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CC 2014-10-14_08.j. Approve Sewer System Management Plan p.RROyO O C,P INCORPORATED 9Z * JULY 10. 1911 C, `P. MEMORANDUM 41 F O FtN TO: CITY COUNCIL FROM: GEOFF ENGLISH, PUBLIC WORKS DIRECTOR-74,' BY: SHANE TAYLOR, PUBLIC WORKS SUPERVISOR — UTILITIES SUBJECT: CONSIDERATION TO APPROVE THE SEWER SYSTEM MANAGEMENT PLAN — REV.01 DATE: OCTOBER 14, 2014 RECOMMENDATION: Staff recommends the City Council approve and implement the completed Sewer System .Management Plan (SSMP-Rev.01) prepared in accordance with the State Water Resources Control Board (SWRCB) General Waste Discharge Requirements (GWDR) Order No. 2006-0003-DWQ. IMPACT ON FINANCIAL AND PERSONNEL RESOURCES: A total of $46,000 has been budgeted in the Sewer Fund as part of the ongoing work within FY 2014/15 budget. Approximately 80 staff hours will be required this fiscal year. to administer the Plan. New requirements imposed on public agencies through this State Order will require approximately 60 hours of additional work by City staff that is not funded. This new "un-funded mandate" will involve the preparation and implementation of procedures, process and documentation not previously required by the State Water Resources Control Board. BACKGROUND: On May 2, 2006, the SWRCB adopted Order No. 2006-0003-DWQ, entitled "Statewide General Waste Discharge Requirements for Sanitary Sewer Systems (Discharge Order)." The Discharge Order adds new regulations in the State's effort to reduce Sanitary Sewer Overflows (SSOs). To comply with the Order, the City Council adopted the SSMP on 8/11/09. ANALYSIS OF ISSUES: To continue compliance with the Discharge Order, the City is required to complete'the Sewer System Management Plan (SSMP) 5-year update and recertification. The City's revised SSMP has been prepared per the (SSS-WDR) and includes significant program changes. The SSMP documents the City's Sanitary Sewer System, defines the City's Item 8.j. - Page 1 CITY COUNCIL CONSIDERATION OF APPROVAL OF THE SEWER SYSTEM MANAGEMENT PLAN OCTOBER 14, 2014 PAGE 2 goals for improving its sewer system infrastructure, and establishes an implementation plan and schedule for achieving these goals. There are eleven (11) components of the Plan: 1. Goals; 2. Organization; 3. Legal Authority; 4. Operation and Maintenance; 5. Design and Performance Standards; 6. Overflow Emergency Response Plan; 7. Fats, Oils and Grease (FOG) Control Program; 8. System Evaluation and Capacity Assurance Plan; 9. Monitoring, Measurement, and Program Modification; 10. Sewer System Management Plan Audits; 11. Communication Plan. The City has been operating the. sewer system within the guidelines of the current SSMP. The revised SSMP meets the Discharge Order requirements. The SSMP will help prevent sanitary sewer overflows by proactively implementing system-wide operation, maintenance, and management. ALTERNATIVES: The following alternatives are provided for the Council's consideration: - Approve staff recommendations; approval of the SSMP allows the City of Arroyo Grande to meet the Statewide General WDR and the Discharge Order; - Do not approve staff recommendations; failure to approve will result in non- compliance with the Statewide General WDR and the Discharge Order; - Modify the SSMP and approve staff's recommendation; or - Provide direction to staff. ADVANTAGES: It is advantageous to take action under the staff recommendation. Approval of the SSMP ensures compliance in meeting the State certification as determined by the Statewide General WDR Order No. 2006-0003-DWQ. DISADVANTAGES: No disadvantages have been identified other than expending $46,000 to administer the SSMP. ENVIRONMENTAL REVIEW: In accordance with Section 15278(b)(5) of the California Environmental Quality Act (CEQA) Guidelines, this Council action does not constitute a "project" and is not subject to the requirements of CEQA. Item 8J. - Page 2 CITY COUNCIL CONSIDERATION OF APPROVAL OF THE SEWER SYSTEM.MANAGEMENT PLAN OCTOBER 14, 2014 PAGE 3 PUBLIC NOTIFICATION AND COMMENTS: The Agenda was posted in front of City Hall on Thursday, October 9, 2014. The Agenda and staff report were posted on the City's website on Friday, October 10, 2014. The final plan is available on the City's website for review and comment. No public comments were received. Attachments: 1. Sewer System Management Plan (available at City Hall and the Public Works Corporation Yard for public review) Item 8.j. - Page 3 THIS PAGE INTENTIONALLY LEFT BLANK Item 8.j. - Page 4 Ij CITY OF CAI III: O N I A CITY OF i ARROYO GRANDE Sewer System (" rgnn Management Plan Revision 01 K�( i September 17, 2014 r� a� PREPARED BY WALLACE GROUN r Sewer System Management Plan—Revision 01 SSMP Update and Adoption Record SSMP UPDATE AND ADOPTION RECORD The City of Arroyo Grande's SSMP has undergone the following revisions and formal updates. The creation of the original SSMP and five (5) year updates were approved and adopted by the City Council on the dates identified below: Revision Adoption/ Description of Revision Revision Revision No. Revision and/or Five Year Update Completed By Approved By Date The City developed and adopted a Sewer System Management Plan (SSMP) City Staff and 0 August 11, as required by the 2006 Wallace Group City Council 2009 Sanitary Sewer System (SSS) Orders issued by the State Water Resources Control Board (SWRCB). The SSMP was revised as a result of the 2013 SSMP City Staff and 1 October Audit. This revision also Wallace Group City Council 14, 2014 served as the five (5) year update and was approved by the City Council. City of Arroyo Grande SSMP vai.a,, :udwaai, Sewer System Management Plan—Revision 01 Certification CERTIFICATION I certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate 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 my knowledge and belief, true, accurate, and complete. I am aware that there are significant penalties for submitting false information, including the possibility of fine and imprisonment for knowing violations. Shane Taylor Public Works Supervisor(Utilities) City of Arroyo Grande u� City of Arroyo Grande "W?f+I.P.i4K;lF p,Jtlkry',yf,d.'