of Environmental Protection. PDF Clean Water Permitting Program - PA.Gov See Table 1-2 of EPAs Pesticide General Permit (PGP), Notice of Intent (NOI) Submittal Deadlines and Discharge Authorization Dated for Discharges from the Application of Pesticides. See Part 1.2.2 of the permit and Part III, 1.2.2 of the accompanying fact sheet. Requirements include submission of a Notice of Intent and Minor Monitoring/Reporting to ensure discharged water meets Nebraska's Water Quality Standards. 601. NPDES permits are often a requirement for facilities that have the potential to discharge pollutants into water bodies. EPA, in its pesticide general permit (PGP), defines Operator as any entity associated with the application of pesticides which results in a discharge to waters of the United States that meets either of the following two criteria: (1) any entity who performs the application of a pesticide or who has day-to-day control of the application (i.e., they are authorized to direct workers to carry out those activities), or (2) any entity with control over the decision to perform pesticide applications including the ability to modify those decisions. The NPDES regulations define person as an individual, association, partnership, corporation, municipality, state or federal agency, or an agent or employee thereof. This may include entities such as municipalities responsible for pest control, pest control districts, farmers, for-hire pesticide applicators, etc. A Decision-maker must use the PMAs identified on their NOI when completing the annual reports. PDF Environmental Assessment - Rural Development For activities covered under EPAs Pesticide General Permit (PGP), an annual report is due by February 15th of the following calendar year. This permit is called a National Pollutant Discharge Elimination System (NPDES) permit. This includes discharges currently covered under a different NPDES permit as well as discharges from activities where the associated NPDES permit has been or is in the process of being denied, terminated, or revoked by EPA (although this latter provision does not apply to the routine reissuance of permits every five years). National Pollutant Discharge Elimination System (NPDES) An industrial stormwater permit is an NPDES (National Pollutant Discharge Elimination System) permit that allows an industrial facility (and sometimes commercial operations) to discharge stormwater from its property. EPA may, through consultation with FWS, determine that additional permit conditions are necessary and will follow the appropriate measures necessary to achieve this. [5] Parameters that are to be . General How do NPDES permits protect water? Although permit coverage is required, EPAs Pesticide General Permit (PGP) allows Operators to be covered for declared pest emergency situations, without delay, by: delaying the submission of the Notice of Intent (NOI) for those Decision-makers otherwise required to submit an NOI (see Table 1-2 and Table 1-3 of the PGP), and. Any updated Applicator information is to be provided to EPA in the annual report, not in an updated Notice of Intent (NOI). EPA identified four pesticide use patterns that generally include the full range of pesticide application activities that meet this condition, including mosquitoes and other flying insect pests, weeds and algae, animal pests, and forest canopy pests. A principal executive officer of a federal agency includes (i) the chief executive officer of the agency, or (ii) a senior executive officer having responsibility for the overall operations of a principal geographic unit or the agency (e.g., Regional Administrator of EPA). No. As described elsewhere, even when more than one Operator is responsible for a given discharge, EPAs PGP never requires more than one Operator to submit a Notice of Intent (NOI) to be covered under the permit. The monitoring requirements in EPAs Pesticide General Permit (PGP) provides flexibility for Applicators to respond to the wide range of environments, situations, and targets to which pesticides may be applied. Construction General Permit Flow Chart: "Do I Need a Permit?" You can use the "Do I Need A Permit?" flow chart to help determine if and from whom you need to get NPDES permit coverage for your construction activities. No. In its ruling, the Sixth Circuit determined that (1) biological pesticides and (2) chemical pesticides that leave a residue are pollutants as defined under the CWA and as such are subject to regulations applicable to pollutants. Initiated by the Clean Water Act in 1972, the NPDES permit program controls the discharge of pollutants into surface waters by imposing effluent limitations to protect water quality. Introduction This document is intended to provide a guide in determining whether your business requires a water pollution control permit from the Bureau of Water. As written, EPA assumes that pesticide applications performed consistent with the PGP will generally be adequate to protect water quality. The specific requirements for such a Petition can be found in 315 IAC 1-3-2 and 315 IAC 1-3-2.1. Such deadlines are listed in Table 1-2 of EPAs Pesticide General Permit (PGP). Secure .gov websites use HTTPS You must complete all five modules and pass the final exam to be considered a Qualified Person to conduct inspections under Part 4 of the 2022 Construction General Permit (CGP). Furthermore, obtaining coverage under a general permit is typically quicker than an individual permit with coverage under a general permit often occurring immediately (depending on how the permit is written) or after a short waiting period. EPAs Pesticide General Permit (PGP) delineates different responsibilities for different types of Operators as well as different types of pesticide application activities and locations of those activities. Forty-seven states and the Virgin Islands have obtained this authority and as such issue NPDES permits. EPAs Pesticide General Permit (PGP) defines a Declared Pest Emergency Situation as an event defined by a public declaration by a federal agency, state, or local government of a pest problem determined to require control through application of a pesticide beginning less than ten days after identification of the need for pest control. Through this process, the permit writer gains an understanding of the circumstances of the discharge and the characteristics of the proposed effluent that will allow proper development of permit limits and conditions. Topics: Authorization Information. Activities may be covered as early as ten days after EPA receives a complete and accurate NOI. Each part or subpart of the permit clarifies whether requirements in that part or subpart