Stormwater Pollution Prevention Plan And Spill Prevention .

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Stormwater Pollution Prevention Planand Spill Prevention Annual TrainingLafayette Airport Commission2020

Permitting BackgroundSWPPP Section 2.2 Louisiana Department of Environmental Quality(LDEQ) permits:— LDEQ Multi Section General Permit for the Dischargeof Stormwater Associated with Industrial Activities(MSGP) (LAR05M152);— LDEQ Municipal Separate Stormwater Sewer SystemPermit (MS4) (LAR0401025);— LDEQ Exterior Vehicle Wash Wastewater DischargePermit (Wash Permit) (LAG7550655). Require Storm Water Management Program(SWMP) Plan and Storm Water Pollution PreventionPlan (SWPPP)MSGP Section 1.7.10Failure to comply with any of the permit requirements constitutes a violation of theLouisiana Environmental Quality Act (LEQA).MSGP Section 3.1.1The discharge of wash water, including tank cleaning operations, is not authorized by thispermit. These wastewaters must be covered under a separate LPDES permit, discharged toa sanitary sewer in accordance with applicable industrial pretreatment requirements, ordisposed of otherwise in accordance with applicable law.2

Training Requirement All personnel (both LFT personneland tenants) who work in areaswhere significant materials areexposed to storm water, or whohaveSWPPPimplementationresponsibilities must be trainedannually. It is the responsibility of tenants andoperators to train their employeesMSGP Section 3.1.8 and 1.7.10All employees who work in areas where industrial materials or activities areexposed to storm water or who are responsible for implementing activitiesnecessary to meet conditions of this permit must be trained.–Such as Inspectors, maintenance personnel, all members of the PollutionPrevention Team.3

TrainingSWPPP Section 5.2 Training will address each componentof the SWPPP. Topics include the following:– Stormwater pollution prevention planapplicability, goals, objectives, andrequirements;– Monitoring, documentation, inspections,and reporting requirements;– Best Management Practices.– Spill prevention and response;– Exterior Vehicle and Equipment WashWater Discharge Permit Requirements4

Co-Located ActivitiesSWPPP Chapter 2 Airport Tenant Facilities are Co-permiteesunder LAC’s Permit and SWPPP.– Appendix B.1 of the SWPPP contains alisting and evaluation of tenants locatedon LAC property to determine SWPPPApplicability. Tenants are responsible for meeting thepermit requirements and implementing theSWPPP for their operations.MSGP Permit Section 1.6 and 6.S.3A single comprehensive SWPPP, developed collaboratively by the airport authorityand tenants, must be developed for all storm water discharges associated withindustrial activity at the airport. The SWPPPs developed by any operator forstorm water discharges from its own area of the airport must be integrated andcoordinated.Each operator is responsible for implementing their assigned portion of thiscomprehensive SWPPP5

Purpose and NeedSWPPP Section 2.1 Identifies Industrial facilities on LAC property–Facilities identified as industrial are provided in Appendix B.1 The LAC’s permit coverage excludes tenants with their ownpermit coverage The purpose of the SWPPP–document the management practices and stormwaterpollution prevention. Airport tenants without their own permit coverage are tocomply with LAC’s Permit and SWPPP. Management practices and pollution prevention measuresare implemented to prevent or minimize thecontamination of stormwater discharges. As participants each facility has an equal duty to:––Comply with the MSGP and SWPPPResponsibility to ensure their facility is in compliance6

Compatibility with Other DocumentsSWPPP Section 2.2 Plan will be compatible with other LFT plans– Spill Prevention Control and Countermeasures(SPCC) Plan– MS4 SWMP Plan Periodically evaluate internal documents andother work practices for consistency7

Stormwater Pollution Prevention TeamSWPPP Section 2.3 Stormwater Pollution Prevention Team– responsible for development and implementationof the SWPPP.– Made up of representatives of LAC and Tenants– LAC manages the stormwater pollution prevention Administrator and Team member8

Stormwater Pollution Prevention TeamSWPPP Section 2.3 The Team Members and Responsibilities -Appendix C.1MSGP Section 4.3.1The SWPPP must identify the name or title and individualresponsibilities of each of the facility’s storm water pollutionprevention team staff member(s).This team is responsible for assisting in developing and revising theSWPPP, maintaining control measures, and taking corrective actionswhere required.Each team member must have ready access to either an electronic orpaper copy of the applicable portions of this permit and the SWPPP9

