CC - Item 4A - Authorization To Continue Participation In The Coalition For Practical Regulation Of Stormwater Dischargestaf epor
TO: HONORABLE MAYOR .
AND MEMBERS
ROSEMEAD CITY COUNCIL
FROM: FRANK G. TRIPEPI, CITY MANAGER
DATE: DECEMBER 12, 2000
RE: AUTHORIZATION TO CONTINUE PARTICIPATION IN THE COALITION FOR
PRACTICAL REGULATION OF STORMWATER DISCHARGE
At the regular March 28, 2000 meeting, the City Council adopted Resolution No. 00-13 supporting
the City of Signal Hill's petition that appealed an action by the Los Angeles Regional.Water Quality
Control Board that imposed more restrictive new development standards for stormwater clean-up.
On April 11, 2000, the Council took follow-up action to join Signal Hill and other effected cities in
the appeal. Additionally, the Council approved the expenditure of an amount not to exceed $2,500 to
cover expenses for professional services, presentation development and incidental travel. The appeal
to the State Water Quality Control Board was only partially successful and the next opportunity for
addressing stormwater measures is during the upcoming renewal of the NPDES Permit. The
Regional Board requires that the NPDES permit be renewed every five years and the County of Los
Angeles is currently drafting the new NPDES permit with the Regional Board.
The original group of petitioning cities has now grown to thirty-three and is called the Coalition for
Practical Regulation. The Coalition is managed by a Steering Committee that consists of
councilmembers, city managers, public works directors, and technical staff. The Coalition has
determined that it needs to actively participate in the NPDES permit review process as well as the
Trash TMDL (Total Maximum Daily Loading) Order. The Coalition's proposed work plan includes
legal and technical support to member cities that will necessitate assessing each city an additional
$10,000 (Note: Adequate funding is available in the adopted city budget for this activity under the
NPDES program - 4720-4260 Fund 01) for the current period through December 31, 2001. The
Coalition is also looking ahead to drafting legislation for statewide standardization of TMDL and
state funding for implementation. Membership does not commit Rosemead to an), legal action or
petition.
RECOMMENDATION:
Staff recommends that the City Council authorize continued participation in the Coalition for.
Practical Regulation.
r
DEC ~ 2 2000
J. rEh
November 16, 2000
Bellflower -
-
Bell Gardens
MEMORANDUM .
Burbank
"
Cerritos
TO: CITY MANAGERS
Commerce
LOS ANGELES COUNTY
Compton
Diamond Bar
FROM: KENNETH C. FARFSING
Downey
CITY MANAGER
Hawaiian Gardens
CITY OF SIGNAL HILL.
Huntington Park
Industry
SUBJECT: NPDES PERMIT- RESULTS OF COUNTYWIDE
Irwindale
MEETING - REQUEST FOR MEMBERSHIP
"La Canada Flintridge
La Mirada
This memo is provided as a brief update for those managers and staff
La Verne
who could not attend the countywide briefing on the new NPDES
Lakewood
permit held in the City of Downey on November 14th. Attached to this
Lawndale
memo are the important informational handouts from the.meeting. We
Monrovia
are requesting that you consider either joining the Coalition or
Montebello
continuing your membership. We request a response by January 2,
Palos Verdes Estates
2001, since the review of the new NPDES permit is currently
Paramount
underway.
Pico Rivera
.
Pomona
Besides the original .33 cities in the Coalition, 14 additional cities
Rancho Palos Verdes
attended the briefing. A portion of the meeting was devoted to a
Rosemead
briefing on the major problems that cities face with the new NPDES
Santa Fe Springs
permit and the Trash TMDL Order. There was a general consensus
San Gabriel
that the Coalition needs to move to the next phase review and
Signal Hill
response to the NPDES permit and the Trash TMDL Order. We
South Gate
discussed a proposed budget and work program that will support the
Vernon
Walnut
Coalition's activities for the next year.
Whittier
The work program includes providing legal and technical support to
the member cities as we deal with the new permit and the TMDL
orders. We are also anticipating the need for legislation. We have
broken down the $10,000 annual membership fee into two fiscal
year payments. The first six-month period is January 1, 2001, to June
30, 2001. The second six-month period would begin July 1, 2001. -
I have attached a draft staff report, if you need supporting materials to'
discuss this request with your City Council. Also attached is a draft
commitment letter that you need to return if you wish to continue your
participation in the Coalition or if you are interested in joining. Thank
you for the time spent in studying this request and the materials.
