UW Bothell/Cascadia College
Stormwater Management Program
University of Washington (UW) Bothell and Cascadia College (CC) are classified as a Secondary Permittee under the Western Washington Phase II Municipal Stormwater Permit (Permit). As such, UW Bothell and CC must comply with Permit requirements, and all relevant ordinances, rules and regulations of the local jurisdiction (City of Bothell). Applicable rules and regulations include the City of Bothell stormwater and drainage control code, Chapter 18.04 (http://www.codepublishing.com/wa/bothell/) and City of Bothell Surface Water Management Program http://www.ci.bothell.wa.us/442/Surface-Water-Management
As a Phase II Secondary Permittee, UW Bothell and CC are required to develop and implement a Stormwater Management Program (SWMP). This document serves as the UW Bothell and CCC SWMP. The UW Bothell and CC SWMP is designed and implemented to reduce the discharge of pollutants from the stormwater system to the maximum extent practicable and protect water quality.
This UW Bothell and CC SWMP includes the following six (6) minimum measures:
Public education and outreach on the impacts of stormwater pollution,
Public involvement and participation,
Illicit discharge detection and elimination,
Construction site stormwater runoff control,
Post-construction stormwater management for new development and redevelopment, and
Pollution prevention and good housekeeping for facilities operations.
The SWMP describes these six minimum measures. Following each measure description is a lists of actions that UW Bothell and CC are conducting to meet these requirements. The dates for completing these actions is available at http://www.bothellwa.gov/461/Stormwater-Inspections
According to the Permit, UW Bothell and CCC will implement the following stormwater education strategies:
a. Storm drain inlets owned or operated by UW Bothell and CCC that are located in maintenance yards, in parking lots, along sidewalks, and at pedestrian access points will be clearly labeled with the message similar to “Dump no waste – Drains to water body.” As identified during visual inspection and regular maintenance of storm drain inlets per the requirements of S6.D.3.d. and S6.D.6.a.i. below, or as otherwise reported to UW Bothell and CCC , any inlet having a label that is no longer clearly visible and/or easily readable will be re-labeled within 90 days.
b. Each year, beginning no later than three years from the initial date of permit coverage, public ports, colleges, and universities will distribute educational information to tenants and residents on the impact of stormwater discharges on receiving waters, and steps that can be taken to reduce pollutants in stormwater runoff. Distribution may be by hard copy or electronic means. Appropriate topics may include:
i. How stormwater runoff affects local water bodies,
ii. Proper use and application of pesticides and fertilizers,
iii. Benefits of using well-adapted vegetation,
iv. Alternative equipment washing practices, including cars and trucks that minimize pollutants in stormwater,
v. Benefits of proper vehicle maintenance and alternative transportation choices; proper handling and disposal of vehicle wastes, including the location of hazardous waste collection facilities in the area, and
vi. Hazards associated with illicit connections, and illicit discharges.
vii. Benefits of litter control and proper disposal of pet waste.
To meet this requirement:
Most storm drains at UW Bothell and CC have gratings forged with “Outfall to Stream / Dump No Pollutants” on them. The gratings that do not have this forged on them are labeled with plastic pucks that say “No dumping, drains to wetlands.” UW Bothell Facilities Services has a stormwater system and catch basin preventative maintenance program.
The stormwater system is cleaned and inspected annually.
UW Bothell and CC has an outreach webpage on stormwater quality. This webpage is located at https://www.uwb.edu/sustainability/campus-operations/stormwater.
EH&S has a stormwater awareness brochure for students and staff.
According to the Phase II permit, UW Bothell and CC will:
a. Make the annual report available on the UW Bothell and CC website.
b. Make available on the UW Bothell and CCC website the latest updated version of the SWMP Plan.
c. If UW Bothell and CCC does not maintain a website may submit their updated SWMP Plan in electronic format to Ecology for posting on Ecology’s website.