Stormwater Pollution Prevention TeamSWPPP Section 2.3 Each facility must identify at least one employee toserve as a Team member. The Team member should:–––Have knowledge and experience of the facilityrelevant to the SWPPP;Possess knowledge and skills to assess conditions andactivities that could impact stormwater quality andevaluate the effectiveness andImplement and maintain BMPs and take correctiveactions, as necessary. The list of Team members and responsibilities Appendix C.1. Tenant Facility Team Member Designation Form Appendix C.3. Electronic Version of SWPPP and Permit http://lftairport.com/environmental-management/10

Stormwater Pollution Prevention TeamSWPPP Section 2.3 LAC’s primary responsibility:–– Team members are expected to:––––––– Notify LAC of any changes within 30 calendar days of thatchange;Maintain and operate BMPs;Perform repairs and maintenance of BMPs as required;Maintain access to copy of the SWPPP;Maintain facility-specific documentation;Implement corrective actions and provide documentation; andReview and Certify their Compliance with the SWPPP Annually.Lease agreements required tenants to comply with allapplicable environmental rules and regulations.–– Administer the stormwater complianceMaintain and update the SWPPP.Each industrial facility operator has an equal duty to complyOperators have the responsibility to ensure their facilityoperations are in compliance.Appendix C.2 list activities performed by LAC on behalf ofTeam members and how results are communicated11

Drainage and OutfallsSWPPP Section 2.512

Bayou Vermillion and Bayou Tortue Water QualitySWPPP Section 2.5.2 and 6.3 Listed in Integrated Report of Water Quality– Water body uses designated as fishing, swimming,boating, wildlife propagation and agriculture– River found to be impaired associated with activities suchas swimming and propagation of wildlife Impairments:– Nitrate/nitrite with an unknown source;– Dissolved oxygen with suspected sources of agriculture and thenatural environment; and– Fecal coliform with suspected sources of: Agriculture, On-sitetreatment systems, and Package plants13

Bayou Vermillion and Bayou TortueWater Quality No specific requirements set by LDEQ for LFT Best Practices:– All sewage generated should be confinedto the sanitary sewer.– LAV Cart waste should be properlydisposed.WARNINGNo Chemicals or Paints Lav Cart wastewater cannot enter sanitarysewer without approval from LUS– Fertilizers should be applied according tomanufacturers’ recommendations.Can be drained into thesesinks. It is against LafayetteUtilities System Regulations14

Potential Pollutant SourcesSWPPP Section 3.1 Inventory of Exposed Materials – SWPPP Appendix B.2– All Materials that are stored outside, used outside or could bewashed down a storm drain must be documented in thisinventory. Examples of items that may be stored inside and used outside are:––––––––Soaps,Aircraft Lavatory Cart SanitizersCleaners,Deicing fluid,Hydraulic fluid,Antifreeze,Paints andHerbicides.15

Potential Pollutant SourcesSWPPP Section 3.2 Tenants and operators must routinely provide information toLACMonthly Deicing Use Record FormSDS documentation for deicing chemicals in useTenant Facility Team Member Designation FormQuarterly Wash Rack Usage and Information FormSpill Report FormsMaintain facility‐specific documentationReview Inventory of Exposed Materials annuallyAnnual Tenant and Operator SWPPP Compliance Certification andUpdate Report Form– Maintain SDSs for the soaps used and provide review prior to use– Issues noted during these inspections should be resolved anddocumentation provided to LAC––––––––16

Potential Pollutant SourcesSWPPP Section 3.2 Potential pollutant sources include:– Aircraft, Ground Vehicle, and EquipmentMaintenance Areas– Aircraft, Ground Vehicle, and Equipment CleaningAreas– Aircraft Deicing/Anti-icing Operations– Material Storage Areas– Generators– Pesticides, Herbicides, and Fertilizer Application– Tank Storage Areas– Fueling AreasMSGP Section 1.7.5The permittee must select, install, implement and maintain control measures at thefacility that minimize pollutants in the discharge as necessary to meet applicablewater quality standards. In general, except in the situations explained below, theSWPPP developed, implemented, and updated consistent with Permit is considered asstringent as necessary to ensure that the discharges do not cause or contribute to anexcursion above any applicable water quality standard.17

Potential Pollutant SourcesSWPPP Section 3.3 Significant Spills and Leaks– A releases of hazardous substances in excessof reportable quantities The responsible party is responsible fordetermining if a release triggers an RQbased on state regulations and federalregulations– Additional info on determining if a release isreportable can be found on the LFTEnvironmental Management Website underInformational Brochures The List of Significant Spill and Leaks Appendix G.318