`+ Sewer System Management Plan—Revision 01 Table of Contents TABLE OF CONTENTS Introduction .....................................................................................................................Intro-1 Element1 —Goals....................................................................................................................1-1 1.1 Regulatory Requirements...................................................................................1-1 1.2 Goals Discussion................................................................................................1-1 Element2—Organization........................................................................................................2-1 2.1 Regulatory Requirements...................................................................................2-1 2.2 Organization Discussion.....................................................................................2-1 2.3 City of Arroyo Grande Organization ...................................................................2-1 2.4 Description of General Responsibilities..............................................................2-2 2.5 Responsibility for SSMP Implementation ...........................................................2-4 2.6 Chain of Communication for Reporting SSO's...................................................2-6 Element 3— Legal Authority....................................................................................................3-1 3.1 Regulatory Requirements...................................................................................3-1 3.2 Inspections and Maintenance.............................................................................3-1 3.3 Design and Construction....................................................................................3-2 3.4 Ensure Access to Privately Owned Portions of the Lateral ................................3-2 3.5 FOG Control .......................................................................................................3-2 3.6 Enforce Violations of its Sewer Ordinance.........................................................3-3 3.7 Sewer Use Fees.................................................................................................3-3 Element 4—Sewer System Management Plan Operations and Maintenance....................4-1 4.1 Regulatory Requirements...................................................................................4-1 4.2 Collection System Map.......................................................................................4-2 4.3 Preventative Operations & Maintenance............................................................4-2 4.4 Rehabilitation and Replacement Program..........................................................4-4 4.5 Capital Improvement Program (CIP) ..................................................................4-5 4.6 Employee Training .............................................................................................4-5 4.7 Equipment and Replacement Inventory .............................................................4-6 Element 5— Design and Performance Standards.................................................................5-1 5.1 Regulatory Requirements...................................................................................5-1 5.2 Design and Construction Standards...................................................................5-1 5.3 Inspection Standards..........................................................................................5-1 Element 6—Overflow Emergency Response Plan ...............................................................6-1 6-1 Regulatory Requirements...................................................................................6-1 6-2 SSO Response...................................................................................................6-2 6-3 Categories and Reporting Timeframes...............................................................6-7 6-4 SSO Impact Mitigation........................................................................................6-8 City of Arroyo Grande SSMP Page TOC-1 Sewer System Management Plan—Revision 01 Table of Contents 6-5 Emergency Operating Productures....................................................................6-9 6-6 OERP Training ...................................................................................................6-9 Element 7— Fats, Oils & Grease Control (FOG) Program ....................................................7-1 7-1 Regulatory Requirements...................................................................................7-1 7-2 FOG Control Program Outreach.........................................................................7-1 7-3 FOG Control Program Discussion......................................................................7-2 7-4 Identification of Grease Problem Areas and Sewer Cleaning ............................7-3 7-5 Legal Authority ...................................................................................................7-3 7-6 Identify HMA.......................................................................................................7-4 7-7 FOG Control Measures ......................................................................................7-4 7-8 FOG Program Funding.......................................................................................7-4 7-9 FOG Characterization ........................................................................................7-5 Element 8—System Evaluation and Capacity Assurance Plan...........................................8-1 8-1 Regulatory Requirements...................................................................................8-1 8-2 System Evaluation and Capacity Assurance Plan..............................................8-1 Element 9— Monitoring, Measurement & Program Modifications.......................................9-1 9-1 Regulatory Requirements...................................................................................9-1 9-2 Establishing and Prioritizing SSMP Activities [WDR D.13(ix)(a)] .......................9-1 9-3 SSMP Implementation Monitoring [WDR D.13(ix)(b)] ........................................9-3 9-4 Preventative Maintenance Program Assessment [WDR D.13(ix)(b)].................9-5 9-5 SSMP Updates [WDR D.13(ix)(d)] .....................................................................9-5 9-6 SSO Trends [WDR D.13(ix)(e)] ..........................................................................9-5 Element 10— Sewer System Management Plan Audits......................................................10-1 10-1 Regulatory Requirements.................................................................................10-1 10-2 SSMP Program Audits .....................................................................................10-1 Element 11 — Communication Plan ......................................................................................11-1 11-1 Regulatory Requirements.................................................................................11-1 11-2 Communication Program..................................................................................11-1 11-3 Staff Training and Communication...................................................................11-1 City of Arroyo Grande SSMP Page TOC-2 Sewer System Management Plan—Revision 01 Table of Contents APPENDICES (at the end of each element) Appendix 1 Goals Appendix 2 Organization Appendix 3 Legal Authority Appendix 4 Sewer System Management Plan Operations and Maintenance Appendix 5 (No Appendix for Element 5) Appendix 6 Sewer System Management Plan OERP Appendix 7 Fats, Oils & Grease Control (FOG) Program Appendix 8 (No Appendix for Element 8) Appendix 9 Monitoring, Measurement & Program Modifications Appendix 10 Sewer System Management Plan Audits Appendix 11 (No Appendix for Element 11) LIST OF FIGURES Figure A: Ariel Map of City of Arroyo Grande................................................................Intro-2 Figure 2-1: City of Arroyo Grande Organizational Chart.......................................................2-2 Figure 2-2: Chain of Communication for Responding to SSO..............................................2-5 Figure 6-1: SSO Reporting Chain of Command ...................................................................6-3 Figure 6-2: Response/Notification Procedure for SSOs .......................................................6-4 Figure 6-3: Plan for Reporting on CIWQS ............................................................................6-6 Figure 7-1: Types of Food Service Establishments in the City of Arroyo Grande.................7-6 LIST OF TABLES Table 2-1: Responsibility of SSMP Implementation by Element..........................................2-4 Table 9-1: SSMP Implementation Management..................................................................9-1 Table 9-2: Number of City SSOs per Indicator per Year .....................................................9-6 Table 10-1: SSMP Audit Ranking Criteria ...........................................................................10-2 Table 10-2: SSMP Audit Schedule......................................................................................10-3 City of Arroyo Grande SSMP Page TOC-3 Sewer System Management Plan—Revision 01 Introduction Introduction Background The City of Arroyo Grande initially prepared a Wastewater Collection System Management Plan in 2006 to comply with requirements of the Central Coast Regional Water Quality Control Board (RWQCB) pursuant to Section 13267 of the California Water Code. The City of Arroyo Grande also complied with RWQCB Sanitary Sewer Overflow (SSO) reporting requirements issued in November 2004 through its enrollment in the reporting program at that time. On May 2, 2006, the State Water Resource Control Board (SWRCB) adopted Order No. 2006- 0003 a new General Waste Discharge Requirement (GWDR) that requires all public wastewater collection system agencies in California with greater than one mile of sewer collection system to develop and implement a Sewer System Management Plan (SSMP). The Order also requires that cities enroll in and begin the reporting of SSOs using the California Integrated Water Quality System (CIWQS), an electronic reporting system. On February 20, 2008, the State Board adopted Order No. WQ 2008-0002 EXEC which amended the monitoring and reporting requirements for the General Statewide Order. On July 30, 2013, the State Board adopted Order No. WQ 2013-0058-EXEC that further amended the monitoring and reporting requirements. This SSMP is being updated pursuant to Order No. 2006-0003, Provision D.14. The organization of this document is consistent with the General Statewide Order. The SSMP includes eleven elements, as follows: 1. Goals 2. Organization 3. Legal Authority 4. Sewer System Management Plan Operations and Maintenance 5. Design and Performance Standards 6. Overflow Emergency Response Plan 7. Fats, Oils & Grease Control (FOG) Program 8. System Evaluation and Capacity Assurance Plan 9. Monitoring, Measurement and Plan Modifications 10. Sewer System Management Plan Program Audits 11. Communication Program System Overview The City of Arroyo Grande is a public agency providing sewage collection services to residential and commercial/institutional establishments. The City maintains 70 miles of sewer main servicing approximately 5,700 residences and 400 commercial/institutional establishments. The City owns and maintains its sewer collection system. The system is connected to a trunk sewer system and wastewater treatment plant (WWTP) that is owned and operated by the South San Luis Obispo County Sanitation District (SSLOCSD). The City of Arroyo Grande is a member agency of the SSLOCSD along with the Oceano Community Services District and the City of Grover Beach. City of Arroyo Grande SSMP Page Intro-1 NMI Sewer System Management Plan—Revision 01 Introduction The City of Arroyo Grande is the largest discharger into the SSLOCSD. The City encompasses 5.45 square miles and has a population of approximately 17,100 people, located by way of latitude 35 degrees 7' 15" North and longitude of 120 degrees 35' 12" West. Figure A: Arial Map of City of Arroyo Grande o � / J r u n r 1 a 1, i /r a 9 t - 9 V *� f The City of Arroyo Grande (City) is governed by a five member council, with each council member serving a four year term. The City Council is an elected body that makes decisions that are in the best interest of the city and its residents. The City Council establishes City policy, setting goals and objectives, approves the annual budget, approves expenditures and performs other related functions. The names of current council members are provided in Appendix 2A. The City is responsible for operation and maintenance of the wastewater collection and transport systems up to the point of discharge into the SSLOCSD trunk system. The City takes this responsibility seriously and is dedicated to protecting the environment to the greatest degree possible. The City insures the collection system is protected and utilized properly. The accountability includes preventing overflows, which may include restricting or prohibiting the volume, type, or concentration of wastes added to the system. The primary requirement of the GWDR is the preparation and implementation of a SSMP. By preparing and implementing the procedures in the plan, the potential of sewer spills should decrease. A large portion of the requirements are currently in practice by the City due to years of taking a proactive approach to sewer system management. City of Arroyo Grande SSMP Page Intro-2 NMI lm� Sewer System Management Plan—Revision 01 Element 1 —Goals Element 1 - Goals This SSMP element identifies goals the City of Arroyo Grande has established for the management and maintenance of the sewer system and discusses the role of the SSMP in supporting these goals. These goals provide focus for the City of Arroyo Grande Staff to continue high-quality work and to implement improvements in the management of the wastewater collection system. Element 1: Goals Appendix Supporting information for Element 1 is included in Appendix 1 which contains the following documents: • SWRCB Waste Discharge Requirement Order No. 2006-0003-DWQ • SWRCB Order No. WQ 2008-0002-EXEC • SWRCB Order No. WQ 2013-0058-EXEC 1.1 Regulatory Requirements The summarized requirements for the Goals element of the SSMP are as follows: The Collection system agency must develop goals to properly manage, operate and maintain all parts of its wastewater collection system in order to reduce and prevent SSOs, as well as to mitigate any SSOs that occur. The goals should also address the provisions of adequate capacity to convey peak wastewater flows. 