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ECAR Fact Sheet for Alabama
Stormwater

Regulations
Self-Audit Checklist
Best Management Practices
Contacts
Related ECAR Fact Sheets
Other Relevant Resources

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The following fact sheet was prepared by the ECAR Center staff. Once prepared, each ECAR Center fact sheet undergoes a review process with the applicable state environmental agency(ies). You can check on the status of the review process here. Please read the disclaimer on the status page. While we have tried to present a summary of the essential information on this topic, you should be aware that other items, such as local regulations, may apply to you.

What You Need to Know

Stormwater Resource Locator
All vehicle dismantling facilities in the United States (except those in a combined sewer service area or facilities that do not discharge stormwater from their property) are required by the Clean Water Act to obtain a stormwater permit either from the U.S. Environmental Protection Agency or from an appropriate state agency. You must first file a Notice of Intent (NOI) with the appropriate state agency. You must also prepare a Storm Water Pollution Prevention Plan (SWPPP) to describe how you will address your facility’s stormwater issues. For more information see: Federal EPA National Pollutant Elimination Discharge System (NPDES) Stormwater Regulations

For more information on permits, see: EPA's multi-sector general permit (MSGP)

Sector M: Auto Salvage Yards

For more information, see:
Stormwater managment – Alabama’s Guide for Auto Recycler Owners and Operators

Application for Permit to Discharge Stormwater Discharges Associated with Industrial Activity Notice of Intent Form

The Clean Water Act requires virtually every automotive salvage or recycling operator to obtain a stormwater permit. The exceptions to this rule are few, and they are explained further in the detailed information provided below. Therefore, if you own or operate a salvage or recycling operation and you do not currently have a stormwater permit, you most likely are out of compliance. The purpose of this fact sheet is to help you either to get into compliance or to assist you to develop a more efficient and effective compliance strategy.

Rain or snow falling on your property can pick up contaminants as it runs off, and can carry the contaminants through drainage systems directly into streams, rivers, and lakes. The term "stormwater" refers to this type of runoff.

In 1987, Congress mandated that "industrial" sites obtain stormwater permits. In 1990, EPA defined "industrial" to include, among many other types of sites, "salvage yards and automotive [recyclers]." [Title 40 CFR 122.26(b)(14)(vi)]. These mandates apply across the country, regardless of your state. Congress and EPA took this action because stormwater that comes in contact with metals, oil and grease, used batteries and tires, and other materials common at automotive recycling facilities may cause localized pollution that can affect the local community's ability to swim and fish in lakes, rivers, and streams.

For example, the mercury that still may be found in old automotive switches or even some new parts is toxic to humans and to the fish they may catch and eat. By obtaining a stormwater permit, and more importantly, by taking some common sense actions under the permit to prevent stormwater contamination, you can provide your community with environmental benefits to compliment the value of recycling end-of-life vehicles.

Although Congress and EPA created the national rules that provide the basic framework for stormwater regulations, the rules are implemented by the individual state environmental agencies. EPA may help certain states develop programs and it provides guidance to all states, but for the most part, you obtain a stormwater permit from your state environmental agency. Information about your state permit, compliance requirements, contact information, and other helpful hints are provided in the following pages of this site. The most important part of the compliance program is developing a stormwater pollution prevention plan, and this site will help you to develop such a plan. The key for you is to make sure that you implement the plan and adhere to your legal obligations.

 


Regulations

How to Get Permit Coverage. Start by downloading and carefully reading the Notice of Intent (NOI) form and General Permit (ALG180000) found above in the sidebar text.

To apply for coverage under the general permit, you must:

1. Complete and submit an originally signed notice of intent (NOI) form along with an initial permit fee.

Alabama Department of Environmental Management
Permits and Services Division
P.O. Box 301463
Montgomery, Alabama 36130-1463

How to Comply with the Permit Requirements. To maintain coverage under the general permit, you must comply with all the terms of the permit (see parts 1 through 4 of Permit ALG180000). Below is a summary of key requirements.

  1. Your facility must develop and implement a Best Management Practices plan (BMP) by the date that your authorization to discharge under the general permit begins. The requirements of the plan are described in Part IV of the permit. The BMP must be retained on-site and made available to the authorities upon request.
  2. Update the BMP as necessary whenever there is a change in your operations that has a significant affect on stormwater. If the Alabama Department of Environmental Management (ADEM) reviews your plan and requests that changes be made, you must make those changes within 30 days of the notification and must certify to the Department that the correction has been made and implemented.
  3. A minimum of two inspections per week of any structures that function to prevent stormwater pollution and of the facility in general must be performed in order to ensure for the effectiveness of the BMP.
  4. Your facility is subject to the monitoring requirements that are given in the general permit. Discharge limitations, sample frequency, and sample types are described in the "limit tables" as well. The monitoring is required to be performed weekly, monthly, quarterly, or annually, depending on the parameter being monitored.
  5. A log of the weekly inspections and any required monitoring must be maintained at the facility and be made available for inspection by the Department. The information that is required is listed in the general permit. All logs and records must be kept for at least three years.
  6. Your facility is required to submit an annual petroleum certification by January 28th that all discharges associated with the BMP practices were in accordance with the conditions of the permit.