According to the Phase II permit, UW Bothell and CCC will:
a. From the initial date of permit coverage, comply with all relevant ordinances, rules, and regulations of the local jurisdiction (City of Bothell) in which UW Bothell and CCC are located that govern non-stormwater discharges.
b. Implement appropriate policies prohibiting illicit discharges and an enforcement plan to ensure compliance with illicit discharge policies.
These policies will address, at a minimum: illicit connections; non stormwater discharges, including spills of hazardous materials; and improper disposal of pet waste and litter.
i. Allowable discharges: The policies do not need to prohibit the following categories of non-stormwater discharges:
(1) Diverted stream flows
(2) Rising ground waters
(3) Uncontaminated ground water infiltration (as defined at 40 CFR 35.2005(20))
(4) Uncontaminated pumped ground water
(5) Foundation drains
(6) Air conditioning condensation
(7) Irrigation water from agricultural sources that is commingled with urban stormwater
(9) Uncontaminated water from crawl space pumps
(10) Footing drains
(11) Flows from riparian habitats and wetlands
(12) Discharges from emergency firefighting activities in accordance with S2 Authorized Discharges
(13) Non-stormwater discharges authorized by another NPDES or State Waste Discharge permit
ii. Conditionally allowable discharges: The policies may allow the following categories of non-stormwater discharges only if the stated conditions are met and such discharges are allowed by local codes:
(1) Discharges from potable water sources, including but not limited to water line flushing, hyper-chlorinated water line flushing, fire hydrant system flushing, and pipeline hydrostatic test water. Planned discharges will be de-chlorinated to a total residual chlorine concentration of 0.1 ppm or less, pH-adjusted if necessary, and volumetrically and velocity controlled to prevent re-suspension of sediments in the MS4.
(2) Discharges from lawn watering and other irrigation runoff. These discharges will be minimized through, at a minimum, public education activities and water conservation efforts conducted by UW Bothell and CCC and/or the local jurisdiction (City of Bothell).
(3) De-chlorinated swimming pool, spa, and hot tub discharges. The discharges will be de-chlorinated to a total residual chlorine concentration of 0.1 ppm or less, pH-adjusted and re-oxygenated if necessary, and volumetrically and velocity controlled to prevent re-suspension of sediments in the MS4. Discharges will be thermally controlled to prevent an increase in temperature of the receiving water. Swimming pool cleaning wastewater and filter backwash will not be discharged to the MS4.
(4) Street and sidewalk wash water, water used to control dust, and routine external building washdown that does not use detergents. UW Bothell and CCC will reduce these discharges through, at a minimum, public education activities and/or water conservation efforts conducted by UW Bothell and CCC and/or the local jurisdiction (City of Bothell). To avoid washing pollutants into the MS4, the Secondary Permittee will minimize the amount of street wash and dust control water used.
(5) Other non-stormwater discharges will be in compliance with the requirements of a pollution prevention plan reviewed by the Permittee which addresses control of such discharges.
iii. UW Bothell and CC will address any category of discharges in i or ii above if the discharge is identified as a significant source of pollutants.
c. Maintain a storm sewer system map showing the locations of all known storm drain outfalls, labeling the receiving waters (other than groundwater), and delineating the areas contributing runoff to each outfall. Make the map (or completed portions of the map) available on request to Ecology and to the extent appropriate to other Permittees. The preferred format for mapping is an electronic format with fully described mapping standards. An example description is provided on Ecology’s website.
d. Conduct field inspections and visually inspect for illicit discharges at all known MS4outfalls. Visually inspect at least one third (on average) of all known outfalls each year beginning no later than two years from the initial date of permit coverage. Implement procedures to identify and remove illicit discharges. Keep records of inspections and follow-up activities.
e. Implement a spill response plan that includes coordination with a qualified spill responder.
f. No later than two years from initial date of permit coverage, provide staff training or coordinate with existing training efforts to educate staff on proper BMPs for preventing illicit discharges, including spills. Train all UW Bothell and CCC staff who, as part of their normal job responsibilities, have a role in preventing such illicit discharges.
