From Senate Finance Committee Report November 18, 2011 |
For the last three weeks of this month The Virginia Department of Conservation and Recreation, DCR, is holding a
series of public meetings on the Phase II of Virginia’s Chesapeake Bay Total
Maximum Daily Load, TMDL, Watershed Implementation Plan (WIP) across the state. Meetings
are scheduled in Richmond on May 23; Eastern Shore on May 23; Ruther Glen on
May 30; Covington on May 30; and Harrisonburg on May 31. For more
information, call the DCR,
Richmond office (804-786-1712).
The Phase II WIP was submitted to EPA on March 30 and opened
a formal public comment period on that will conclude on May 31. The DCR
planned a total of 8 meetings beginning on May 9th in Chesapeake, VA to provide
a brief update on the status of the Phase II WIP, the next steps in the
Chesapeake Bay TMDL planning process and to provide local governments, planning
district commissions, soil and water conservation districts and other
stakeholders with an opportunity to comment on the Phase II WIP. The
meetings were held with little publicity or advance notice.
On Tuesday, May 15th 2012 I attended the meeting in Prince
William County in a very overcrowded
meeting room. If you missed the meeting,
don’t worry about it, DCR plans to put the presentation on line and all the
details covered were included in the slides and there is still time to attend another meeting. Check the TMDL Homepage to see the presentation. The meeting was opened by Marc Aveni of Prince William County who
had taken the time to personally call me to tell me about the meeting because I
had called his office to ask if he knew when the meetings were planned. James Davis-Martin of DCR presented the
overview of the WIP Phase II.
About half of the land area of Virginia is drained by the
creeks, streams and rivers that comprise the Chesapeake Bay watershed, and
two-thirds of the state's population lives within the watershed. Chesapeake Bay
pollution diet, the Total Maximum Daily Load (TMDL) of nitrogen, phosphorus and
sediment was mandated by the EPA to the six Chesapeake Bay Watershed states
(Virginia, Maryland, Delaware, New York, Pennsylvania and West Virginia) and
the District of the Columbia. The Chesapeake Bay TMDL and the Watershed Implementation Plans (WIP) Phase I and II are
designed to ensure that all pollution control measures needed to fully restore
the Bay and its tidal rivers are in place by 2025, with at least 60 % of the pollution control measures called best management practices, BMPs, completed by 2017. While it will take years after 2025 for the Bay and its
tributaries to fully heal, EPA expects and their computer model predicts that
once the required BMPs are in place there will be gradual and continued
improvement in water quality as BMPs reduce the nutrient and sediment run off
and better control storm water so that the Chesapeake Bay ecosystem can heal
itself.
The TMDL sets a total Chesapeake Bay watershed limit for the
six states and Washington DC of 185.9 million pounds of nitrogen, 12.5 million
pounds of phosphorus and 6.45 billion pounds of sediment per year. The Virginia
TMDL is 53.4 million pounds of nitrogen, 5.4 million pounds of phosphorus and
2.6 billion pounds of sediment per year. That translates into a 21% reduction
of nitrogen and sediment and a 25% reduction in phosphorus from 2009 the base
year. The Virginia TMDL is further broken down into the 39 segments of the river
basins that are in Virginia and EPA established a specific TMDL for each
segment that must be met. To develop the Phase II WIP which required Virginia
to identify how the counties and towns will implement the WIP, Virginia had the Department of Conservation and
Recreation (DCR) staff subdivide the TMDL allocation from the 39 segments to
the local government (county and town level). Each community was asked to input
land use data that was not in agreement with the federally supplied data, catalog
existing BMPs, develop implementation strategies and
identify resource needs.
Many of the smaller communities did not have the data or
resources to even know if the land use data supplied by EPA was accurate. However,
the larger communities and cities were able to provide much more detailed
information, but that information is not currently publicly available. The northern Virginia communities were unable to obtain approval of the planned strategies from the county elected officials before the submission deadline. In addition, 1.7 million acres (12.3%) of the Virginia portion of
the Chesapeake Bay Watershed is federal land. Though this federal land includes
the Jefferson National Forest, it also includes military bases and land
controlled by 12 federal departments. The Virginia DCR plans to develop a memorandum
of understanding, MOU, with the Department of Defense to develop a plan for
their compliance with the TMDL and then extend that MOU to the other agencies. Several of the federal departments did not respond to the Virginia DCR request.