Your SWPPP must include a description of potential sources of stormwater pollution and measures and controls, including best management practices (BMPs) that will be implemented at your facility to prevent or minimize stormwater contamination. When developing the BMP you must consider the use of certain BMPs that EPA and ADEM consider applicable to specific areas such as vehicle dismantling/storage areas and fluids storage areas. For more specific information on developing a Pollution Prevention Plan, visit the ECAR SWPPP fact sheet.


Self-Audit Checklist

When an inspector comes to your facility, there are certain things he or she checks to see if you are in compliance with environmental regulations. It makes good sense for you to perform a "self-audit" and catch and correct problems before they result in penalties. Also, there are some compliance incentives associated with self-audits (see Audit Policy Page).

Use the following list to audit your stormwater permit.

  1. Does your facility have a stormwater permit? Verify that your facility has a current stormwater permit issued by ADEM.
  2. Has your facility developed and implemented a stormwater pollution prevention plan? Verify that a SWPPP has been prepared and is available on-site for inspection. Review the plan and verify that BMPs have been implemented.
  3. Has your facility conducted stormwater sampling and visual inspections? Review your records to verify that sampling and quarterly inspections have been performed.
  4. Has your facility maintained monitoring results and records? Verify that all monitoring and inspection records are maintained for at least three years.

Best Management Practices (BMPs)

The following is a list of BMPs for auto salvage facilities identified by EPA when the stormwater regulations were published:

Dismantling and vehicle maintenance:

  • Drain all fluids from vehicles upon arrival at the site. Segregate the fluids and properly store or dispose of them.
  • Maintain an organized inventory of materials used in the maintenance shop.
  • Keep waste streams separate (i.e. waste oil and solvents). Non-hazardous substances that are contaminated with hazardous substances are considered a hazardous waste.
  • Recycle antifreeze, gasoline, used oil, mineral spirits and solvents.
  • Dispose of greasy rags, oil filters, air filters, batteries, spent coolants and degreasers properly.
  • Label and track the recycling of waste material.
  • Drain oil filters before disposal or recycling.
  • Store cracked batteries in a nonleaking secondary container.
  • Promptly transfer used fluids to the proper container.
  • Do not pour liquid waste down floor drains, sinks or outdoor storm drains.
  • Plug floor drains that are connected to the storm or sanitary sewer. If necessary, install a sump that is pumped regularly.
  • Inspect the maintenance area regularly for proper implementation of control measures.
  • Filter stormwater discharges with devices such as oil-water separators.
  • Train employees on proper waste control and disposal procedures.

Outdoor vehicle, equipment and parts storage:

  • Use drip pans under all vehicles and equipment waiting for maintenance and during maintenance.
  • Store batteries on impervious surfaces. Curb, dike or berm this area.
  • Confine storage of parts, equipment and vehicles to designated areas.
  • Cover all storage areas with permanent cover (roof) or temporary cover (canvas tarps).
  • Inspect the storage yard for drip pans and other problems regularly.

Vehicle, equipment and parts washing areas:

  • Avoid washing parts or equipment outside.
  • Use phosphate-free biodegradable detergents.
  • Consider using detergent-based or water-based cleaning systems in place of organic solvent degreasers.
  • Designate an area for cleaning activities.
  • Contain steam cleaning washwaters or discharge under an applicable NPDES permit.
  • Ensure that washwaters that are discharged are covered under a permit.
  • Inspect cleaning area regularly.
  • Install curbing, berms or dikes around cleaning areas.

Liquid storage in above ground containers:

  • Maintain good integrity of all storage containers.
  • Install safeguards (such as berms) against accidental releases in the storage area.
  • Inspect storage tanks to detect potential leaks. Perform preventative maintenance.
  • Inspect piping systems for failures or leaks.
  • Train employees on proper filling and transfer procedures.

Improper connection with storm sewers:

  • Plug all floor drains if it is unknown whether the connection is to storm sewer or sanitary sewer. Alternatively, install a sump that is pumped regularly.
  • Update facility schematics to accurately reflect all plumbing connections.
  • Install a safeguard against vehicle washwaters and parts cleaning water entering the storm sewer unless permitted.
  • Maintain and inspect the integrity of all underground storage tanks; replace when necessary. Contact Blake Roper with ADEM's UST Compliance Unit/Groundwater Branch for more information at 334-271-7759.

Contacts

  1. For ADEM's Stormwater Industrial section, contact 334-270-5669.
  2. For permit information, contact 334-271-7808.
  3. For questions regarding hazardous waste issues, contact 334-271-7735.

Related ECAR Fact Sheets

  1. SWPPP

Other Relevant Resources

  1. EnvCAP's Industrial Stormwater Resource Locator
  2. PNEAC Offers Industrial Stormwater Permit Guide


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