To meet this requirements:
UW Bothell and CCC has a policy to meet or exceed all environmental laws. This policy is available online: https://green.uw.edu/inform/esc/policy-statement.
UW has developed and adopted policies that prohibit illicit discharges and illegal dumping. This policy is available online: http://www.washington.edu/admin/rules/policies/APS/11.03.html.
UW Bothell and CCCC has a storm system map showing all known storm drain outfalls, receiving waters and storm drainage areas.
UW Bothell and CCC inspects its stormwater outfall annually.
UW Bothell and CCC has a campus spill response plan and a current contract with a qualified spill responder.
All relevant staff persons are currently trained in hazardous waste management, including proper waste disposal and spill prevention. Chemical storage locations are audited by UW EH&S to help ensure that proper management procedures are in place.
From the date of Permit coverage, UW Bothell and CCC will:
a. Comply with all relevant ordinances, rules, and regulations of the local jurisdiction(s) in which UW Bothell and CCC is located that govern construction phase stormwater pollution prevention measures.
b. Ensure that all construction projects under the functional control of UW Bothell and CCC, which require a construction stormwater permit, obtain coverage under the NPDES General Permit for Stormwater Discharges Associated with Construction Activities, or an individual NPDES permit prior to discharging construction related stormwater.
c. Coordinate with the local jurisdiction regarding projects owned or operated by other entities which discharge into the UW Bothell and CCC municipal separate storm sewer system (MS4), to assist the local jurisdiction with achieving compliance with all relevant ordinances, rules, and regulations of the local jurisdiction(s).
d. Provide training or coordinate with existing training efforts to educate relevant staff in erosion and sediment control BMPs and requirements, or hire trained contractors to perform the work.
e. Coordinate as requested with Ecology or the local jurisdiction to provide access for inspection of construction sites or other land disturbances, which are under the functional control of UW Bothell and CCC during land disturbing activities and/or the construction period.
To meet the above requirements:
Contract specifications for UW Capital Projects must require compliance with City of Bothell stormwater requirements for construction activities. EH&S, Capital Projects and Facilities Services conduct design and site plan reviews to verify that best management practices are implemented to control erosion and sediment at the site.
For each project that requires a construction stormwater permit (disturbed area of greater than one acre), UW Bothell/Cascadia Community College will obtain a permit.
All temporary erosion control plans (TESC) submitted with building permits are subject to approval by City of Bothell.
Project contractors are required to have staff trained in erosion control if a TESC is required.
Inspection of all construction sites is allowed.
From the date of Permit coverage, UW Bothell and CCC will:
a. Comply with all relevant ordinances, rules, and regulations of the local jurisdiction(s) in which the Secondary Permittee is located (City of Bothell) that govern post-construction stormwater pollution prevention measures.
b. Coordinate with the local jurisdiction regarding projects owned or operated by other entities which discharge into the UW Bothell and CCC MS4, to assist the local jurisdiction with achieving compliance with all relevant ordinances, rules, and regulations of the local jurisdiction(s).
To meet these requirements:
Contract specifications for UW Capital Projects require compliance with City of Bothell’s stormwater requirements for post-construction activities.
EH&S and Facilities Services conduct design and site plan reviews to verify that best management practices are implemented to control erosion and sediment at the site. The UW already has other policy statements that guide sustainable building on campus.
The UW Capital Projects Office has over 25 Leadership in Energy and Environmental Design (LEED) accredited professionals on staff. Under new state law, state funded construction projects of a certain square footage must obtain LEED certification.
Building permits, including post-construction stormwater management, are submitted to the City of Bothell.