apply only to Operators required to submit an NOI or some other subset of Operators (for example, all Operators, all Applicators, all For-Hire Applicators, etc.). However, merely because activities are performed on federal land does not in itself make those areas "federal facilities." As detailed in EPAs Pesticide General Permit (PGP), certain Operators are automatically covered under the permit and are authorized to discharge pesticides immediately. A complete list of all programs within the Department of Environment, Great Lakes, and Energy (EGLE), Resources and information on utilizing RRD's data exchange and the Inventory of Facilities. Decision-makers have flexibility to decide which pest management areas are included on a single NOI. The PGP does not require the Decision-maker to link each specific application with the specific Applicator who performed that activity. An interactive map displaying contaminated sites throughout Michigan regulated under Parts 213, 201, and 211. National Pollutant Discharge Elimination System (NPDES) permits are required for any pesticide applications that result in discharges to waters of the United States (unless exempted irrigated return flow or agricultural stormwater), regardless of the method of application, type of product, or industry. In short, it's permission to "pollute", within reason. The Decision-maker must file the Notice of Intent (NOI) at least ten days before exceeding an annual treatment area threshold. The tool is available at. The determination of whether a discharge from the application of pesticides requires a National Pollutant Discharge Elimination System (NPDES) permit requires a site-specific evaluation of whether that discharge will be made to (i.e., within the boundary of) waters of the United States. EPAs Pesticide General Permit (PGP) is available for Operators who apply (1) biological pesticides or (2) chemical pesticides that leave a residue, either of which result in point source discharges to waters of the United States, from the following pesticide use patterns: Mosquito and other flying insect pest control; The PGP includes additional eligibility criteria, although those criteria are mostly for infrequent situations. Department of Environment, Great Lakes, and Energy, Emergency Planning and Community-Right-to-Know, Remediation Information Data Exchange (RIDE), Michigan Environmental Health and Drinking Water Information System (MiEHDWIS), Oil, Gas, and Minerals Division Data Explorer (Dataminer), Freedom of Information Act (FOIA) Requests, Sign up for updates on a variety of environmental topics, Visit AirNow.gov for current air quality information in your area, Office of the Clean Water Public Advocate, Office of the Environmental Justice Public Advocate, Go to Water Operator Certification Programs, Go to Regulations, Laws, Rules, and Policies, Go to Emergency Planning and Community-Right-to-Know, SARA Title III-The Emergency Planning and Community Right to Know Act, Go to Remediation Information Data Exchange (RIDE), Go to Michigan Environmental Health and Drinking Water Information System (MiEHDWIS), Go to Oil, Gas, and Minerals Division Data Explorer (Dataminer), Go to MPART PFAS Geographic Information System, Go to Freedom of Information Act (FOIA) Requests, Go to State of Michigan Contact Directory, MiEnviro Portal formerly known as MiWaters. If a pesticide is being applied for a different reason, for example, clove oil being used to stun fish for collection purposes, or alum used to control phosphorus levels in the water as a way to inhibit algae growth (as an algaestat, not as an algaecide), that activity is not eligible for coverage under EPAs PGP. The different terms acknowledge the different roles that these two types of Operators play in the process of applying pesticides. EPA recognizes, however, that many such public entities may perform ad-hoc pest control on a small-scale that is not related to land resource stewardship, but rather incidental, for example, to its occupancy of a building. Section 301(a) of the Clean Water Act (CWA) prohibits any point source discharge of a pollutant to waters of the United States unless the discharge is in compliance with certain sections of the Act. The NOI form is a short document requesting basic information about the nature of the activities under consideration. NPDES Permits: What You Need to Know | Mass.gov However, for the other two pesticide use patterns - mosquito and other flying insect pests and forest canopy pests -the area treated is the entire area to be treated rather than only those areas that result in discharges to waters of the United States. A lock (LockA locked padlock) or https:// means youve safely connected to the .gov website. If the Decision-maker is required to submit annual reports prior to the termination of coverage under the PGP, an annual report must be submitted for the portion of the year up through the date of termination. Additional information on EPAs interpretation and implementation of the term waters of the United States can be accessed from EPAs website. EPA uses the term agency in the PGP to refer to federal and state agencies and believes that most pest control activities performed by federal and state agencies that result in discharges to waters of the United States will meet the requirement to submit an NOI. Before submitting your Notice of Intent (NOI), the form you file to obtain coverage under the CGP in step 4 below, you must meet the CGP's . NPDES Stormwater Program - Florida Department of Environmental Protection No. Visual monitoring during post-application surveillance is required of all Operators, but only if the Operator (i.e., Applicator, the Decision-maker or both) performs post-application surveillance in the normal course of business. Although, for an event to be considered a Declared Pest Emergency Situation under EPAs Pesticide General Permit (PGP), the first pesticide application must be conducted less than ten days after the public declaration. The annual treatment area threshold values listed in EPAs Pesticide General Permit (PGP) establish whether or not Operators must submit a Notice of Intent (NOI) to obtain coverage under EPAs PGP and comply with more comprehensive permit requirements. It depends. An NPDES permit will generally specify an acceptable level of a pollutant or pollutant parameter in a discharge (for example, a certain level of bacteria). A person is a duly authorized representative if he or she meets the criteria outlined in Appendix B of EPAs Pesticide General Permit (PGP). As such, dischargers covered under general permits know their applicable requirements before obtaining coverage under that permit.