Please do not hesitate to contact me at 562-989-7302 if you have any
questions or need additional information. I can be reached by e-mail
at kfarfsing(o)ci-signal-hill.ca.us.
c: Steering Committee
Attachments
Coalition for Practical Regulation
Draft Budget - NPDES Permit Review
January 1, 2001 to December 31, 2001
Bellflower
Bell Gardens
- Expenses
Burbank
Cerritos
Work Item/Task
Cost
Commerce
Compton
Coalition Support/ Management Services
$60,000
Diamond Bar
Downey
Legal Support
Hawaiian Gardens
-
Huntington Park.
NPDES Permit Review $30,000
Industry
TMDL Order " $20,000
Steering Committee Meetings $20,000
Irwindale
(16 meetings)
La Canada Flintridge
Coordination of cities/ resource
La Mirada
and support for individual city staff $30,000
La Verne
Legislation/ drafting, committee
Lakewood
attendance/ $50,000
Lawndale
Monrovia
Subtotal $150,000 $150,000
Montebello
Palos Verdes Estates
NPDES Permit Fee (optional)"
$10,000
Paramount
Pico Rivera
Legislative Support (Jan through June 30")
$45,000
Pomona
9 month retainer at $5,000 per month for
Rancho Palos Verdes
Sacramento support only
Rosemead
Santa Fe Springs
Technical Support/ Expert Testimony
$35,000
San Gabriel
Signal Hill
Copy charges, travel expenses, misc
$10,000
South Gate
Contingency
$35,000
Vernon
Walnut
Public Relations
(donated)
Whittier
Total $345,000
Revenues
33 member cities x $10,454,= $345,000
2 payments of $5,000 (1st payment Dec 15 In and 2nd
payment due July 15, 2001)
November 1 2000
Ken Farfsing, City Manager
City of Signal Hill
2174 Cherry Avenue
Signal Hill, CA 90806
Re: CPR Membership
Dear Mr. Farfsing:
D FT
The City of is interested in participating in the Coalition for
Practical. Regulation (CPR). The Coalition was formed to represent Los
Angeles County cities in the upcoming review of the NPDES Permit, which is
currently being drafted by Los Angeles County for submittal to the Regional
Water Quality Control Board. We understand that CPR originally consisted of
33 cities and that an effort is underway to continue the organization and to
encourage other cities to join.
The anticipated Coalition activities include coordination of the cities comments,
legal review of the NPDES Permit and proposed legislation. CPR is guided by a
Steering Committee consisting of elected officials, city managers and public
works officials. CPR will also be reviewing and commenting on the upcoming
Trash TMDL Order to be issued by the Regional Board. The CPR Steering
Committee will provide periodic updates to the member cities.
CPR has an estimated budget of $345,000 during the next, one-year period.
The Coalition's work is scheduled to begin on December 15, 2000. We
understand that the per-city membership fee will be $10,000. Additionally, we
understand that the first six-month invoice will be $5,000 and, if necessary, the
second $5,000 invoice will be sent out on July 15, 2001, to cover the remaining
six months of the work program. We also understand that the CPR budget may
be modified based on the number of cities that eventually join and by the CPR
Steering Committee. The Coalition will keep us informed of changes to the
overall budget and membership fee.
1
We understand that the City of Signal Hill will retain the consultants necessary
to carry out the Coalition's work plan and is planning on being reimbursed for
these expenses from the membership fee. This letter is not a binding
commitment of the City and our CPR membership can be withdrawn at any
time. We understand if we withdraw after payment of the membership fee, that
the fee will not.be reimbursed. This letter does not commit our City to any legal
action or petition anticipated by the Steering Committee and we understand that
the City of Signal Hill is the sole client for purposes of all legal work anticipated
at this time.
Sincerely,
City Manager
}
November 1 2000
MEMORANDUM
TO: HONORABLE MAYOR
AND MEMBERS OF THE CITY COUNCIL
FROM:
SUBJECT: NPDES PERMIT RENEWAL/ COALITION FOR PRACTICAL
REGULATION
Summary:
Los Angeles County is in the process of drafting the new National Pollution
Discharge Elimination System,(NPDES) permit. A group of Los Angeles County
cities are concerned that the terms of the permit will mandate expensive new
municipal programs. This report explores the continuation of a Coalition of local
cities organized to respond to the permit renewal. The Coalition Steering .
Committee is currently asking the cities to renew. their membership and for other
Los Angeles County cities to join the effort.
Request:
Council review and comment is requested.
Recommendation:
Council should authorize the City to (continue to participate in or join) the
Coalition for Practical Regulation (Coalition).
