31B-192 91 King Street-St Elizabeth-stormwater checklist
St. Elizabeth Ann Seton Parish Expansion Stormwater Report Checklist • Page 1 of 8 Massachusetts Department of Environmental Protection Bureau of Resource Protection -Wetlands Program
Checklist for Stormwater Report A. Introduction Important: When filling out forms on the computer, use only the tab key to move your cursor -do not use the return key. A Stormwater Report
must be submitted with the Notice of Intent permit application to document compliance with the Stormwater Management Standards. The following checklist is NOT a substitute for the Stormwater
Report (which should provide more substantive and detailed information) but is offered here as a tool to help the applicant organize their Stormwater Management documentation for their
Report and for the reviewer to assess this information in a consistent format. As noted in the Checklist, the Stormwater Report must contain the engineering computations and supporting
information set forth in Volume 3 of the Massachusetts Stormwater Handbook. The Stormwater Report must be prepared and certified by a Registered Professional Engineer (RPE) licensed
in the Commonwealth. The Stormwater Report must include: • The Stormwater Checklist completed and stamped by a Registered Professional Engineer (see page 2) that certifies that the Stormwater
Report contains all required submittals.1 This Checklist is to be used as the cover for the completed Stormwater Report. • Applicant/Project Name • Project Address • Name of Firm and
Registered Professional Engineer that prepared the Report • Long-Term Pollution Prevention Plan required by Standards 4-6 • Construction Period Pollution Prevention and Erosion and Sedimentation
Control Plan required by Standard 82 • Operation and Maintenance Plan required by Standard 9 In addition to all plans and supporting information, the Stormwater Report must include a
brief narrative describing stormwater management practices, including environmentally sensitive site design and LID techniques, along with a diagram depicting runoff through the the
proposed BMP treatment train. Plans are required to show existing and proposed conditions, identify all wetland resource areas, NRCS soil types, critical areas, Land Uses with Higher
Potential Pollutant Loads (LUHPPL), and any areas on the site where infiltration rate is greater than 2.4 inches per hour. The Plans shall identify the drainage areas for both existing
and proposed conditions at a scale that enables verification of supporting calculations. As noted in the Checklist, the Stormwater Management Report shall document compliance with each
of the Stormwater Management Standards as provided in the Massachusetts Stormwater Handbook. The soils evaluation and calculations shall be done using the methodologies set forth in
Volume 3 of the Massachusetts Stormwater Handbook. To ensure that the Stormwater Report is complete, applicants are required to fill in the Stormwater Report Checklist by checking the
box to indicate that the specified information has been included in the Stormwater Report. If any of the information specified in the checklist has not been submitted, the applicant
must provide an explanation. The completed Stormwater Report Checklist and Certification must be submitted with the Stormwater Report. 1 The Stormwater Report may also include the Illicit
Discharge Compliance Statement required by Standard 10. If not included in the Stormwater Report, the Illicit Discharge Compliance Statement must be submitted prior to the discharge
of stormwater runoff to the post-construction best management practices. 2 For some complex projects, it may not be possible to include the Construction Period Erosion and Sedimentation
Control Plan in the Stormwater Report. In that event, the issuing authority has the discretion to issue an Order of Conditions that approves the project and includes a condition requiring
the proponent to submit the Construction Period Erosion and Sedimentation Control Plan before commencing any land disturbance activity on the site.
