3800-FM-BCW0491 9/2017 Annual MS4 Status Report pennsylvania DEPARTMENT OF ENVIRONMENTAL PROTECTION COMMONWEALTH OF PENNSYLVANIA DEPARTMENT OF ENVIRONMENTAL PROTECTION BUREAU OF CLEAN WATER ANNUAL MUNICIPAL SEPARATE STORM SEWER SYSTEM (MS4) STATUS REPORT FOR THE PERIOD July 1 TO JUNE 30, 2024 GENERAL INFORMATION Permittee Name: Mailing Address: City, State, Zip: MS4 Contact Person: Title: Phone: Email: City of Duquesne 12 South Second Street Duquesne, PA 15110 Laura Branthoover- Glenn Engineering Engineering Consultant 412-824-5672 aurab@gennengr.com NPDES Permit No.: PAG-136194 Effective Date: Expiration Date: Municipality: County: 05/03/18 03/31/25 Renewal Due Date: 09/31/24 Duquesne City Allegheny County Co-Permittees (if applicable): Appendix(ces) that permittee is subject to (select all that apply): K Appendix A B Appendix B B Appendix C D Appendix D Appendix E Appendix F WATER QUALITY INFORMATION Are there any discharges to waters within the Chesapeake Bay Watershed? Yes D No Identify all surface waters that receive stormwater discharges from the permittee's MS4 and provide the requested information (see instructions). Receiving' Water Name Thompson Run Monogahela River Ch. 93 Class. Impaired? WWF WWF Cause(s) Metals (4a) PCB (4a) & Pathogens (5) TMDL? No No WLA? No No Yes Yes 3800-FM-BCW0491 9/2017 Annual MS4 Status Report GENERAL MINIMUM CONTROL MEASURE (MCM) INFORMATION Have you completed all MCM activities required byt the permit fort this reporting period? Yes Contact Name Samuel Sulkosky Samuel Sulkosky Samuel Sulkosky Samuel Sulkosky Samuel Sulkosky Samuel Sulkosky No List the current entity responsible fori implementing each MCM of your SWMP, along with contact name and phone number. MCM Entity Responsible of City Duquesne City of Duquesne City of Duquesne City of Duquesne City of Duquesne of City Duquesne Phone 412-469- 0544x2119 412-469- 0544x2119 412-469- 0544x x2119 412-469- 0544 x2119 412-469- 0544 x2119 412-469- 0544 x2119 #1 Public Education and Outreach on Storm Water Impacts #2 Public nolvemenuPartcpation #3 Illicit Discharge Detection and Elimination (IDD&E) #4 Construction Site Storm Water Runoff Control #5 Post-Construction Storm Water Management in New Development and Redevelopment #6 Pollution Prevention, / Good Housekeeping MCM #1 - PUBLIC EDUCATION AND OUTREACH ON STORM WATER IMPACTS BMP #1: Develop, implement and maintain a written Public Education and Outreach Program. 1. For new permittees only, hast the written PEOP been developed andi implemented within the first year of permit coverage? Yes LJ No 2. Date of latest annual review of PEOP: June 2024 Were updates made? Yes B No 3. What were the plans and goals for public education and outreach for the reporting period? The City made sure to keep the public residents & the commercial district up to date regarding the newi information that has been implemented in this new permit cycle from 2018-2023. The PEOP has been revised for the new cycle to futher the knowledge of the community regarding the pollution identification & reduction and to seek their input. 4. Didt the MS4 achieve its goal(s) for the PEOP during the reporting period? 5. Identify specific plans and goals for publice education and outreach for the upcoming year: X Yes No This year the City would like to do the following: Increase Water Quality Stakeholder knowledge about pollution reduction and the hazards of illicit dischages, educate the community to develop beneficial stormwater practices to avoid future runoff pollution, create al better understanding of the links between land use, runoff management, water quality, andi flood control. The revised PEOP plan for the City describes these items along with others in more detail. BMP #2: Develop and maintain lists of target audience groups present within the areas served by your MS4. 1. For new permittees only, have the target audience lists been developed and implemented within the first year of permit coverage? Yes D No 2. Date of latest annual review oft target audience lists: June 2024 Were updates made? Yes B No BMP #3: Annually publish at least one educational item on your Stormwater Management Program. -2- 3800-FM-BCW0491 9/2017 Annual MS4 Status Report 1. Forr new permittees only, weres stormwater educational andi informational items produced and publishedi inj print and/or on the Internet within the first year of permit coverage? Yes No 2. Date of latest annual review of educational materials: June 2024 3. Do you have a municipal website? B Yes Were updates made? Yes No No (URL: www.duquesnepa.us) 3800-FM-BCW0491 9/2017 Annual MS4 Status Report IfYes, what MS4-related material does ito contain? 