ECAR
Fact Sheet for
Indiana Regulations BACK to VIRTUAL TOUR 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
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.
Since 1990, federal EPA regulations require automotive recyclers to obtain coverage under an industrial stormwater permit to prevent stormwater pollution. In Indiana, the stormwater program is administered by the Indiana Department of Environmental Management's (IDEM) Office of Water Quality. The automobile recycling/dismantling/salvage industry is covered under the National Pollutant Discharge Elimination System (NPDES) industrial general permit. All auto salvage facilities are regulated under IDEM's Stormwater General Permit Rule 6 requirements. Under Rule 6, a facility representative must submit a completed Rule 6 Notice of Intent (NOI) letter form to the following address:
The NOI letter form, which includes the proof of publication and $50 filing fee check or money order, must be submitted within 90 days after receipt of a written notice from IDEM (for facilities already permitted under Rule 6), or at least 90 days prior to starting industrial operations (for newly constructed facilities). After the NOI letter form is submitted, a facility representative must submit a Storm Water Pollution Prevention Plan Checklist form within 365 days from the submission date of a timely-submitted NOI letter form. This checklist submittal certifies that the facility has completed and implemented a Storm Water Pollution Prevention Plan (SWP3) that is consistent with the requirements of 327 IAC 15-6-7. There is additional information from EPA and other sources regarding SWP3 development guidance and SWP3 examples. In addition to developing and implementing a SWP3, a facility representative must collect sampling data from the facility’s representative storm water outfalls (those identified in the NOI letter form). The sampling requirements have changed under the revised version of Rule 6. Under the old rule, facility representatives were required to collect composite and grab storm water samples from three qualified rainfall events (one in the first year of permit coverage and two in the second year), and submit the data to IDEM. After the second year of permit coverage, only the results of visual outfall inspections, twice per year, were required to be submitted. Under revised Rule 6, facility representatives are required to collect grab (no composite) storm water samples from qualified rainfall events each year of the permit, and no visual outfall inspection information is submitted. The listing of required sampling parameters now includes “any pollutant that has the potential to be present in a storm water discharge.” Exceptions. Under the conditional no exposure exclusion, operators of industrial facilities in any of the 11 categories of "storm water discharges associated with industrial activity," (except construction activities, which are addressed under the construction component of the NPDES Storm Water Program) have the opportunity to certify to a condition of "no exposure" if their industrial materials and operations are not exposed to storm water. As long as the condition of "no exposure" exists at a certified facility, the operator is excluded from NPDES industrial storm water permit requirements. Links to the Regulations and Forms. Use the following links to view the regulations pertaining to stormwater management. Federal EPA National Pollutant Elimination Discharge System (NPDES) Stormwater Regulations Stormwater Pollution Prevention Plan 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.
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:
Outdoor vehicle, equipment and parts storage:
Vehicle, equipment and parts washing areas:
Liquid storage in above ground containers:
Improper connection with storm sewers:
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