St. Elizabeth Ann Seton Parish Expansion Stormwater Report Checklist • Page 2 of 8 Massachusetts Department of Environmental Protection Bureau of Resource Protection -Wetlands Program
Checklist for Stormwater Report B. Stormwater Checklist and Certification The following checklist is intended to serve as a guide for applicants as to the elements that ordinarily need
to be addressed in a complete Stormwater Report. The checklist is also intended to provide conservation commissions and other reviewing authorities with a summary of the components necessary
for a comprehensive Stormwater Report that addresses the ten Stormwater Standards. Note: Because stormwater requirements vary from project to project, it is possible that a complete
Stormwater Report may not include information on some of the subjects specified in the Checklist. If it is determined that a specific item does not apply to the project under review,
please note that the item is not applicable (N.A.) and provide the reasons for that determination. A complete checklist must include the Certification set forth below signed by the Registered
Professional Engineer who prepared the Stormwater Report. Registered Professional Engineer’s Certification I have reviewed the Stormwater Report, including the soil evaluation, computations,
Long-term Pollution Prevention Plan, the Construction Period Erosion and Sedimentation Control Plan (if included), the Longterm Post-Construction Operation and Maintenance Plan, the
Illicit Discharge Compliance Statement (if included) and the plans showing the stormwater management system, and have determined that they have been prepared in accordance with the requirements
of the Stormwater Management Standards as further elaborated by the Massachusetts Stormwater Handbook. I have also determined that the information presented in the Stormwater Checklist
is accurate and that the information presented in the Stormwater Report accurately reflects conditions at the site as of the date of this permit application. Registered Professional
Engineer Block and Signature Signature and Date Checklist Project Type: Is the application for new development, redevelopment, or a mix of new and redevelopment? New development Redevelopment
Mix of New Development and Redevelopment
St. Elizabeth Ann Seton Parish Expansion Stormwater Report Checklist • Page 3 of 8 Massachusetts Department of Environmental Protection Bureau of Resource Protection -Wetlands Program
Checklist for Stormwater Report Checklist (continued) LID Measures: Stormwater Standards require LID measures to be considered. Document what environmentally sensitive design and LID
Techniques were considered during the planning and design of the project: No disturbance to any Wetland Resource Areas Site Design Practices (e.g. clustered development, reduced frontage
setbacks) Reduced Impervious Area (Redevelopment Only) Minimizing disturbance to existing trees and shrubs LID Site Design Credit Requested: Credit 1 Credit 2 Credit 3 Use of “country
drainage” versus curb and gutter conveyance and pipe Bioretention Cells (includes Rain Gardens) Constructed Stormwater Wetlands (includes Gravel Wetlands designs) Treebox Filter Water
Quality Swale Grass Channel Green Roof Other (describe): Vegetated filter strips Standard 1: No New Untreated Discharges No new untreated discharges Outlets have been designed so there
is no erosion or scour to wetlands and waters of the Commonwealth Supporting calculations specified in Volume 3 of the Massachusetts Stormwater Handbook included.
St. Elizabeth Ann Seton Parish Expansion Stormwater Report Checklist • Page 4 of 8 Massachusetts Department of Environmental Protection Bureau of Resource Protection -Wetlands Program
Checklist for Stormwater Report Checklist (continued) Standard 2: Peak Rate Attenuation Standard 2 waiver requested because the project is located in land subject to coastal storm flowage
and stormwater discharge is to a wetland subject to coastal flooding. Evaluation provided to determine whether off-site flooding increases during the 100-year 24-hour storm. Calculations
provided to show that post-development peak discharge rates do not exceed predevelopment rates for the 2-year and 10-year 24-hour storms. If evaluation shows that off-site flooding increases
during the 100-year 24-hour storm, calculations are also provided to show that post-development peak discharge rates do not exceed pre-development rates for the 100-year 24-hour storm.
Standard 3: Recharge Soil Analysis provided. Required Recharge Volume calculation provided. Required Recharge volume reduced through use of the LID site Design Credits. Sizing the infiltration,
BMPs is based on the following method: Check the method used. Static Simple Dynamic Dynamic Field1 Runoff from all impervious areas at the site discharging to the infiltration BMP. Runoff
from all impervious areas at the site is not discharging to the infiltration BMP and calculations are provided showing that the drainage area contributing runoff to the infiltration
BMPs is sufficient to generate the required recharge volume. Recharge BMPs have been sized to infiltrate the Required Recharge Volume Recharge BMPs have been sized to infiltrate the
Required Recharge Volume only to the maximum extent practicable for the following reason: Site is comprised solely of C and D soils and/or bedrock at the land surface M.G.L. c. 21E sites
pursuant to 310 CMR 40.0000 Solid Waste Landfill pursuant to 310 CMR 19.000 Project is otherwise subject to Stormwater Management Standards only to the maximum extent practicable. Calculations
showing that the infiltration BMPs will drain in 72 hours are provided. Property includes a M.G.L. c. 21E site or a solid waste landfill and a mounding analysis is included. 1 80% TSS
removal is required prior to discharge to infiltration BMP if Dynamic Field method is used.