4. Describe any other method(s) used during the reporting period to provide information on stormwater to the public: The municipal building has MS4 brochures and pamplets regarding stormwater information. Also the Cityi is al highly involved environmental community, MS4 topics and discussions are often discussed at monthly public council meetings. The City will continue to distribute materials at the municipal building,and continue to be proactive regarding the overall knowledge of the public residents in the City. Additionally, the city plans to publish more stormwater information on the municipal website. The City plans to check all the catch basins/storm inlets for marker disks and replace those as 5. Identify specific plans for the publication ofs stormwater materials for the upcoming year: necessary. BMP #4: Distribute stormwater educational materials to the target audiences. Identify the two additional methods of distributing stormwater educational materials during the previous reporting period (e.g., displays, posters, signs, pamphlets, booklets, brochures, radio, local cable TV, newspaper articles, other advertisements, bill stuffers, posters, presentations, conferences, meetings, fact sheets, giveaways, or storm drain stenciling). The City has a storm drain stençiling program to label the storm drains to inform against illicit discharge to the sewer system. Also, the city has MS4 posters for the public to review located at the City municipal building. MCM #1 Comments: The City is satisfied with the progress of the Public Education & Outreach Program. The education of the public residents is extremely important to the overall sucess of the MS4 program. The revisions to the PEOP will not change any current efforts by the City, ity will only build on the already existing foundation to develop further MS4 knowledge into the community. MCM #2 - PUBLIC INVOLVEMENTIPARTICIPATION BMP #1: Develop, implement and maintain a written Public Involvement and Participation Program (PIPP) 1. For new permittees only, was the PIPP developed and implemented within one year of permit coverage? Yes No 2. Date ofl latest annual review of PIPP: June 2024 Were updates made? Yes No BMP #2: Advertise to the public and solicit public input on ordinances, SOPs, Pollutant Reduction Plans (PRPs) (if applicable) and' TMDL Plans (if applicable), including modifications thereto, prior to adoption or submission to DEP: 1. Was an MS4-related ordinance, SOP, PRP or TMDL Plan developed during the reporting period? D Yes R No 2. IfYes, describe how you advertised the draft document(s) and how you provided opportunities for public review, input and feedback: 3. Ifan ordinance, SOP or plan was developed or amended during the reporting period, provide the following information: Ordinance/SOP/Plan Name Date of Public Notice 4- Date of Public Hearing Date Enacted or Submitted to DEP 3800-FM-BCW0491 9/2017 Annual MS4 Status Report 3800-FM-BCW0491 9/2017 Annual MS4 Status Report BMP #3: Regularly solicit public involvement and participation from the target audience groups using available 1. Atl least one public meeting or other MS4 event must be held during the! 5-year permit coverage period to solicit participation and feedback from target audience groups. Was this meeting or event held during the reporting period? distribution and outreach methods. Yes B No IfYes, Date of Meeting or Event: 2. Report instances of cooperation and participation in MS4 activities; presentations the permittee made tol local watershed and conservation organizations; and similar instances of participation or coordination with organizations in the community. 3. Report activities in which members of the public assisted or participated in the meetings and in the implementation of the SWMP, including education activities ore efforts such as cleanups, monitoring, storm drain stenciling, or others. City has MS4 educational activities at municipal events throughout the calendar year. MCM #2 Comments: The City is extremely satisfied with the progress of the Public nvolwemenuPartcopation Program. The participation of the public residents is extremely important to the overall sucess of the MS4 program. The revisions to the PIPP will not change any current efforts by the Borough, it will only build on the already existing foundation to develop further MS4 involvement of the community. MCM #3 - ILLICIT DISCHARGE DETECTION AND ELIMINATION (IDD&E) BMP #1: Develop and implement a written program for the detection, elimination, and prevention of illicit discharges 1. Forr new permittees only, was the written IDD&E program developed within one year of permit coverage? into the regulated small MS4. Yes No 2. Date of latest annual review ofl IDD&E program: June 2024 Were updates made? Yes B No BMP #2: Develop and maintain map(s) that show permittee and urbanized area boundaries, the location of all outfalls and, if applicable, observation points, and the locations and names of all surface waters that receive discharges from those outfalls. Outfalls and observation points shall be numbered on the map(s). 