Fiscal Impact:
The Coalition is requesting $10,000 in membership dues, spread over two fiscal
years. The first $5,000 payment would be made this fiscal year. If necessary,
the second $5,000 payment would be made on July 1, 2001.
Background:
A coalition of 33 Los Angeles cities was formed in February of this year to
respond to storm water regulations prepared by the Los Angeles Regional Water
Quality Board. The Coalition is managed by a Steering Committee, consisting of
council members, city managers, public works officials and technical staff. A
copy of the Coalition members and Steering Committee is attached to this memo.
The Coalition petitioned the State Water Quality Control Board, requesting
modifications to storm water mandates imposed by the Regional Board in June of
this year. Known as SUSMPS or Standard Urban Storm Water Mitigation Plans,
they required new storm water measures for development. The State Board ruled
on the Coalition's petition in October. All Los Angeles County cities are required
to modify their SUSMP ordinances by February 15, 2001, based on the results of
the petition.
SUSMPS are outgrowths of the NPDES permit granted in 1996. The Federal
Clean Water Act was amended in 1987 to require NPDES permits for all storm
drain operators: Los Angeles County became the principal permittee under the
NPDES permit and the cities were permittees under the countywide permit. A
.second NPDES permit was negotiated with the Regional Board'in 1996. It
contained the requirement of the development of six model programs, including
the requirement to develop the SUSMPS. Besides the SUSMP programs, the
1996 NPDES permit mandated improved street sweeping programs, increased
frequency of storm drain catch basin cleaning, stenciling of storm drain inlets,
increased property inspections, and education programs.
Renewal of the NPDES Permit
The Regional Board requires that the NPDES permit be renewed every five
years. Many cities felt in 1996 that Los Angeles County left them out and
uniformed of the negotiations over the NPDES permit . Cities also felt there was
insensitivity to_the budget impacts of the new programs on the cities. Los
Angeles County is currently drafting the new NPDES permit with the Regional
Board. There are several problems with the new permit:
Terms of the new NPDES permit would be "open ended"
Under the terms of the existing NPDES permit, cities that implement the specified
programs are deemed to be in compliance. Compliance is critical, since it
protects the city from costly environmental litigation and Regional Board fines.
Once you have implemented the NPDES programs, you are relieved from
environmental liability under the Clean Water Act and State laws. Specific
programs were negotiated as terms of the permit in 1996.
The programs under the new NPDES permit are proposed to be "open ended".
A series of new. regulations would be amended into the permit during the next
five-year period. The best example of the "open ended" nature of the permit is
the TMDL (total Maximum Daily Loading) requirements. Total maximum daily
loads of various constituents would be set and measured at city storm drains.
An example is the TMDL dealing with trash in the storm water. There are several
other TMDL's anticipated during the life of the permit - copper in storm water,
dissolved solids, etc. Once cities comply with one regulation, the compliance bar
is moved higher. Cities will continually be shooting at a moving target. .
Compliance may be impossible - Cities would be unnecessarily
exposed to environmental litigation
The new NPDES permit proposes.tying compliance to the results of water testing
and monitoring programs. Many of the program goals have no scientific or public
health basis. For example on the Trash TMDL, the Board is proposing a "zero
tolerance" standard. Cities will be held liable, no matter what programs they
have implemented, and if any trash is found in local storm water. Cities will be
exposed to environmental litigation based on compliance with program goals that
are impossible to achieve.
Goals of the Coaltion
The CPR Steering Committee established several goals.
Support Clean Storm Water - The Coalition supports clean storm water, but
they do not believe that the financial burden should be shifted to the cities. The
Coalition supports working with the Board and other parties to have a reasonable
NPDES permit, however the region cannot afford to clean storm water to
"drinking water quality".
Cities Need A Coordinated Response - The Coalition believes that Los
Angeles County cities need to coordinate their response to the NPDES permit
and stay involved in the permit review and the development of the TMDL's,
including Regional Board hearings. The Coalition can assist the cities in
understanding the proposed permit requirements and in formulating responses.
Regional Solutions - The Los Angeles County Flood Control District was formed
to control storm water and move it efficiently out to the rivers and ocean. They
have funding authority and mechanisms in place to solve the storm water
problems on a regional basis. The Coalition wants to engage the County staff
and the Board of Supervisors to use the District. The Coalition wants to work
with State officials to improve funding for regional solutions.
Legislation - The Coalition supports reasonable changes to the Porter-Cologne
Act, the State regulations on clean water.