1.2 Goals Discussion The City of Arroyo Grande seeks to provide a dependable and properly maintained system for wastewater collection for its constituents by meeting the following goals: • Be available and responsive to the needs of the public, and work cooperatively with local, state and federal agencies to reduce, mitigate, properly report, and respond to SSOs. • Properly manage and maintain the City of Arroyo Grande public sewer system lines to minimize SSOs. • Identify, prioritize, and continuously renew and replace sewer system lines to maintain reliability. • Implement regular, proactive maintenance of the sewer system to remove roots, debris, sand, and Fats, Oils and Grease (FOG) in areas prone to blockages that may cause SSOs or sewer backups. • Coordinate with South San Luis Obispo County Sanitation District (SSLOCSD) to manage and implement the SSLOCSD Pretreatment Program to protect the treatment plant and the environment. City of Arroyo Grande SSMP Page 1-1 Sewer System Management Plan—Revision 01 Element 1 —Goals APPENDIX 1 City of Arroyo Grande 1-1: S WRCB Waste Discharge Requirement Order No. 2006-0003-DWQ 1-2: SWRCB Order No. WQ 2008-0002-EXEC 1-3: SWCRCB Order No. WQ 2013-0058-EXEC City of Arroyo Grande SSMP Appendix 1-1: STATE WATER RESOURCES CONTROL BOARD ORDER NO. 2006-0003-DWQ STATEWIDE GENERAL WASTE DISCHARGE REQUIREMENTS FOR SANITARY SEWER SYSTEMS The State Water Resources Control Board, hereinafter referred to as "State Water Board", finds that- 1. All federal and state agencies, municipalities, counties, districts, and other public entities that own or operate sanitary sewer systems greater than one mile in length that collect and/or convey untreated or partially treated wastewater to a publicly owned treatment facility in the State of California are required to comply with the terms of this Order. Such entities are hereinafter referred to as "Enrollees". 2. Sanitary sewer overflows (SSOs) are overflows from sanitary sewer systems of domestic wastewater, as well as industrial and commercial wastewater, depending on the pattern of land uses in the area served by the sanitary sewer system. SSOs often contain high levels of suspended solids, pathogenic organisms, toxic pollutants, nutrients, oxygen-demanding organic compounds, oil and grease and other pollutants. SSOs may cause a public nuisance, particularly when raw untreated wastewater is discharged to areas with high public exposure, such as streets or surface waters used for drinking, fishing, or body contact recreation. SSOs may pollute surface or ground waters, threaten public health, adversely affect aquatic life, and impair the recreational use and aesthetic enjoyment of surface waters. 3. Sanitary sewer systems experience periodic failures resulting in discharges that may affect waters of the state. There are many factors (including factors related to geology, design, construction methods and materials, age of the system, population growth, and system operation and maintenance), which affect the likelihood of an SSO. A proactive approach that requires Enrollees to ensure a system-wide operation, maintenance, and management plan is in place will reduce the number and frequency of SSOs within the state. This approach will in turn decrease the risk to human health and the environment caused by SSOs. 4. Major causes of SSOs include: grease blockages, root blockages, sewer line flood damage, manhole structure failures, vandalism, pump station mechanical failures, power outages, excessive storm or ground water inflow/infiltration, debris blockages, sanitary sewer system age and construction material failures, lack of proper operation and maintenance, insufficient capacity and contractor- caused damages. Many SSOs are preventable with adequate and appropriate facilities, source control measures and operation and maintenance of the sanitary sewer system. State Water Resources Control Board Order No. 2006-0003-DWQ Page 2 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 SEWER SYSTEM MANAGEMENT PLANS 5. To facilitate proper funding and management of sanitary sewer systems, each Enrollee must develop and implement a system-specific Sewer System Management Plan (SSMP). To be effective, SSMPs must include provisions to provide proper and efficient management, operation, and maintenance of sanitary sewer systems, while taking into consideration risk management and cost benefit analysis. Additionally, an SSMP must contain a spill response plan that establishes standard procedures for immediate response to an SSO in a manner designed to minimize water quality impacts and potential nuisance conditions. 6. Many local public agencies in California have already developed SSMPs and implemented measures to reduce SSOs. These entities can build upon their existing efforts to establish a comprehensive SSMP consistent with this Order. Others, however, still require technical assistance and, in some cases, funding to improve sanitary sewer system operation and maintenance in order to reduce SSOs. 7. SSMP certification by technically qualified and experienced persons can provide a useful and cost-effective means for ensuring that SSMPs are developed and implemented appropriately. 8. It is the State Water Board's intent to gather additional information on the causes and sources of SSOs to augment existing information and to determine the full extent of SSOs and consequent public health and/or environmental impacts occurring in the State. 9. Both uniform SSO reporting and a centralized statewide electronic database are needed to collect information to allow the State Water Board and Regional Water Quality Control Boards (Regional Water Boards) to effectively analyze the extent of SSOs statewide and their potential impacts on beneficial uses and public health. The monitoring and reporting program required by this Order and the attached Monitoring and Reporting Program No. 2006-0003-DWQ, are necessary to assure compliance with these waste discharge requirements (WDRs). 10.Information regarding SSOs must be provided to Regional Water Boards and other regulatory agencies in a timely manner and be made available to the public in a complete, concise, and timely fashion. 