1. Have you completed a map(s) that includes all components of BMP#2? B Yes No If Yes andy you are ar new permittee and have not submitted the map(s) previously, attach the map(s) to this report. IfNo, date by which permittee expects map(s) tol be completed: 2. Date of last update or revision to map(s): June 2024 3. Total No. of Outfalls in MS4: Five (5) 4. Total No. of Observation Points: N/A Total No. of Outfalls Mapped: Five (5) Total No. of Observation Points Mapped: N/A 5. During the reporting period, have you identified any existing outfalls that have not been previously reported to DEP in an NOI, application or annual report, or are any new MS4 outfalls proposed for ther next reporting period? 6- 3800-FM-BCW0491 9/2017 Annual MS4 Status Report Yes No IfYes, select: Existing Outfall(s) Identified New Outfall(s) Proposed 3800-FM-BCW0491 9/2017 Annual MS4 Status Report BMP #3: In conjunction with the map(s) created under BMP #2 (either on the same map or on a different map), the permittee shall develop and maintain map(s) that show the entire storm sewer collection system within the permittee's jurisdiction that are owned or operated by the permittee (including roads, inlets, piping, swales, catch basins, channels, and any other components of the storm sewer collection system), including privately-owned components of the collection system where conveyances or BMPs on private property receive stormwater flows from upstream publicly- owned components. 1. Have you completed a map(s) that includes all components of BMP #3? B Yes L No Ify Yes and you are ar new permittee and have not submitted the map(s) previously, attach the map(s) to this report. If No, date by which permittee expects map(s) tol be completed: 3. Date of last update or revision tor map(s): June 2024 2. IfYes to #1, is the map(s) on the same map(s) as for outfalls and receiving waters? D Yes No BMP #4: Conduct dry weather screenings of MS4 outfalls to evaluate the presence of illicit discharges. Ifany illicit discharges are present, the permittee shall identify the source(s) and take appropriate actions to remove or correct any illicit discharges. The permittee shall also respond to reports received from the public or other agencies of suspected or confirmed illicit discharges associated with the storm sewer system, as well as take enforcement action as necessary. The permittee shall immediately report to DEP illicit discharges that would endanger users downstream from the discharge, or would otherwise result in pollution or create a danger of pollution or would damage property. For new permittees, all identified outfalls (and if applicable observation points) must be screened during dry weather at least twice within the 5-year period following permit coverage. For existing permittees, all identified outfalls (and if applicable observation points) must be screen during dry weather at least once within the 5-year period following permit coverage and, for areas where past problems have been reported or known sources of dry weather flows occur on a continual basis, outfalls must 1. How many unique outfalls (and ifa applicable observation points) were screened during the reporting period? 0 be screened annually during each year of permit coverage. 2. Indicate the percentage of all outfalls screened in the past five years. One Hundred (100)% Zero (0)% 3. Indicate the percent of outfalls screened during the reporting period that revealed dry weather flows: 4. Did any dry weather flows reveal color, turbidity, sheen, odor, floating or submerged solids? D Yes B No 5. IfYest for #4, attach all sample results to this report witha a mapi identifying the sample location. Explain the corrective action(s) takeni int the attachment. < Yes D No 6. Doy you use the MS4 Outfall Field Screening Report form 3800-FM-BCW0521) provided ini the permit? If No, attach a copy of your screening report form. BMP #5: Enact a Stormwater Management Ordinance or SOP to implement and enforce a stormwater management 1. Do you have_ an ordinance (municipal) or SOP or other mechanism (non-municipal) that prohibits non-stormwater 2. IfYes to #1, is the ordinance or SOP consistent with DEP's 2022 Model Stormwater Management Ordinance (3800-PM- IfYes toi #2 and the ordinance or SOP has not been submitted to DEP previously, attach the ordinance or SOP. program thati includes prohibition of non-stormwater discharges to the regulated small MS4. discharges? D Yes D No Ify Yes, indicate the date of the ordinance or SOP: BCW0100j) with respect to authorized non-stormwater discharges? L Yes D No -8- 3800-FM-BCW0491 9/2017 Annual MS4 Status Report 3. Were there any violations of the ordinance or SOP during the reporting period? Yes B No IfYes tot #3, complete the table below (attach additional sheets as necessary). Violation Date Nature of Violation Responsible Party Enforcement Taken 4. Didy you approve any waiver or variance during the reporting period that allowed an exception to non-stormwater discharge If Yes to #4, identify the entity that received the waiver or variance and the type of non-stormwater discharge approved. provisions of an ordinance or SOP? J Yes B No BMP #6: Provide educational outreach to public employees, business owners and employees, property owners, the general public and elected officials (i.e., target audiences) about the program to detect and eliminate illicit discharges. 