St. Elizabeth Ann Seton Parish Expansion Stormwater Report Checklist • Page 5 of 8 Massachusetts Department of Environmental Protection Bureau of Resource Protection -Wetlands Program
Checklist for Stormwater Report Checklist (continued) Standard 3: Recharge (continued) The infiltration BMP is used to attenuate peak flows during storms greater than or equal to the
10-year 24-hour storm and separation to seasonal high groundwater is less than 4 feet and a mounding analysis is provided. Documentation is provided showing that infiltration BMPs do
not adversely impact nearby wetland resource areas. Standard 4: Water Quality The Long-Term Pollution Prevention Plan typically includes the following: • Good housekeeping practices;
• Provisions for storing materials and waste products inside or under cover; • Vehicle washing controls; • Requirements for routine inspections and maintenance of stormwater BMPs; •
Spill prevention and response plans; • Provisions for maintenance of lawns, gardens, and other landscaped areas; • Requirements for storage and use of fertilizers, herbicides, and pesticides;
• Pet waste management provisions; • Provisions for operation and management of septic systems; • Provisions for solid waste management; • Snow disposal and plowing plans relative to
Wetland Resource Areas; • Winter Road Salt and/or Sand Use and Storage restrictions; • Street sweeping schedules; • Provisions for prevention of illicit discharges to the stormwater
management system; • Documentation that Stormwater BMPs are designed to provide for shutdown and containment in the event of a spill or discharges to or near critical areas or from LUHPPL;
• Training for staff or personnel involved with implementing Long-Term Pollution Prevention Plan; • List of Emergency contacts for implementing Long-Term Pollution Prevention Plan. A
Long-Term Pollution Prevention Plan is attached to Stormwater Report and is included as an attachment to the Wetlands Notice of Intent. Treatment BMPs subject to the 44% TSS removal
pretreatment requirement and the one inch rule for calculating the water quality volume are included, and discharge: is within the Zone II or Interim Wellhead Protection Area is near
or to other critical areas is within soils with a rapid infiltration rate (greater than 2.4 inches per hour) involves runoff from land uses with higher potential pollutant loads. The
Required Water Quality Volume is reduced through use of the LID site Design Credits. Calculations documenting that the treatment train meets the 80% TSS removal requirement and, if applicable,
the 44% TSS removal pretreatment requirement, are provided.
St. Elizabeth Ann Seton Parish Expansion Stormwater Report Checklist • Page 6 of 8 Massachusetts Department of Environmental Protection Bureau of Resource Protection -Wetlands Program
Checklist for Stormwater Report Checklist (continued) Standard 4: Water Quality (continued) The BMP is sized (and calculations provided) based on: The ½” or 1” Water Quality Volume or
The equivalent flow rate associated with the Water Quality Volume and documentation is provided showing that the BMP treats the required water quality volume. The applicant proposes
to use proprietary BMPs, and documentation supporting use of proprietary BMP and proposed TSS removal rate is provided. This documentation may be in the form of the propriety BMP checklist
found in Volume 2, Chapter 4 of the Massachusetts Stormwater Handbook and submitting copies of the TARP Report, STEP Report, and/or other third party studies verifying performance of
the proprietary BMPs. A TMDL exists that indicates a need to reduce pollutants other than TSS and documentation showing that the BMPs selected are consistent with the TMDL is provided.
Standard 5: Land Uses With Higher Potential Pollutant Loads (LUHPPLs) Not Applicable – Proposed project site is not expected to yield high potential pollutant loads. The NPDES Multi-Sector
General Permit covers the land use and the Stormwater Pollution Prevention Plan (SWPPP) has been included with the Stormwater Report. The NPDES Multi-Sector General Permit covers the
land use and the SWPPP will be submitted prior to the discharge of stormwater to the post-construction stormwater BMPs. The NPDES Multi-Sector General Permit does not cover the land
use. LUHPPLs are located at the site and industry specific source control and pollution prevention measures have been proposed to reduce or eliminate the exposure of LUHPPLs to rain,
snow, snow melt and runoff, and been included in the long term Pollution Prevention Plan. All exposure has been eliminated. All exposure has not been eliminated and all BMPs selected
are on MassDEP LUHPPL list. The LUHPPL has the potential to generate runoff with moderate to higher concentrations of oil and grease (e.g. all parking lots with >1000 vehicle trips per
day) and the treatment train includes an oil grit separator, a filtering bioretention area, a sand filter or equivalent. Standard 6: Critical Areas Not Applicable – The project site
does not discharge to a critical area. The discharge is near or to a critical area and the treatment train includes only BMPs that MassDEP has approved for stormwater discharges to or
near that particular class of critical area. Critical areas and BMPs are identified in the Stormwater Report.
