Tennessee Clean Water Network
625 Market St.
Knoxville, TN 37901
Mailing Address:
PO BOX 1521
Knoxville, TN 37901
Office: 865.522.7007
Fax: 865.525.4988
The Clean Water Act requires all facilities discharging pollutants into our streams obtain a permit. This permitting program is called the Naional Pollution Discharge Elimination System (NPDES). The Tennessee Department of Environment and Conservation (TDEC) and the Army Corps of Engineers are responsible for issuing permits for activities that may physically impacts our waterbodies. TDEC issues ARAPs/401 certifications and the Corps issues 404 permits. While your city and county officials are responsible for some portion of the enforcement of these rules and local ordinances, the state and federal governments issue permits.
It is simplest to think of NPDES permits as those which control the chemical impacts to streams and 404 certificaqtions or ARAPs as those permitting physical impacts to our streams
You can influence permit conditions by commenting on the permit during its minimum 30-day public notice period. It is helpful to know what activities are planned or are happening in and around your community, espeically when it may impact your drinking water source.
Check out all NPDES individucal and municipal permits, ARAPs, and mininng permits on public notice.
TCWN comments on many permits per month. Some recent permit comments include the Cookeville WWTP NPDES, the Murfreesboro-Sinking Creek STP NPDES, the Crossville STP NPDES, an ARAP for TDOT in Gibson County and an ARAP for Hamilton County.
Commenting on Permits
ARAP (§401): Persons who wish to make an alteration to a stream, river, lake or wetland must first obtain a water quality permit. Physical alterations to properties of waters of the state requires an Aquatic Resource Alteration Permit (ARAP) or a §401 Water Quality Certification (§401 certification). Examples of stream alterations that require a permit from the Tennessee Division of Water Pollution Control (division) include:
NPDES: Persons discharging pollutants directly from point sources into surface waters of the state must obtain an NPDES discharge permit from the Tennessee Division of Water Pollution Control (WPC). Direct dischargers include industrial and commercial wastewater, industrial stormwater, and municipal wastewater discharges. Mining facilities and Class I Concentrated Animal Feeding Operations (CAFOs) also require NPDES discharge permits.
Public Participation Opportunities: This page shows publications that are available for public comment, training and certification opportunities and public notices.
Permit application notices (§404) are posted on the Army Corps of Engineers websites for each district at:
Memphis: Scroll down to the Tennessee section.
Nashville
Choosing Permit Applications for Comments:
Key terms and activities indicate that degraded water quality is probable if the permit is issued.
If the answer to any of the following questions is yes, a comment from you may affect the issuance or the permit and the protection of your local water resources.
Suggestions for Commenting on 404 Permits
When developing comments on a permit, it is useful to reference specific regulations and guidance documents and explain in your letter how the proposed project fails to satisfy those regulations. The following are paraphrased summaries of favorite sections of regulations.
40 CFR Part 230
230.10 (a) - No discharge of dredged or fill material shall be permitted if there is a practicable alternative which would have less adverse impact on the aquatic ecosystem
230.10 (b) - Discharge shall be permitted if it contributes to violations of water quality standards or jeopardizes continued existence of a threatened or endangered species
230.10 (c) - No discharge shall be permitted which will contribute to significant degradation of the waters
230.10 (d) - No discharge shall be permitted unless appropriate and practicable steps have been taken to minimize potential adverse impacts
Regulatory Guidance Letter 02-2 - This is a guidance letter from the Corps headquarters to District offices instructing them how to determine appropriate mitigation measures. Each District now has specific guidelines that should incorporate the concepts of this guidance. It is helpful to review this full letter and the District guidance for more details. However, below are a few of the general principles.
Under existing law the Corps requires compensatory mitigation to replace aquatic resource functions unavoidably lost or adversely affected by authorized activities.
Functional assessments are encouraged to determine impacts and required mitigation for wetland impacts, but at a minimum, one-to-one acreage replacement may be used. The acreage ratio of replaced wetlands to impacted wetlands should be larger where a high quality wetland is replaced with a wetland that is less functional.
Streams - Where functional assessment is not practical, mitigation projects for streams should replace linear feet of stream on a one-to-one basis.
Mitigation projects can include creation of a new system, restoration of a degraded system, enhancement of an existing system, and/or protection and maintenance of existing systems. Simply protecting/maintaining an existing system is usually not sufficient to mitigate for impacting another.
Mitigation should occur within the same geographic area (same watershed if possible) as the impacts.
Tools:
Template for Special Conditions (Attached Below): Use this sample text when commenting on an NPDES permit for stormwater or sewage treatment related to a 303(d) listed or Tier II stream.
How to Request a Public Hearing: When commenting on a permit, you ALWAYS have the right to request a public hearing. TDEC should hold a hearing based on the number of comments that they receive on a particular permit. Rarely, TDEC will schedule the public hearing based on the assumption that comments will be made.
Can you hold your own meeting?
You can always call your own meeting to present concerns to the community. Think of informing your homeowners association, Lion's Club, church group or just a group of neighbors. We would love to come speak at your meeting. Please call the office at 865.522.7007x100 and ask for Renee.
| Attachment | Size |
|---|---|
| TCWN_sample_ARAP_comment (DOC) | 22 KB |
| TCWN_sample_NPDES_comment (DOC) | 21.5 KB |
| Text_for_Special_Conditions (PDF) | 64.55 KB |
| Comments TN0024198 Cookeville WWTP.pdf | 1.79 MB |
| Comments TN0022586 Murfreesboro-Sinking Creek STP.pdf | 1.21 MB |
| Comments TN0024996 Crossville STP.pdf | 1.23 MB |
| Comments NRS11.145 TDOT - SR104 Gibson Co.pdf | 1.14 MB |
| Comments NRS10.301 Hamilton Co.pdf | 998.9 KB |
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