1. Was DD&E-related information distributed to public employees, businesses, and the general public during the reporting period? R Yes D No IfYes, what was distributed? Yes No 2. Ist there av well-publicized method for employees, businesses and the public to report stormwater pollution incidents? 3. Do your maintain documentation of all responses, action taken, and the time required to take action? B Yes LJ No The Illicit Discharge Detection & Elimination Program has been updated in the new IDD&E written plan. MCM #3 Comments: MCM #4 - CONSTRUCTION SITE STORMWATER RUNOFF CONTROL Are your relying on PA's statewide program for stormwater associated with construction activities to satisfy this MCM? (fYes, respond to questions for BMP Nos. 1,2a and 30 only in this section. IFNo, respond to questions for all BMPS in this section) BMP #1: The permittee may noti issue al building or other permit or final approval to those proposing or conducting earth disturbance activities requiring an NPDES permit unless the party proposing the earth disturbance has valid NPDES During the reporting period, did you comply with 25 Pa. Code S 102.43 (relating to withholding building or other permits or Yes No Permit coverage (i.e., not expired) under 25 Pa. Code Chapter 102. approvals until DEP or a county conservation district (CCD) has approved NPDES permit coverage)? Yes No Not Applicable (no building permit applications received) 3800-FM-BCW0491 9/2017 Annual MS4 Status Report BMP #2: A municipality or county which issues building or other permits shall notify DEP or the applicable CCD within 50 days of the receipt of an application for a permit involving an earth disturbance activity consisting of one acre or Duringt the reporting period, did you comply with 25 Pa. Code S 102.42 (relating to notifying DEP/CCD within! 5 days of receiving more, in accordance with 25 Pa. Code S 102.42. an application involving an earth disturbance activity of one acre orr more)? Yes No Not Applicable (no building permit applications received) control BMPs, including sanctions for non-compliance, as applicable. maintenance of E&S control BMPs? D Yes B No IfYes, indicate the date of the ordinance or SOP: BCW0100j)? D Yes B No BMP #3: Enact, implement and enforce an ordinance or SOP to require the implementation and maintenance of E&S 1. Do you have an ordinance (municipal) or SOP or other mechanism (non-municipal) that requires implementation and 2. IfYes to #1, is the ordinance or SOP consistent with DEP's 2022 Model Stormwater Management Ordinance (3800-PM- 3. IfYes to #2 and the ordinance or SOPI has not been submitted previously, attach a copy of the ordinance or SOP. BMP #4: Review Erosion and Sediment (E&S) control plans to ensuret that such plans adequately consider water quality impacts and meet regulatory requirements. Specify the number of E&S Plans your reviewed during the reporting period: BMP #5: Conduct inspections regarding installation and maintenance of E&S control measures during earth disturbance activities. Maintain records of site inspections, including dates and inspection results, in accordance with the record retention requirements in this permit. Specify the number of E&S inspections you completed during the reporting period: activities does not comply with permit and/or regulatory requirements. BMP #6: Conduct enforcement when installation and maintenance of E&S control measures during earth disturbance Specify the number of enforcement actions you took during the reporting period fori improper E&S: BMP #7: Develop and implement requirements for construction site operators to control waste at construction sites that may cause adverse impacts to water quality. The permittee shall provide education on these requirements to Specify the method(s) by which you are educating construction site operators on controlling waste at construction sites: BMP #8: Develop and implement procedures for the receipt and consideration of public inquiries, concerns, and information submitted by the public to the permittee regarding local construction activities. 