11.Some Regional Water Boards have issued WDRs or WDRs that serve as National Pollution Discharge Elimination System (NPDES) permits to sanitary sewer system owners/operators within their jurisdictions. This Order establishes minimum requirements to prevent SSOs. Although it is the State Water Board's intent that this Order be the primary regulatory mechanism for sanitary sewer systems statewide, Regional Water Boards may issue more stringent or more State Water Resources Control Board Order No. 2006-0003-DWQ Page 3 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 prescriptive WDRs for sanitary sewer systems. Upon issuance or reissuance of a Regional Water Board's WDRs for a system subject to this Order, the Regional Water Board shall coordinate its requirements with stated requirements within this Order, to identify requirements that are more stringent, to remove requirements that are less stringent than this Order, and to provide consistency in reporting. REGULATORY CONSIDERATIONS 12. California Water Code section 13263 provides that the State Water Board may prescribe general WDRs for a category of discharges if the State Water Board finds or determines that: • The discharges are produced by the same or similar operations; • The discharges involve the same or similar types of waste; • The discharges require the same or similar treatment standards; and • The discharges are more appropriately regulated under general discharge requirements than individual discharge requirements. This Order establishes requirements for a class of operations, facilities, and discharges that are similar throughout the state. 13.The issuance of general WDRs to the Enrollees will: a) Reduce the administrative burden of issuing individual WDRs to each Enrollee; b) Provide for a unified statewide approach for the reporting and database tracking of SSOs; C) Establish consistent and uniform requirements for SSMP development and implementation; d) Provide statewide consistency in reporting; and e) Facilitate consistent enforcement for violations. 14.The beneficial uses of surface waters that can be impaired by SSOs include, but are not limited to, aquatic life, drinking water supply, body contact and non- contact recreation, and aesthetics. The beneficial uses of ground water that can be impaired include, but are not limited to, drinking water and agricultural supply. Surface and ground waters throughout the state support these uses to varying degrees. 15.The implementation of requirements set forth in this Order will ensure the reasonable protection of past, present, and probable future beneficial uses of water and the prevention of nuisance. The requirements implement the water quality control plans (Basin Plans) for each region and take into account the environmental characteristics of hydrographic units within the state. Additionally, the State Water Board has considered water quality conditions that could reasonably be achieved through the coordinated control of all factors that affect State Water Resources Control Board Order No. 2006-0003-DWQ Page 4 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 water quality in the area, costs associated with compliance with these requirements, the need for developing housing within California, and the need to develop and use recycled water. 16.The Federal Clean Water Act largely prohibits any discharge of pollutants from a point source to waters of the United States except as authorized under an NPDES permit. In general, any point source discharge of sewage effluent to waters of the United States must comply with technology-based, secondary treatment standards, at a minimum, and any more stringent requirements necessary to meet applicable water quality standards and other requirements. Hence, the unpermitted discharge of wastewater from a sanitary sewer system to waters of the United States is illegal under the Clean Water Act. In addition, many Basin Plans adopted by the Regional Water Boards contain discharge prohibitions that apply to the discharge of untreated or partially treated wastewater. Finally, the California Water Code generally prohibits the discharge of waste to land prior to the filing of any required report of waste discharge and the subsequent issuance of either WDRs or a waiver of WDRs. 17.California Water Code section 13263 requires a water board to, after any necessary hearing, prescribe requirements as to the nature of any proposed discharge, existing discharge, or material change in an existing discharge. The requirements shall, among other things, take into consideration the need to prevent nuisance. 18.California Water Code section 13050, subdivision (m), defines nuisance as anything which meets all of the following requirements: a. Is injurious to health, or is indecent or offensive to the senses, or an obstruction to the free use of property, so as to interfere with the comfortable enjoyment of life or property. b. Affects at the same time an entire community or neighborhood, or any considerable number of persons, although the extent of the annoyance or damage inflicted upon individuals may be unequal. c. Occurs during, or as a result of, the treatment or disposal of wastes. 19.This Order is consistent with State Water Board Resolution No. 68-16 (Statement of Policy with Respect to Maintaining High Quality of Waters in California) in that the Order imposes conditions to prevent impacts to water quality, does not allow the degradation of water quality, will not unreasonably affect beneficial uses of water, and will not result in water quality less than prescribed in State Water Board or Regional Water Board plans and policies. 20.The action to adopt this General Order is exempt from the California Environmental Quality Act (Public Resources Code §21000 et seq.) because it is an action taken by a regulatory agency to assure the protection of the environment and the regulatory process involves procedures for protection of the environment. (Cal. Code Regs., tit. 14, §15308). In addition, the action to adopt State Water Resources Control Board Order No. 2006-0003-DWQ Page 5 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 this Order is exempt from CEQA pursuant to Cal.Code Regs., title 14, §15301 to the extent that it applies to existing sanitary sewer collection systems that constitute "existing facilities" as that term is used in Section 15301, and §15302, to the extent that it results in the repair or replacement of existing systems involving negligible or no expansion of capacity. 21.The Fact Sheet, which is incorporated by reference in the Order, contains supplemental information that was also considered in establishing these requirements. 22.The State Water Board has notified all affected public agencies and all known interested persons of the intent to prescribe general WDRs that require Enrollees to develop SSMPs and to report all SSOs. 23.The State Water Board conducted a public hearing on February 8, 2006, to receive oral and written comments on the draft order. The State Water Board received and considered, at its May 2, 2006, meeting, additional public comments on substantial changes made to the proposed general WDRs following the February 8, 2006, public hearing. The State Water Board has considered all comments pertaining to the proposed general WDRs. IT IS HEREBY ORDERED, that pursuant to California Water Code section 13263, the Enrollees, their agents, successors, and assigns, in order to meet the provisions contained in Division 7 of the California Water Code and regulations adopted hereunder, shall comply with the following: A. DEFINITIONS 1. Sanitary sewer overflow (SSO) - Any overflow, spill, release, discharge or diversion of untreated or partially treated wastewater from a sanitary sewer system. SSOs include- (i) Overflows or releases of untreated or partially treated wastewater that reach waters of the United States; (ii) Overflows or releases of untreated or partially treated wastewater that do not reach waters of the United States; and (iii) Wastewater backups into buildings and on private property that are caused by blockages or flow conditions within the publicly owned portion of a sanitary sewer system. 