Analysis:
The Coalition is proposing a work plan for the six-month period from January 1,
2001, to June 30, 2001. This period would include the technical and legal review
of the new NPDES permit and the Trash TMDL Order for the Los Angeles River.
The Regional Water Quality Control Board has indicated that the Los Angeles
River TMDL will be the "standard" for other regional rivers to follow. This six-
month time period will also involve drafting of legislative amendments to the
Porter-Coigne Act. The initial cost of city membership is $5,000.
The second six-month period, from July 1, 2001,.to December 31, 2001,.will
include continuation of the permit review, if necessary and continuation of the
legislative effort. During this same period of time, the Coalition will provide
support services. A copy of the proposed Coalition budget is attached. The
Coalition will provide periodic updates for member cities.
The Coalition's draft budget is $345,000 during the one-year period. The
Steering Committee will review the work plan and adjust the budget based on the
number of cities that will eventually extend their membership and new cities that
join. The Coalition will keep us informed of changes to overall budget and any
proposed increase in the membership fees.
The City of Signal Hill is retaining the various consultants to complete the work
plan. They plan on being reimbursed for these expenses from the membership
fee. Joining the Coalition is not a binding commitment by the City and our CPR
membership can be withdrawn at any time. Membership does not commit our
City to any legal action or petition anticipated by the Steering Committee.
Attachments: CPR Members
CPR Steering Committee
Authorization Letter
Mayor Bill Wiggins
Amil Gandhy, Interim City Manager
City of Burbank
City of Bell Gardens
Mr. Bruce Feng
Bud Ovrom, City Manager
Public Works Director
City of Burbank
City of Burbank
Art Gallucci, Executive Director
Councilmember Eileen Ansari
City of Cerritos
City of Diamond Bar
Raul T. Romero, City Administrator
Mr. Dezi Alvarez
City of Commerce
Public Works Director
City of Downey
John D. Johnson, City Manager
City of Compton
Mr. Greg Kordnor
Chief Administrative Officer
Terrence L. Belanger, City Manager
City of Huntington Park
City of Diamond Bar
Mr. Patrick West
Gerald M. Caton, City Manager .
City Manager
City of Downey
City of Paramount
Anthony B. Lopez, City Administrator
Mayor Garth G. Gardner
City of Hawaiian Gardens
City of Pico Rivera
Gregory D. Korduner, City Administrator
Councilmember John McTaggart
City of Huntington Park
City of Rancho Palos Verdes
Philip L. Iriarte, City Manager
Mayor Margaret Clark
City of Industry
City of Rosemead
Robert Griego, City Manager
Councilmember Lara Blakely
City of Irwindale
City of Monrovia
Jerry Fulwood, City Manager.
Rich Montevideo
City of La Canada Flintridge
Rutan & Tucker
Gary Sloan, City Manager
Mr. David Smith
City of La Mirada
So.California BIA
Martin R. Lomeli, City Manager
Mayor Pro Tern Larry Forester
City of La Verne
City of Signal Hill
Howard L. Chambers, City Administrator
Mr. Ken Farfsing
City of Lakewood
City Manager
M. Evangeline Schock, City Manager
Mr. Ed Schroder
City of Lawndale
Public Works Director
Donald R. Hopper, City Manager
Michael J. Egan, City Administrator
City of Monrovia
City of Bellflower
Richard Torres, City Administrator
City of Montebello
James Hendrickson, City Manager
City of Palos Verdes Estates
Dennis Courtemarche, City Manager
City of Pico Rivera
Douglas B. Dunlap, City Manager
City of Pomona
Lester G. Evans, City Manager
City of Rancho Palos Verdes
Frank G. Tripepi, City Manager
City of Rosemead
P. Michael Paules, City Manager
City of San Gabriel
Frederick W. Latham, City Manager
City of Santa Fe Springs
Andrew G. Pasmant, City Manager
City of South Gate
Bruce V. Malkenhorst, City Administrator
City of Vernon
Jeffrey C. Parker, City Manager
City of Walnut
Steve Helvey, City Manager
City of Whittier
Maria Dadian, Interim City Manager
City of Artesia
Ernie Garcia, City Manager
City of Norwalk
George Caravalho, City Manager
City of Santa Clarita
Sean Joyce, City Manager
City of South Pasadena
Jack Hazelrigg, PhD, Manager
Greater Los Angeles County Vector Control
District
P. Sue Zuhlke
San Gabriel Valley Vector Control District
William R. Kelly, City Manager
City of Arcadia
e
John Davidson, City Administrator
City of Sierra Madre