Potential Pollutant SourcesSWPPP Section 3.3 Spill response procedures - LAC’s SPCC Plan LAC assist by taking the appropriate reasonable steps tominimize adverse effects from spills. If responsible party will not take action, LAC will contactthe LDEQ for assistance. LAC has procedures for discharge detection andelimination in SWMP Plan– .19

Potential Pollutant SourcesSWPPP Section 3.4Non-Storm Water Discharges A discharge from the stormwater drainage system that isnot from a rain event.ExamplesoooooWash waterPaintsSanitary waste waterOilsConcrete washoutMSGP Section 1.7Discharges of non-storm water, other thanthose specifically authorized in Part 1.5.2, arenot authorized by this MSGP and must eitherbe eliminated or covered under anotherLPDES permit.23

Potential Pollutant SourcesSWPPP Section 3.4 The following discharges are allowable under the LDEQDischarge Permit:– Discharges from firefighting activities,– fire hydrant flushings, or testing if discharges consist ofwater– Uncontaminated condensate;– Landscape watering– Water from the routine washing of pavement conductedwithout the use of detergents where spills or leaks notoccurred unless removed– Water from the routine external washing of buildingswithout the use of detergents;– Potable water;– Incidental windblown mist from cooling towers but notintentional discharges– Water from foundation or footing drains– Wet weather discharges of deicing fluid or anti-icingfluid.Any non-stormwater discharges not covered a permit musteither to be eliminated or permitted.The LPDES MSGP does not authorize dry weather dischargesof deicing/anti-icing chemicals21

Potential Pollutant SourcesSWPPP Section 3.4 Activities washing outside of a WashRack such as:– building wash down,– pressure washing,– stationary equipment washing Only water can be utilized. Otherwise prior notification to LACrequired.– All storm drains discharge directly toBayou Vermillon or Tortue. Including hangar floor drains– Any discharge other than only watermust be permitted with the LDEQ.22

Measures and ControlsSWPPP Chapter 4MSGP Section 3.1 All facilities must comply with BMPs.The permittee must regularly inspect, test, maintain, and repair all industrial equipmentand systems to avoid situations that may result in leaks, spills, and other releases ofpollutants.The permittee must maintain all control measures required by this permit in effectiveoperating condition.Non-structural control measures must also be diligently maintained– Spill response supplies available, personnel appropriately trained, etc.If the permittee finds that control measures need to be replaced or repaired, thepermittee must make the necessary repairs or modifications as expeditiously aspracticable All facilities at LFT are expected to implement the entire listof BMPs as applicable to their operations (Appendix E).23

Measures and ControlsSWPPP Chapter 4 Deicing and Anti-Icing Chemical Use Monthly Deicing/Anti-Icing ChemicalUse Record Form (Appendix F.4)– Starting in January 2021 the mustme completed and submittedmonthlyMSGP Section 6.S.2Facilities which conduct deicing operations shall maintain a record of the typesof chemicals (including the Safety Data Sheets (SDS) used and the monthlyquantities, either as measured or, in the absence of metering, using bestestimates.– This includes all deicing chemicals, not just glycols and urea (e.g.,potassium acetate), because large quantities of these otherchemicals can still have an adverse impact on receiving waters.– Deicing operators must provide the above information to theairport authority24

Deicing Fluid Dry weather discharges prohibitedby LDEQ Industrial StormwaterDischarge Permit Issues with discharges towaterways– Oxygen removal which leads to fishkills and bacterial growth– Additives in deicing fluid Corrosion inhibitors, wetting agents,flame retardants, pH buffers, anddispersing agents Produce toxic byproducts that harmfulto fish2

Discharge Permit Requirements Stormwater Permit/Stormwater PollutionPrevention Plan Requirements:– Not enter drains during dry weather– Conduct activities away from inlets– Unusable fluid should be recycled– Change in deicing fluid type provide SDS.– Activities must be conducted indesignated deicing area3

Designated Deicing Area4

5

Designated Deicing Area6

7

Discharge Permit Requirements Runoff control measuresshould be implementedwhere feasible:– plug-and-pump;– using vacuum/collectiontrucks;– recycling collected deicingfluid; and– directing runoff into vegetativeareas for infiltration.8

Discharge Permit Requirements Provide annualsummary with type,dilution and quantityutilized monthly.– Annual TenantDeicing/Anti-icingChemicals Usage andStorage Form Due 1/319