According to the Permit, UW Bothell/CCC will:
a. Implement a municipal operation and maintenance (O&M) plan to minimize stormwater pollution from activities conducted by UW Bothell and CCC. The O&M Plan will include appropriate pollution prevention and good housekeeping procedures for all of the following operations, activities, and/or types of facilities that are present within the Secondary Permittee’s boundaries and under the functional control of the Secondary Permittee.
i. Stormwater collection and conveyance systems, including catch basins, stormwater pipes, open channels, culverts, and stormwater treatment and flow control BMPs/facilities. The O&M Plan will address, at a minimum: scheduled inspections and maintenance activities, including cleaning and proper disposal of waste removed from the system. UW Bothell and CCC will properly maintain stormwater collection and conveyance systems owned or operated by UW Bothell and CCC and regularly inspect and maintain all stormwater facilities to ensure facility function. UW Bothell and CCC will establish maintenance standards that are as protective as or more protective of facility function than those specified in Chapter 4 Volume V of the 2012 Stormwater Management Manual for Western Washington. UW Bothell and CCC will review their maintenance standards to ensure they are consistent with the requirements of this section. UW Bothell and CCC will conduct spot checks of potentially damaged permanent stormwater treatment and flow control BMPs/facilities following major storm events (24 hour storm event with a 10-year or greater recurrence interval).
ii. Roads, highways, and parking lots. The O&M Plan will address, but is not limited to: deicing, anti-icing, and snow removal practices; snow disposal areas; material (e.g. salt, sand, or other chemical) storage areas; all-season BMPs to reduce road and parking lot debris and other pollutants from entering the MS4.
iii. Vehicle fleets. The O&M Plan will address, but is not limited to: storage, washing, and maintenance of Secondary Permittee vehicle fleets; and fueling facilities. UW Bothell and CCC will conduct all vehicle and equipment washing and maintenance in a self-contained covered building or in designated wash and/or maintenance areas.
iv. External building maintenance. The O&M Plan will address, building exterior cleaning and maintenance including cleaning, washing, painting; maintenance and management of dumpsters; other maintenance activities.
v. Parks and open space. The O&M Plan will address, but is not limited to: proper application of fertilizer, pesticides, and herbicides; sediment and erosion control; BMPs for landscape maintenance and vegetation disposal; and trash and pet waste management.
vi. Material storage facilities, and heavy equipment maintenance or storage yards. UW Bothell and CCC will develop and implement a Stormwater Pollution Prevention Plan to protect water quality at each of these facilities owned or operated by UW Bothell and CCC and not covered under the General NPDES Permit for Stormwater Discharges Associated with Industrial Activities or under another NPDES permit that authorizes stormwater discharges associated with the activity.
vii. Other facilities that would reasonably be expected to discharge contaminated runoff. The O&M Plan will address proper stormwater pollution prevention practices for each facility.
b. From the initial date of permit coverage, UW Bothell and CCC will also have permit coverage for all facilities operated by UW Bothell and CCC that are required to be covered under the General NPDES Permit for Stormwater Discharges Associated with Industrial Activities or another NPDES permit that authorizes discharges associated with the activity.
c. The O&M Plan will include sufficient documentation and records as necessary to demonstrate compliance with the O&M Plan requirements in S6.D.6.a.i. through vii above.
d. No later than three years from the initial date of permit coverage, UW Bothell and CCC will implement a program designed to train all employees whose primary construction, operations, or maintenance job functions may impact stormwater quality. The training will address:
i. The importance of protecting water quality.
ii. The requirements of this Permit.
iii. Operation and maintenance requirements.
iv. Inspection procedures.
v. Ways to perform their job activities to prevent or minimize impacts to water quality.
vi. Procedures for reporting water quality concerns, including potential illicit discharges (including spills).
To meet these requirements:
There is an O&M Plan for stormwater system maintenance, road and parking lot maintenance, vehicle fleet maintenance, external building maintenance, grounds maintenance, and material and equipment storage areas at Bothell/CCC. https://www.ehs.washington.edu/resource/operations-and-maintenance-plan-uw-bothell-and-cascadia-college-july-2017-493
UW Bothell and CCC have no industrial activities, so the requirement for General NPDES Permits for Stormwater Discharges Associated with Industrial Activities does not apply.
UW will keep documentation to demonstrate compliance with the O&M Plan.
EH&S has a Stormwater Protection BMP document for the purposes of training staff who are involved in the high risk activities listed above.