2. Sanitary sewer system —Any system of pipes, pump stations, sewer lines, or other conveyances, upstream of a wastewater treatment plant headworks used to collect and convey wastewater to the publicly owned treatment facility. Temporary storage and conveyance facilities (such as vaults, temporary piping, construction trenches, wet wells, impoundments, tanks, etc.) are considered to be part of the sanitary sewer system, and discharges into these temporary storage facilities are not considered to be SSOs. State Water Resources Control Board Order No. 2006-0003-DWQ Page 6 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 For purposes of this Order, sanitary sewer systems include only those systems owned by public agencies that are comprised of more than one mile of pipes or sewer lines. 3. Enrollee - A federal or state agency, municipality, county, district, and other public entity that owns or operates a sanitary sewer system, as defined in the general WDRs, and that has submitted a complete and approved application for coverage under this Order. 4. SSO Reporting System — Online spill reporting system that is hosted, controlled, and maintained by the State Water Board. The web address for this site is http-Hciwgs.waterboards.ca.gov. This online database is maintained on a secure site and is controlled by unique usernames and passwords. 5. Untreated or partially treated wastewater—Any volume of waste discharged from the sanitary sewer system upstream of a wastewater treatment plant headworks. 6. Satellite collection system — The portion, if any, of a sanitary sewer system owned or operated by a different public agency than the agency that owns and operates the wastewater treatment facility to which the sanitary sewer system is tributary. 7. Nuisance - California Water Code section 13050, subdivision (m), defines nuisance as anything which meets all of the following requirements: a. Is injurious to health, or is indecent or offensive to the senses, or an obstruction to the free use of property, so as to interfere with the comfortable enjoyment of life or property. b. Affects at the same time an entire community or neighborhood, or any considerable number of persons, although the extent of the annoyance or damage inflicted upon individuals may be unequal. c. Occurs during, or as a result of, the treatment or disposal of wastes. B. APPLICATION REQUIREMENTS 1. Deadlines for Application —All public agencies that currently own or operate sanitary sewer systems within the State of California must apply for coverage under the general WDRs within six (6) months of the date of adoption of the general WDRs. Additionally, public agencies that acquire or assume responsibility for operating sanitary sewer systems after the date of adoption of this Order must apply for coverage under the general WDRs at least three (3) months prior to operation of those facilities. 2. Applications under the general WDRs — In order to apply for coverage pursuant to the general WDRs, a legally authorized representative for each agency must submit a complete application package. Within sixty (60) days of adoption of the general WDRs, State Water Board staff will send specific instructions on how to State Water Resources Control Board Order No. 2006-0003-DWQ Page 7 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 apply for coverage under the general WDRs to all known public agencies that own sanitary sewer systems. Agencies that do not receive notice may obtain applications and instructions online on the Water Board's website. 3. Coverage under the general WDRs — Permit coverage will be in effect once a complete application package has been submitted and approved by the State Water Board's Division of Water Quality. C. PROHIBITIONS 1. Any SSO that results in a discharge of untreated or partially treated wastewater to waters of the United States is prohibited. 2. Any SSO that results in a discharge of untreated or partially treated wastewater that creates a nuisance as defined in California Water Code Section 13050(m) is prohibited. D. PROVISIONS 1. The Enrollee must comply with all conditions of this Order. Any noncompliance with this Order constitutes a violation of the California Water Code and is grounds for enforcement action. 2. It is the intent of the State Water Board that sanitary sewer systems be regulated in a manner consistent with the general WDRs. Nothing in the general WDRs shall be- (i) Interpreted or applied in a manner inconsistent with the Federal Clean Water Act, or supersede a more specific or more stringent state or federal requirement in an existing permit, regulation, or administrative/judicial order or Consent Decree; (ii) Interpreted or applied to authorize an SSO that is illegal under either the Clean Water Act, an applicable Basin Plan prohibition or water quality standard, or the California Water Code; (iii) Interpreted or applied to prohibit a Regional Water Board from issuing an individual NPDES permit or WDR, superseding this general WDR, for a sanitary sewer system, authorized under the Clean Water Act or California Water Code; or (iv) Interpreted or applied to supersede any more specific or more stringent WDRs or enforcement order issued by a Regional Water Board. 3. The Enrollee shall take all feasible steps to eliminate SSOs. In the event that an SSO does occur, the Enrollee shall take all feasible steps to contain and mitigate the impacts of an SSO. 4. In the event of an SSO, the Enrollee shall take all feasible steps to prevent untreated or partially treated wastewater from discharging from storm drains into State Water Resources Control Board Order No. 2006-0003-DWQ Page 8 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 flood control channels or waters of the United States by blocking the storm drainage system and by removing the wastewater from the storm drains. 