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Agenda - Environmental Policy Board - 08/04/2014
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Agenda - Environmental Policy Board - 08/04/2014
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Meetings
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Agenda
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Environmental Policy Board
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08/04/2014
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Environmental Policy Board (EPB) <br />Meeting Date: 08/04/2014 <br />Submitted For: Len Linton, Engineering /Public Works <br />By: Len Linton, Engineering /Public Works <br />Information <br />5. 1. <br />Title: <br />Consider Ordinance #14-09 for Amendments to City Code Chapter 117, Article II, Division 6 (Performance <br />Standards), Subdivision II (Stormwater Pollution Control) <br />Purpose /Background: <br />Purpose: <br />The purpose of this case is to review a future a public hearing with the Planning Commission for revision of the <br />Stormwater Pollution Control Ordinance. The proposed modifications account for new stormwater management <br />requirements recently adopted by the Lower Rum River Watershed Management Organization including the <br />incorporation of Atlas 14 precipitation data and stormwater infiltration requirement revisions. The proposed <br />modifications also address revisions to code required by the Minnesota Pollution Control Agency in the General <br />Construction Stormwater permit reissued in 2013 and the Municipal Separate Small Stormsewer System (MS4) <br />permit, also reissued in 2013. <br />Background: <br />The City of Ramsey and the Lower Rum River Watershed Management Organization (LRRWMO) previously <br />applied precipitation data values from Technical Paper 40 (1961) and Hydro -35 (1977) to design and model <br />stormwater infrastructure including such things as drainage ditches, ponds, and storm sewers. However, in recent <br />years it was observed that this data was no longer representative of the actual precipitation being experienced in <br />Minnesota and other states. Therefore, the National Oceanic and Atmospheric Administration (NOAA) worked <br />with the Federal Highway Administration (FHWA) and 10 pooled fund states in the Midwest to develop updated <br />rainfall data called Atlas 14, Volume 8, which was recently adopted by the LRRWMO for its precipitation <br />standard. As such, the City of Ramsey must also adopt the Atlas 14 precipitation data for our drainage design <br />standards located in the City's stormwater management permits, plans, and ordinances. <br />In summary, the precipitation data developed through Atlas 14 incorporates a much greater sampling size generated <br />over a 50 year period. While precipitation data from Atlas 14 is greater in some areas, it is also less in others. In one <br />example, the precipitation amount referenced in TP -40 for the 24 hour, 100 year event in Ramsey is about 6 inches, <br />while the 24 hour, 100 year event generates roughly 7 inches of precipitation in Ramsey according to Atlas 14. <br />Additional information on Atlas 14 is available at NOAA's web site at http: //hdsc.nws.noaa.gov/hdsc /pfds /. <br />Regarding the proposed infiltration language modifications, the current language in the City of Ramsey's <br />stormwater management permits, plans, and ordinances discourages infiltration within all Drinking Water Supply <br />Management Areas (DWSMA). Staff proposes to modify that language to discourage infiltration only within <br />delineated 10 year capture zones. Attached is an exhibit that shows the existing DWSMA boundary in the area of <br />The COR and all associated 10 year capture zone boundaries surrounding public water supply wells. The exhibit <br />also identifies the locations of ponds, both lined and unlined, infiltration raingardens, underground infiltration <br />practices, and wetlands. As can be seen, numerous infiltration practices exist within 10 year capture zones <br />including an unlined pond, 2 underground infiltration basins, and 2 raingardens. These will need to be addressed in <br />the future. However, as can also be seen there are numerous other infiltration practices that exist in areas outside the <br />10 year capture zones but inside the DWSMA boundary that currently violate our ordinances and SWMP but would <br />be allowed under the proposed language modifications. <br />It is important to note that DWSMA boundaries are subjective and are created by drawing lines along geographical <br />
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