St. Elizabeth Ann Seton Parish Expansion Stormwater Report Checklist • Page 7 of 8 Massachusetts Department of Environmental Protection Bureau of Resource Protection -Wetlands Program
Checklist for Stormwater Report Checklist (continued) Standard 7: Redevelopments and Other Projects Subject to the Standards only to the maximum extent practicable The project is subject
to the Stormwater Management Standards only to the maximum Extent Practicable as a: Limited Project Small Residential Projects: 5-9 single family houses or 5-9 units in a multi-family
development provided there is no discharge that may potentially affect a critical area. Small Residential Projects: 2-4 single family houses or 2-4 units in a multi-family development
with a discharge to a critical area Marina and/or boatyard provided the hull painting, service and maintenance areas are protected from exposure to rain, snow, snow melt and runoff Bike
Path and/or Foot Path Redevelopment Project Redevelopment portion of mix of new and redevelopment. Certain standards are not fully met (Standard No. 1, 8, 9, and 10 must always be fully
met) and an explanation of why these standards are not met is contained in the Stormwater Report. The project involves redevelopment and a description of all measures that have been
taken to improve existing conditions is provided in the Stormwater Report. The redevelopment checklist found in Volume 2 Chapter 3 of the Massachusetts Stormwater Handbook may be used
to document that the proposed stormwater management system (a) complies with Standards 2, 3 and the pretreatment and structural BMP requirements of Standards 4-6 to the maximum extent
practicable and (b) improves existing conditions. Standard 8: Construction Period Pollution Prevention and Erosion and Sedimentation Control A Construction Period Pollution Prevention
and Erosion and Sedimentation Control Plan must include the following information: • Narrative; • Construction Period Operation and Maintenance Plan; • Names of Persons or Entity Responsible
for Plan Compliance; • Construction Period Pollution Prevention Measures; • Erosion and Sedimentation Control Plan Drawings; • Detail drawings and specifications for erosion control
BMPs, including sizing calculations; • Vegetation Planning; • Site Development Plan; • Construction Sequencing Plan; • Sequencing of Erosion and Sedimentation Controls; • Operation and
Maintenance of Erosion and Sedimentation Controls; • Inspection Schedule; • Maintenance Schedule; • Inspection and Maintenance Log Form. A Construction Period Pollution Prevention and
Erosion and Sedimentation Control Plan containing the information set forth above has been included in the Stormwater Report.
St. Elizabeth Ann Seton Parish Expansion Stormwater Report Checklist • Page 8 of 8 Massachusetts Department of Environmental Protection Bureau of Resource Protection -Wetlands Program
Checklist for Stormwater Report Checklist (continued) Standard 8: Construction Period Pollution Prevention and Erosion and Sedimentation Control (continued) The project is highly complex
and information is included in the Stormwater Report that explains why it is not possible to submit the Construction Period Pollution Prevention and Erosion and Sedimentation Control
Plan with the application. A Construction Period Pollution Prevention and Erosion and Sedimentation Control has not been included in the Stormwater Report but will be submitted before
land disturbance begins. The project is not covered by a NPDES Construction General Permit. The project is covered by a NPDES Construction General Permit and a copy of the SWPPP is in
the Stormwater Report. The project is covered by a NPDES Construction General Permit but no SWPPP been submitted. The SWPPP will be submitted BEFORE land disturbance begins. Standard
9: Operation and Maintenance Plan The Post Construction Operation and Maintenance Plan is included in the Stormwater Report and includes the following information: Name of the stormwater
management system owners; Party responsible for operation and maintenance; Schedule for implementation of routine and non-routine maintenance tasks; Plan showing the location of all
stormwater BMPs maintenance access areas; Description and delineation of public safety features; Estimated operation and maintenance budget; and Operation and Maintenance Log Form. The
responsible party is not the owner of the parcel where the BMP is located and the Stormwater Report includes the following submissions: A copy of the legal instrument (deed, homeowner’s
association, utility trust or other legal entity) that establishes the terms of and legal responsibility for the operation and maintenance of the project site stormwater BMPs; A plan
and easement deed deed that allows site access for the legal entity to operate and maintain BMP functions. Standard 10: Prohibition of Illicit Discharges The Long-Term Pollution Prevention
Plan includes measures to prevent illicit discharges; An Illicit Discharge Compliance Statement is attached; NO Illicit Discharge Compliance Statement is attached but will be submitted
prior to the discharge of any stormwater to post-construction BMPs.