5. All SSOs must be reported in accordance with Section G of the general WDRs. 6. In any enforcement action, the State and/or Regional Water Boards will consider the appropriate factors under the duly adopted State Water Board Enforcement Policy. And, consistent with the Enforcement Policy, the State and/or Regional Water Boards must consider the Enrollee's efforts to contain, control, and mitigate SSOs when considering the California Water Code Section 13327 factors. In assessing these factors, the State and/or Regional Water Boards will also consider whether: (i) The Enrollee has complied with the requirements of this Order, including requirements for reporting and developing and implementing a SSMP; (ii) The Enrollee can identify the cause or likely cause of the discharge event; (iii)There were no feasible alternatives to the discharge, such as temporary storage or retention of untreated wastewater, reduction of inflow and infiltration, use of adequate backup equipment, collecting and hauling of untreated wastewater to a treatment facility, or an increase in the capacity of the system as necessary to contain the design storm event identified in the SSMP. It is inappropriate to consider the lack of feasible alternatives, if the Enrollee does not implement a periodic or continuing process to identify and correct problems. (iv)The discharge was exceptional, unintentional, temporary, and caused by factors beyond the reasonable control of the Enrollee; (v) The discharge could have been prevented by the exercise of reasonable control described in a certified SSMP for • Proper management, operation and maintenance; • Adequate treatment facilities, sanitary sewer system facilities, and/or components with an appropriate design capacity, to reasonably prevent SSOs (e.g., adequately enlarging treatment or collection facilities to accommodate growth, infiltration and inflow (I/I), etc.); • Preventive maintenance (including cleaning and fats, oils, and grease (FOG) control); • Installation of adequate backup equipment; and • Inflow and infiltration prevention and control to the extent practicable. (vi)The sanitary sewer system design capacity is appropriate to reasonably prevent SSOs. State Water Resources Control Board Order No. 2006-0003-DWQ Page 9 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 (vii) The Enrollee took all reasonable steps to stop and mitigate the impact of the discharge as soon as possible. 7. When a sanitary sewer overflow occurs, the Enrollee shall take all feasible steps and necessary remedial actions to 1) control or limit the volume of untreated or partially treated wastewater discharged, 2) terminate the discharge, and 3) recover as much of the wastewater discharged as possible for proper disposal, including any wash down water. The Enrollee shall implement all remedial actions to the extent they may be applicable to the discharge and not inconsistent with an emergency response plan, including the following- (i) Interception and rerouting of untreated or partially treated wastewater flows around the wastewater line failure; (ii) Vacuum truck recovery of sanitary sewer overflows and wash down water; (iii) Cleanup of debris at the overflow site; (iv) System modifications to prevent another SSO at the same location; (v) Adequate sampling to determine the nature and impact of the release; and (vi) Adequate public notification to protect the public from exposure to the SSO. 8. The Enrollee shall properly, manage, operate, and maintain all parts of the sanitary sewer system owned or operated by the Enrollee, and shall ensure that the system operators (including employees, contractors, or other agents) are adequately trained and possess adequate knowledge, skills, and abilities. 9. The Enrollee shall allocate adequate resources for the operation, maintenance, and repair of its sanitary sewer system, by establishing a proper rate structure, accounting mechanisms, and auditing procedures to ensure an adequate measure of revenues and expenditures. These procedures must be in compliance with applicable laws and regulations and comply with generally acceptable accounting practices. 10.The Enrollee shall provide adequate capacity to convey base flows and peak flows, including flows related to wet weather events. Capacity shall meet or exceed the design criteria as defined in the Enrollee's System Evaluation and Capacity Assurance Plan for all parts of the sanitary sewer system owned or operated by the Enrollee. 11.The Enrollee shall develop and implement a written Sewer System Management Plan (SSMP) and make it available to the State and/or Regional Water Board upon request. A copy of this document must be publicly available at the Enrollee's office and/or available on the Internet. This SSMP must be approved by the Enrollee's governing board at a public meeting. State Water Resources Control Board Order No. 2006-0003-DWQ Page 10 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 12.In accordance with the California Business and Professions Code sections 6735, 7835, and 7835.1, all engineering and geologic evaluations and judgments shall be performed by or under the direction of registered professionals competent and proficient in the fields pertinent to the required activities. Specific elements of the SSMP that require professional evaluation and judgments shall be prepared by or under the direction of appropriately qualified professionals, and shall bear the professional(s)' signature and stamp. 13.The mandatory elements of the SSMP are specified below. However, if the Enrollee believes that any element of this section is not appropriate or applicable to the Enrollee's sanitary sewer system, the SSMP program does not need to address that element. The Enrollee mustjustify why that element is not applicable. The SSMP must be approved by the deadlines listed in the SSMP Time Schedule below. Sewer System Management Plan (SSMP) (i) Goal: The goal of the SSMP is to provide a plan and schedule to properly manage, operate, and maintain all parts of the sanitary sewer system. This will help reduce and prevent SSOs, as well as mitigate any SSOs that do occur. (ii) Organization: The SSMP must identify: (a) The name of the responsible or authorized representative as described in Section J of this Order. (b) The names and telephone numbers for management, administrative, and maintenance positions responsible for implementing specific measures in the SSMP program. The SSMP must identify lines of authority through an organization chart or similar document with a narrative explanation; and (c) The chain of communication for reporting SSOs, from receipt of a complaint or other information, including the person responsible for reporting SSOs to the State and Regional Water Board and other agencies if applicable (such as County Health Officer, County Environmental Health Agency, Regional Water Board, and/or State Office of Emergency Services (OES)). (iii) Legal Authority: Each Enrollee must demonstrate, through sanitary sewer system use ordinances, service agreements, or other legally binding procedures, that it possesses the necessary legal authority to: (a) Prevent illicit discharges into its sanitary sewer system (examples may include I/I, stormwater, chemical dumping, unauthorized debris and cut roots, etc.); State Water Resources Control Board Order No. 2006-0003-DWQ Page 11 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 (b) Require that sewers and connections be properly designed and constructed; (c) Ensure access for maintenance, inspection, or repairs for portions of the lateral owned or maintained by the Public Agency; (d) Limit the discharge of fats, oils, and grease and other debris that may cause blockages, and (e) Enforce any violation of its sewer ordinances. (iv) Operation