1. Atracking system has been established for receipt of public inquiries and complaints. L Yes L No 2. Specify the number of inquiries and complaints received during the reporting period: construction site operators. MCM #4 Comments: 10- 3800-FM-BCW0491 9/2017 Annual MS4 Status Report MCM 5-POST.CONSTRUCTON STORM WATER MANAGEMENT IN NEW DEVELOPMENT AND REDEVELOPMENT BMP #1: Enact, implement and enforce an ordinance or SOP to require post-construction stormwater management from 1. Do you have an ordinance (municipal) or SOP or other mechanism (non-municipal) that requires implementation and 2. If Yes to #1, is the ordinance or SOP consistent with DEP's 2022 Model Stormwater Management Ordinance 3. IfYes to #2 and the ordinance or SOP has not been submitted previously, attach a copy of the ordinance or SOP. BMP #2: Develop and implement measures to encourage and expand the use of Low Impact Development (LID) in new development and redevelopment. Measures should also be included to encourage retrofitting LID into existing development. Enact ordinances consistent with LID practices and repeal sections of ordinances that conflict with LID 1. Doy you! have an ordinance (municipal) or SOP or other mechanism (non-municipal) that encourages and expands the use 2. IfYes to #1, is the ordinance or SOP consistent with DEP's 2022 Model Stormwater Management Ordinance (3800-PM- 3. IfYes to #2 and the ordinance or SOP has not been submitted previously, attach a copy oft the ordinance or SOP. BMP #3: Ensure adequate O&M of all post-construction stormwater management BMPs that have been installed at development or redevelopment projects that disturb greater than or equal to one acre, including projects less than one 1. Do you have an inventory of all PCSM BMPS that were installed to meet requirements in NPDES Permits for Stormwater Discharges Associated with Construction Activities approved since March 10, 2003? D Yes R No 2. Has proper O&M occurred during the reporting period for all PCSM BMPs? Yes L No 3. IfNo to #2, explain what action(s) the permittee has taken or plans to take to ensure proper O&M. new development and redevelopment projects, including sanctions for non-compliance. maintenance of post-construction stormwater management (PCSM)BMPs? D Yes R No IfYes, indicate the date of the ordinance or SOP: 3800-PMABCW0100)7 Yes D No practices. ofLID in new development and redevelopment? D Yes R No IfYes, indicate the date of the ordinance or SOP: BCW0100j)? D Yes D No acre that are part of a larger common plan of development or sale. IfYes tot #1, complete Table 1 on the next page. Ify you are relying on PA's statewide program for stormwater associated with construction activities, you may skip to MCM #6, BMP #4: Require the implementation of a combination of structural and/or non-structural BMPs that are appropriate to the local community, that minimize water quality impacts, and that are designed to maintain pre-development runoff 1. Specify the number of PCSM Plans reviewed during the reporting period for projects disturbing greater than or equal to one acre (including projects less than one acret that are part of al larger common plan of development or sale): 2. Has a tracking system been established and maintained to record qualifying projects and their associated BMPs? otherwise complete all questions for BMPs #4- #6 in this section. conditions. Yes B No 11 2 3 5 8O 9 e E 13 41 15 3800-FM-8CW0491 9/2017 Annual MS4 Status Report BMP #5: Ensure that controls are installed that shall prevent or minimize water quality impacts. The permittee shall inspect all qualifying development or redevelopment projects during the construction phase to ensure proper installation oft the approved structural PCSM BMPs. A1 tracking system (e.g., database, spreadsheet, or written list) shall be implemented to track the inspections conducted and to track the results of the inspections (e.g., BMPs were, or were 1. During the reporting period have you inspected all qualifying development and redevelopment projects during the not, installed properiy). construction phase to ensure proper installation of approved structural BMPs? Yes No K Not Applicable (no qualifying projects during reporting period) 2. Has a tracking system been established and maintained to record results ofi inspections? Yes B No BMP #6: Develop a written procedure that describes how the permittee shall address all required components of this Have you developed: av written plan that addresses: 1) minimum requirements for use ofs structural and/or non-structural BMPsin plans for development and redevelopment; 2) criteria for selecting and standards for sizing stormwater BMPs; and 3) MCM. implementation of an inspection program to ensure that BMPS are properly installed? D Yes B No MCM #5 Comments: MCM #6 = POLLUTION PREVENTION/GOOD HOUSEKEEPING BMP #1: Identify and document all operations that are owned or operated by the permittee and have the potential for generating pollution in stormwater runoff to the MS4. This includes activities conducted by contractors for the 1. Have you identified all facilities and activities owned and operated by the permitee that have the potential to generate permittee. stormwater runoff into the MS4? B Yes D No 2. When was the inventory last reviewed? June 2024 3. When was itl last updated? June 2021 BMP #2: Develop, implement and maintain a written 0&M program for all operations that could contribute to the discharge of pollutants from the MS4, as identified under BMP #1. This program shall address stormwater collection or conveyance systems within the regulated MS4. 