The Phase II WIP drove the planning process for compliance
with the TMDL down to the local level. This past legislative session, the
Virginia legislature passed several bills to facilitate compliance with the federal
mandate. HB 176 and SB 77 Nutrient credit certification; regulations. HB 932 Voluntary Nutrient Management Plan
Program; DCR to develop training and certification program. HB 1009 Land-disturbing activities; service of order for violation. HB
1065 Erosion & Sediment Control Stormwater, & Chesapeake Bay
Preservation Acts; integration of all related programs. Previously, the Virginia General Assembly passed SB 1831 that
bans phosphorus in most lawn fertilizers and more tightly restricts the use of
fertilizer by professional lawn and turf service companies. The Stormwater
Regulations, 4VAC50-60, finally went
into effect on September 13, 2011 after a difficult journey. In addition, the James
River Study was incorporated into the WIP.
From Senate Finance Committee Report 2011 |
The Chesapeake Bay TMDL and WIPs are a continuation of work
begun with the 1983 Chesapeake Bay Agreement, Virginia’s 1998 Water Quality
Improvement Act and the 2005 Tributary Strategies (designated in the chart above as TS). Over the years substantial
improvement has been made in upgrading waste water treatment plants though many
improvements to the combined sewer systems in Richmond and Lynchburg still need
to be addressed. Also, significant progress has been made in implementing
agricultural BMPs through the cost share program. Virginia’s nitrogen and
Phosphorus loads into the Chesapeake Bay have fallen since 1985, but we have
failed to meet the promised reductions under the various acts over the years.
So, now under the Chesapeake Bay TMDL EPA can impose “backstops” to ensure that
goals are met.
EPA has legal authority to regulate point source releases or
contaminants and pollutants- wastewater, industrial, and municipal separate
stormwater system (MS4), and concentrated animal feeding operation permits. If
Virginia fails to meet the goals set under the TMDL in other areas (as identified
under the Phase II WIP), EPA will reduce the allowable releases under the
permits to make up the difference. In some cases these back stock measures
would require an additional layer of treatment. In short this would be the most
expensive way to meet the TMDL, so it represents a good "stick." The best estimate of the cost to meet the TMDL (without EPA imposing “backstop”punishment measures) was the report prepared by the Virginia Senate Finance Committee at the end of 2011. They estimated that the total cost complying with the TMDL
over the next 7-13 years will be $13.6 billion to $15.7 billion paid for by
individual home owners in the case of septic system upgrades, water and sewage
rate payers in the form of increased rates, property owners in the form of
higher stormwater management fees and tax rate, state government and VDOT who
get their funds from tax payers and local governments who also get their funds
from tax payers.
So, that big number will be paid for directly and indirectly by
us (no matter what promises are made by local politicians) and someday soon the Chesapeake Bay will be clean. Like all estuaries the
Bay is an incredibly complex ecosystem that we are only beginning to
understand. Estuaries are very productive ecosystems and habitats. The Chesapeake
Bay serves as a nursery ground for the fish and shellfish industry and protects
the coast from storm surges and filters pollution. The estuary filters water
that is carrying nutrients and contaminants from the surrounding watershed,
protecting and restoring our drinking water supplies, the commercial oyster
harvest and the beauty and ecological balance of the largest estuary in the
United States.
"So, that big number will be paid for directly and indirectly by us (no matter what promises are made by local politicians) and someday soon the Chesapeake Bay will be clean."
ReplyDeleteGreat quote, and people need to understand this. WE are generating this pollution... whether it is from runoff from roads, buildings, driveways or pollution coming from agriculture that makes food we eat.. WE are why this pollution diet is needed, and WE will bear the cost.
The consumer and taxpayer will shoulder this burden because we all have been the source of the problem.
$15 billion... sure sounds like a large chunk of change! I guess it's not that bad if its spread over the next 10-15 years...
ReplyDelete