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G.152 Ensure that water main extensions within the urban growth boundary include ' <br /> adequate consideration of fire flows. <br /> <br />G. 133 SUB, EWEB, and Kainbow Water District, the water providers that currently <br /> control a water source, Shall examine the need for a metropolitan-wide water <br /> master program, recognizing that a metropolitan-wide system will require <br /> establishing standards, as well as coordinated source and delivery systems. <br /> <br />Services to DeVelopment Within the Urban Growth Boundary: Stormwater <br /> <br />Findings <br /> <br />12-4.Historically, stormwater systems in Eugene and Springfield were designed <br /> primarily to control floods. The 1987 re-authorization of the federal Clean Water <br /> Act required, for the first time, local communities to reduce stonnwater pollution <br /> within their municipal storm drainage systems. These requirements applied <br /> . initially to the City of Eugene and subsequent amendments to the Act extended <br /> these requirements to Springfield and Lane County. <br /> <br />135. Administration and enforcement .of the Clean Water Act stormwater provisions <br /> occur at the state level, through National Pollutant Discharge Elimination System <br /> (NPDES) permitting requirements. Applicable jurisdictions are required to obtain <br /> an NPDES stormwater permit from the Oregon Department of Environmental <br /> Quality (DEQ), and prepare a water quality plan outlining the Best Management <br /> Practices (BMPs) to be taken over a five-year permit period for reducing <br /> stormwater pollutants to "the maximum extent practicable." <br /> <br /> 146. Stormwater quality improvement facilities are most efficient and effective at <br /> intercepting and removing pollutants when they are close to the source of the <br /> pollutants and treat relatively small volumes of runoff. <br /> <br /> 137. The Clean Water Act requires states to assess the quality of their surface waters <br /> every three years, and to list those waters which do not meet adopted water <br /> quality standards. The Willamette River and other water bodies have been listed <br /> as not meeting the standards for temperature and bacteria. This will require the <br /> development of Total Maximum Daily Loads (TMDLs) for these pollutants, and <br /> an allocation to point and non-point sources.. <br /> <br /> 168. The listing of Spring Chinook Salmon as a threatened species in the Upper <br /> Willamette River requires the application of Endangered Species Act (ESA) <br /> provisions to the salmon's habitat in the McKeuz~e and Willamette Rivers. The <br /> decline in the Chinook salmon has been attributed to such factors as destruction <br /> of habitat through channelization and revetment of river banks, non-point source <br /> pollution, alterations of natural hydrograph by increased impervious surfaces in <br /> the basin, and degradation of natural functions of riparian lands due to removal or <br /> alteration of indigenous vegetation. <br /> <br /> Appendix Aa Page 7 1-17 <br /> <br /> <br />