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MANDATORY COMPLIANCE
YOU HAVE TO COMPLY The 1972 amendments to the Clean Water Act (CWA), prohibit the discharge of any pollutant into navigable waters of the United States from a point source unless the discharge is authorized by a National Pollutant Discharge Elimination Systems (NPDES) permit. It was first thought that pollution primarily came from industrial activities but over time it became evident that storm water runoff from construction sites was also a significant contributor to water quality problems. Construction sites generally can contribute 10 to 20 times more sediment than agricultural lands and 1,000 to 2,000 more times than forestlands. During a short period of time, construction sites can contribute more sediment than can be deposited over several decades, causing physical and biological harm to our Nation’s waters. Phase I of the NPDES storm water program addresses runoff from construction sites disturbing 5 acres or more of land. On March 10, 2003, Phase II went into effect, requiring construction sites disturbing 1 or more acres of land to now adhere to the NPDES permit. Both Phase I and II or the NPDES storm water program require that construction sites implement Storm Water Pollution Prevention Plans (SWPPP) addressing appropriate Best Management Practices (BMP’s) to minimize discharge of pollutants from the site. One such BMP is the utilization of a concrete washout containment area to control all concrete waste materials generated, including the washwater, BEST MANAGEMENT PRACTICES (BMP’S) California has emerged as a leader in being proactive in its education and enforcement of BMP’s. LIQUID WASTE MANAGEMENT WM-10
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