Measures and ControlsSWPPP Chapter 4.2.1 Good Housekeeping– Using drip pans or absorbents to catch fluidleaks– Storing equipment and materials under coverin centralized areas to the extent practicable– Performing maintenance activities under cover– Promptly cleaning spills and leaks using drymethods– Keeping culverts, drains, dikes, and trenchesclear of debris– Training EmployeesMSGP Section 3.1.2The permittee must keep clean all exposed areas that are potential sources of pollutants, usingsuch measures as sweeping at regular intervals, keeping materials orderly and labeled, andstoring materials in appropriate containers. Measures must also include a schedule for regularpickup and disposal of garbage and waste materials and routine inspections for leaks andconditions of drums, inks, and containers. Common problem areas include loading docks, the areaaround trash containers and storage areas.26

Measures and ControlsMSGP Section 3.1.6There shall be no discharge of floating solids or visible foamexcept in trace amounts, oil or oily materials, nor toxicmaterials in quantities that are toxic to aquatic organisms.There shall be no visible sheen or stains attributable to thisdischarge.MSGP Section 3.1.10The permittee must intercept or keep exposed areas free ofwaste, garbage, and floatable debris to ensure that thesematerials are not discharged to receiving waters.MSGP Section 3.1.11Minimization of dust generation and off-site tracking of raw,final, or waste materials or sediments, including tracking orblowing of these materials from no exposure areas toexposed areas, is required.27

Measures and ControlsSWPPP Chapter 4.2.2 Preventative Maintenance– Examples of equipment needing preventive maintenance: Tank valves or gauges;Oil Water Separators;Seals and valves on mobile fueling equipment; andSecondary containment around fuel storage areas. Preventive maintenance program Includes:– Identify equipment that may have a spill or release;– Adjust, repair, or replace equipment in a timely manner; and– Keep secondary containment areas free of oil or other contaminants.MSGP Section 3.1.3The permittee must regularly inspect, test, maintain, and repair all industrial equipment and systems to avoid situations that may result inleaks, spills, and other releases of pollutants in storm water discharged to receiving waters. The permittee must maintain all control measuresthat are used to achieve the effluent limits required by this permit in effective operating condition. Non-structural control measures must alsobe diligently maintained (e.g., spill response supplies available, personnel appropriately trained). If the permittee finds that control measuresneed to be replaced or repaired, the permittee must make the necessary repairs or modifications as expeditiously as practicable.28

Measures and ControlsSWPPP Chapter 4.2.3 Spill Prevention and Response– Identifying areas for potential leaks orspills;– Developing and conducting training;– Containing and cleaning up leaks andspills as soon as possible.– Installing secondary containment;– Properly disposing of any spilledproduct or wastes– Properly labeling containers; and– Containers should be stored under acovered area where feasible.MSGP Section 3.1.4The permittee must minimize the potential for leaks, spills and other releasesthat may be exposed to storm water and develop plans for effective responseto such spills if or when they occur. At a minimum, the permittee mustimplement the following Procedures for plainly labeling containers,Preventative measures and release response and notification procedures.29

Best Management PracticesSpill Prevention and ResponseLDEQ Industrial MSGP Permit Section 3.1.4 The permittee must minimize the potential for leaks, spills and otherreleases that may be exposed to storm water and develop plans foreffective response to such spills if or when they occur. At a minimum, the permittee must implement the following:– Procedures for expeditiously stopping, containing, and cleaning upleaks, spills, and other releases.– Employees who may cause, detect, or respond to a spill or leak must betrained in these procedures and have necessary spill responseequipment available.– Procedures for notification of appropriate facility personnel,emergency response agencies, and regulatory agencies. Where a leak,spill, or other release containing a hazardous substance or oil in anamount equal to or in excess of a RQ established1

Best Management PracticesSpill Prevention and Response The following BMPs have been implemented.– Developing and conducting training on proper spillclean-up– Providing proper personal protective equipment(PPE);– Containing and cleaning up leaks and spills as soon aspossible.– Installing secondary containment;– Disposing of any wastes according to applicableregulations– Properly label containers; and– Drums containing liquids are stored under cover2

Best Management PracticesSPCC Requirements ReviewFederal Regs Facilities where the aboveground storage capacity of oil is equal to orgreater than 1,320 gallons oils in any kind or any form, including:– Petroleum based oils, greases, fuels– Vegetable/seed oils, animal fats– Synthetic oils, mineral oils– Other greases & oilsState Regs Facilities where the aboveground storage capacity of regulatedsubstances (e.g. MEK, acetone, toluene, and ethylene glycol) is equalto or greater than 1,320 gallons for two or more containers in acommon storage area or equal to or greater than 660 gallons for anindividual containerTenants that meet the volume applicability requirements must developand maintain their own SPCC Plan.31