1. Have you developed a written O&M program fort the operations identified in BMP #1? B Yes LJ No 2. Date of last review or update to written O&M program: June 2024 BMP #3: Develop and implement an employee training program that addresses appropriate topics to further the goal of preventing or reducing the discharge of pollutants from operations to the regulated small MS4. All relevant employees and contractors shall receive training. 1. Have you developed an employee training program? B Yes J No 2. Date of last review or update to training program: June 2024 Date of latest training: -13- 3800-FM-BCW0491 9/2017 Annual MS4 Status Report 3. Training topics covered: 4. Name(s) of training presenter(s): 5. Names of training attendees: MCM #6 Comments: document The Operation and Maintenance Manual & Employee Training Manual have been updated and combined into one POLLUTANT CONTROL MEASURES (PCMs) Indicate the status ofi implementing PCMs in Appendices A, Ba and/or C by completing the table below. Skip this section ifp PCMS are nota applicable. Task Storm Sewershed Map(s) Source Inventory Investigation of Suspected Sources Ordinance/SOP for Controlling Animal Wastes PCM Comments: Date Completed 09/09/2019 09/09/2020 9/20/2024 9/20/2024 Attached Anticipated Completion Date D B 2025 POLLUTANT REDUCTION PLANS (PRPs) AND TMDL PLANS 1. Complete this section if the development and submission ofa PRP and/or TMDL Plan was required as an attachment to the latest NOI or application or was required by the permit, regardless of whether DEPI has approved the plan(s). Submission Date DEP Approval Date Type of Plan Surface Waters Addressed by Plan Chesapeake Bay PRP (Appendix D) Impaired Waters PRP (Appendix E) TMDL Plan (Appendix F) Combined Chesapeake Bay/ Impaired Waters PRP Combined PRP/TMDL Plan Joint Plan Participants: Chesapeake Bay Chesapeake Bay, Joint Plan (ifchecked, list the name oft the MS4 group or names of all entities participating in the joint plan below) 14 3800-FM-BCW0491 9/2017 Annual MS4 Status Report 2. Identify the pollutants of concern and pollutant load reduction requirements under the permit (see instructions). Type of Plan Chesapeake Bay PRP (Appendix D) Impaired Waters PRP (Appendix E) TMDL Plan (Appendix F) Combined Chesapeake Bay I Impaired Waters PRP Combined PRP/TMDL Plan TSS Load Reduction (Ibs/yr) TP Load Reduction (Ibs/yr) TNI Load Reduction (Ibslyr) 3. Date Final Report Demonstrating Achievement of Pollutant Load Reductions Due: 4. Have any modifications to the plan(s) occurred since DEP approval? If Yes to #4, was the updated plan(s) submitted to DEP? If Yes to #4, describe the plan modifications. Yes No Yes No If Yes to #4, didy you comply with the public pancpalonreguremens of the applicable appendix? Yes No 5. Summary of progress achieved during reporting period. 6. Anticipated activities for next reporting period. PRP/TMDL Plan Comments: Nol Pollution Reduction Plan or TMDL is required for the City of Duquesne. 15- jojopp!o D000 D DDDDD 3800-FM-BCW0491 9/2017 Annual MS4 Status Report CERTIFICATION For PAG-13 Permittees: I have read the latest PAG-13 General Permit issued by DEP and agree and certify that (1) the permittee continues tob be eligible for coverage under the PAG-13 General Permit and (2) the permittee will continue to comply with the conditions oft that permit, including any modifications thereto. lunderstand that ifl dor not agree to the terms and conditions oft the PAG-13 General Permit, Iwill apply for an individual permit within 90 days of publication of the General Permit. lalso acknowledge that any facility construction needed to comply with the General Permit requirements shall be designed, built, operated, and maintained in accordance For All Permittees: certify under penalty ofl law that this report was prepared under my direction or supervision in accordance witha a system designed to assure that qualified personnel properly gathered and evaluated the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of myl knowledge and belief, true, accurate, and complete. lam aware that there are significant penalties for submitting false information, including the possibility of fine and imprisonment for knowing violations. See 18 Pa. C.S. S 4904 (relating with operativel laws and regulations. tou unsworn falsification). Doug Sample City Manager Name of Responsible Official 412-469-0544 x2119 Telephone No. b0 Signature 9/30/24 Date