virginia Pollution Abatement (VPA), and Virginia Water Protection (VWP) permits. Prior to the issuance of their revised notification procedures on March 18, 2011, local government, adjacent and/or riparian property owner notification was only required for the new issuance of or major modifications to these permits.

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Proposed Updates to Water Reclamation and Reuse Regulations

The State Water Control Board (SWCB) is proposing to update the Water Reclamation and Reuse regulations, including a provision to specifically exclude rainwater harvesting from the regulation's requirements. This is beneficial to all developers who are planning to include rainwater harvesting as part of a stormwater management plan or to help meet the requirements of a local Watershed Implementation Plan (WIP).

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Surveys for the State-Threatened Wood Turtle are Underway

If you are planning to develop property in Northern Virginia that has a clear, moderate to fast-flowing perennial stream and a relatively undisturbed floodplain, you may need a survey for the wood turtle (Glyptemys insculpta) this winter - or your wetlands permitting may be delayed up to a year!

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Guest Article: The Homeowners Guide to Amended Soils

This article, written by Thomas Bolles of the Prince William Unit of the Virginia Cooperative Extension, follows up on Field Notes (Vol. 19, No. 5) and provides additional information specifically for homeowners on how soil amendments can be implemented on residential lawns. The following recommendations are based on Virginia Cooperative Extension guidelines to help establish and maintain a healthy turf.

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About Wetland Studies and Solutions, Inc. (WSSI):

WSSI is the leading provider of natural and cultural resource consulting services in Northern Virginia. The firm has worked on a total of over 5,000 projects, comprising 200,000 acres, and has created hundreds of acres of wetlands and restored miles of streams. Our team of 80+ engineers, scientists, archeologists, ecosystem technicians, GIS/survey/compliance and technology/training specialists, and administrative staff yield a unique combination of disciplines focused on wetlands and water resources and provide creative solutions for integrating the constraints of economics and land plan requirements with local, state, and federal environmental regulations. For more information about WSSI, visit our Web site at www.wetlandstudies.com.