Oil Storage Bulk Storage – Any container used tostore oil. These containers are used forstorage of oil prior to use, while beingused, or prior to further distribution– Examples: Fuel ASTs, emergencygenerator belly tank, 55-gallon drums,Used Oil ASTs Oil-filled operational equipment – Anyequipment that includes an oil storagecontainer (or multiple containers) inwhich the oil is present of the apparatusor the equipment.– Examples: elevators, transformers4

Best Management PracticesSPCC Requirements Review All oil-handling personnel must receive training as perthe SPCC plan annually LFT provides this annual training to tenant andoperator representatives. It is the responsibility of thetenants and operators with SPCC Plans to train theiroil-handling personnel that have SPCC implementationresponsibilities.48

SPCC Plan Amendments and ReviewSPCC Plan Section 1.5 and 1.6 The SPCC Plan must be amended for the site when there is a change in the site design, construction,operation, or maintenance that affects the potential for a discharge.– Some examples include: adding containers; replacement, reconstruction, or movement ofcontainers; reconstruction, replacement, or installation of piping systems; altering secondarycontainment structures; changes of product or service; or revision of standard operation ormaintenance procedures. The SPCC Plan must be amended when the facility has a discharge of more than 1,000 gallons of oil in asingle discharge or has discharged more than 42 gallons of oil each in two discharges occurring within anytwelve-month period Needed amendments shall be implemented prior to or concurrent with the facility modification. At a minimum, a review and evaluation shall be conducted once every five years from the date of the lastfive year review. All reviews and evaluations conducted must be documented, and a statement must be signed After the review and evaluation, if needed, the SPCC Plan must be amended within 90 days andimplemented as soon as possible and within six months6

Discharge Prevention MeasuresSPCC Plan Section 2.1.5 Perform preventive maintenance of equipment, secondary containmentsystems, and discharge prevention systems as needed to keep them inproper operating conditions. Maintenance activities are performed indoors or undercover to thegreatest extent practicable; Recovery of any solvents, waste fuels and oils, and other potentialpollutant sources (fuel filters, oil filters, etc.) is performed by containingand storing the materials in dedicated drums and/or tanks for off-siteremoval; Inspections are conducted to detect and prevent potential spills; and Annual personnel training programs7

Procedures for Routine Products HandlingSPCC Plan Section 2.1.6 and 2.1.5 Spill response equipment (absorbent materials, booms, shovels, etc.) should be quickly deployedonce a spill or leak is detected; Containment areas should be inspected prior to discharge of any accumulated rainwater; Personnel should utilize equipment with care during loading, unloading, and transfer operations. Ensure that vendors understand the site layout, know the protocol for entering the facility andunloading product, and have the necessary equipment to respond to a discharge. All transfers take place only in the designated areas. Personnel remain with the vehicle at all times while fuel is being transferred and actively monitorliquid level. Positioning and/or backing of trucks are directed Loading and unloading operations procedures should be followed8

Procedures for Routine Products HandlingSPCC Plan Section 2.1.6 and App D9

Discharge CountermeasuresSPCC Plan Section 2.1.8 and 3.3.10 State and federal laws prohibit the uncontrolled discharge of oil togroundwater, surface water, or soil. It is the responsibility of each person to assist in spill prevention bybeing observant for signs of potential spills. All visible discharges should be cleaned up promptly. If any issues exist that are causing the discharge, it should becorrected in a timely manner to prevent further releases of oil. Accumulations of oil should be promptly removed from diked areas. Personnel may reduce or eliminate the risk of spills by taking directaction to correct the situation Daily as part of normal site operations be observant for signs ofdeterioration or leaks.10

Disposal MethodsSPCC Plan Section 2.1.9 Discharge material and discharge cleanup material shallbe disposed of off-site in accordance with all applicableregulations.– Exact means of disposal will depend upon the nature andvolume of the contaminated material. Soils and other solids should be placed in drums or rolloff boxes, as appropriate. Any liquids should be placed in drums or collected with avacuum tank truck and placed in a tank, if needed. Collected materials will be labeled, characterized, anddisposed/recycled. Tenants and Contractors are responsible for cleaning upof spills that they cause and for the proper disposal ofused spill cleanup materials that they generate.11

Best Management PracticesSpill Prevention and ResponseLAC’s SPCC Plan Section 2.1.5 Discharge Prevention Measures– It is the responsibility of each person to assist in spill prevention bybeing observant for signs of potential spills.– If any issues exist that are causing the discharge, it should becorrected in a timely manner to prevent further releases of oil.– Spill response equipment should be kept on hand at all times andquickly deployed once a spill or leak is detected.– All visible discharges should be cleaned up promptly.– Perform preventive maintenance of equipment, secondarycontainment systems, and discharge prevention systems as neededto keep them in proper operating conditions.– Utilize equipment with care during loading, unloading, and transferoperations.– Remain with the vehicle at all times while fuel is being transferredand actively monitor liquid level.12

Spill Reporting and ResponseSPCC Plan Section 2.1.11, 2.1.12 and App D Types of spills– Emergency Condition any condition which could reasonably be expected to endanger the health and safety of thepublic, cause significant adverse impact to the land, water or air environment, or cause severedamage to property.– Non Emergency All other spills Spill Response Steps– Step 1 Assess Risk Determine the risks and respond accordingly. If the situation is an emergency or is not safe forpersonnel to contain or stop the spill proceed directly to step 4. Since each spill scenario is different personnel should use judgment to determine whether tofirst contain the spill, stop the source, or notify Emergency Coordinators If needed the container label or the Safety Data Sheet (SDS) should be consulted for primarydangers posed to responders and the environment.–Step 2 Contain Spill Limit the spill area to prevent the spill from spreading Spill should be stopped before it impacts a water source (sheen on water is reportable) byminimizing the spill area and protecting drains in area.– Blocking, diverting, or confining the spill through placement of booms or pads or otherabsorbent material, digging a diversion ditch, or building soil berm.– If the spill reaches surface water, booms and pads should be placed in the water tocontain the release13

Spill Reporting and ResponseSPCC Plan Section 2.1.11, 2.1.12 and App D Spill Response Steps (continued)– Step 3 Stop Source Determine the source of the discharge, and if safe to do so, immediatelystop the source– Ex. If fueling equipment or hoses are found to be causing a spill theemergency fuel shutoff should be operated immediately.– Ex. Simply righting a container or plugging a leak from a damagedcontainer–Step 4 Assess Incident and Verbal Notifications Notify your Emergency Coordinator and LAC– Emergency Coordinator will determine the type and quantity ofmaterial spilled and if the incident was considered an emergency asdefined above. They will also determine if the spill exceeded areportable quantity.– LAC 24hr contact number AVCOM 337-266-4461 (on back of airportbadge)–Step 5 Cleanup Once the spill is confined and the leak has been stopped, the situationshould be reassess and a plan of action developed for implementing thespill cleanup. Spilled materials should be recovered and wastes appropriatelycontainerized.14

Spill Reporting and ResponseSPCC Plan Section 2.1.11, 2.1.12 and App D– Step 6 Decontamination The site, personnel, and equipment should be decontaminated by removing or neutralizing thehazardous materials that have accumulated during the spill. This may involve removing anddisposing of contaminated media, such as soil, that was exposed during the spill incidentRegulatory Reporting Requirements– Emergency Condition Report immediately to Louisiana State Police (LSP) at (225) 925-6595 and Lafayette Parish LocalEmergency Planning Committee at (337) 291-5075 Notify the National Response Center (NRC) at (800) 424- 8802as soon as you acquireknowledge of the release. Notify LDEQ Office of Environmental Compliance Single Point of Contact (SPOC) within 1 hr at(225) 765-0634 or (225) 342-1324– Nonemergency Condition and Exceed a Reportable Quantity Notify the NRC as soon as you acquire knowledge of the release. Report immediately to LSP and Lafayette Parish Local Emergency Planning Committee– If the release meets or exceeds the RQ and escapes the facility or– If it is a release of flammable liquids in excess of 13.5 gallons which leaves the site Notify LDEQ Office of Environmental Compliance within 24hours after learning of the release15

Spill Reporting and ResponseSPCC Plan Section 2.1.11, 2.1.12 and App D Regulatory Written Notifications– LSP Written Notice Facilities must also submit follow-up written reports for reportabl

Stormwater Pollution Prevention Team. SWPPP Section 2.3 The Team Members and Responsibilities -Appendix C.1 MSGP Section 4.3.1. The SWPPP must identify the name or title and individual responsibilities of each of the facility’s storm water pollution prevention team staff member(s).

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