and Maintenance Program. The SSMP must include those elements listed below that are appropriate and applicable to the Enrollee's system: (a) Maintain an up-to-date map of the sanitary sewer system, showing all gravity line segments and manholes, pumping facilities, pressure pipes and valves, and applicable stormwater conveyance facilities; (b) Describe routine preventive operation and maintenance activities by staff and contractors, including a system for scheduling regular maintenance and cleaning of the sanitary sewer system with more frequent cleaning and maintenance targeted at known problem areas. The Preventative Maintenance (PM) program should have a system to document scheduled and conducted activities, such as work orders; (c) Develop a rehabilitation and replacement plan to identify and prioritize system deficiencies and implement short-term and long- term rehabilitation actions to address each deficiency. The program should include regular visual and TV inspections of manholes and sewer pipes, and a system for ranking the condition of sewer pipes and scheduling rehabilitation. Rehabilitation and replacement should focus on sewer pipes that are at risk of collapse or prone to more frequent blockages due to pipe defects. Finally, the rehabilitation and replacement plan should include a capital improvement plan that addresses proper management and protection of the infrastructure assets. The plan shall include a time schedule for implementing the short- and long-term plans plus a schedule for developing the funds needed for the capital improvement plan; (d) Provide training on a regular basis for staff in sanitary sewer system operations and maintenance, and require contractors to be appropriately trained; and State Water Resources Control Board Order No. 2006-0003-DWQ Page 12 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 (e) Provide equipment and replacement part inventories, including identification of critical replacement parts. (v) Design and Performance Provisions: (a) Design and construction standards and specifications for the installation of new sanitary sewer systems, pump stations and other appurtenances; and for the rehabilitation and repair of existing sanitary sewer systems; and (b) Procedures and standards for inspecting and testing the installation of new sewers, pumps, and other appurtenances and for rehabilitation and repair projects. (vi) Overflow Emergency Response Plan - Each Enrollee shall develop and implement an overflow emergency response plan that identifies measures to protect public health and the environment. At a minimum, this plan must include the following: (a) Proper notification procedures so that the primary responders and regulatory agencies are informed of all SSOs in a timely manner; (b) A program to ensure an appropriate response to all overflows; (c) Procedures to ensure prompt notification to appropriate regulatory agencies and other potentially affected entities (e.g. health agencies, Regional Water Boards, water suppliers, etc.) of all SSOs that potentially affect public health or reach the waters of the State in accordance with the MRP. All SSOs shall be reported in accordance with this MRP, the California Water Code, other State Law, and other applicable Regional Water Board WDRs or NPDES permit requirements. The SSMP should identify the officials who will receive immediate notification; (d) Procedures to ensure that appropriate staff and contractor personnel are aware of and follow the Emergency Response Plan and are appropriately trained; (e) Procedures to address emergency operations, such as traffic and crowd control and other necessary response activities; and (f) A program to ensure that all reasonable steps are taken to contain and prevent the discharge of untreated and partially treated wastewater to waters of the United States and to minimize or correct any adverse impact on the environment resulting from the SSOs, including such accelerated or additional monitoring as may be necessary to determine the nature and impact of the discharge. State Water Resources Control Board Order No. 2006-0003-DWQ Page 13 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 (vii) FOG Control Program: Each Enrollee shall evaluate its service area to determine whether a FOG control program is needed. If an Enrollee determines that a FOG program is not needed, the Enrollee must provide justification for why it is not needed. If FOG is found to be a problem, the Enrollee must prepare and implement a FOG source control program to reduce the amount of these substances discharged to the sanitary sewer system. This plan shall include the following as appropriate: (a) An implementation plan and schedule for a public education outreach program that promotes proper disposal of FOG; (b) A plan and schedule for the disposal of FOG generated within the sanitary sewer system service area. This may include a list of acceptable disposal facilities and/or additional facilities needed to adequately dispose of FOG generated within a sanitary sewer system service area; (c) The legal authority to prohibit discharges to the system and identify measures to prevent SSOs and blockages caused by FOG; (d) Requirements to install grease removal devices (such as traps or interceptors), design standards for the removal devices, maintenance requirements, BMP requirements, record keeping and reporting requirements; (e) Authority to inspect grease producing facilities, enforcement authorities, and whether the Enrollee has sufficient staff to inspect and enforce the FOG ordinance; (f) An identification of sanitary sewer system sections subject to FOG blockages and establishment of a cleaning maintenance schedule for each section; and (g) Development and implementation of source control measures for all sources of FOG discharged to the sanitary sewer system for each section identified in (f) above. (viii) System Evaluation and Capacity Assurance Plan: The Enrollee shall prepare and implement a capital improvement plan (CIP) that will provide hydraulic capacity of key sanitary sewer system elements for dry weather peak flow conditions, as well as the appropriate design storm or wet weather event. At a minimum, the plan must include: (a) Evaluation: Actions needed to evaluate those portions of the sanitary sewer system that are experiencing or contributing to an SSO discharge caused by hydraulic deficiency. The evaluation must provide estimates of peak flows (including flows from SSOs State Water Resources Control Board Order No. 2006-0003-DWQ Page 14 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 that escape from the system) associated with conditions similar to those causing overflow events, estimates of the capacity of key system components, hydraulic deficiencies (including components of the system with limiting capacity) and the major sources that contribute to the peak flows associated with overflow events; (b) Design Criteria: Where design criteria do not exist or are deficient, undertake the evaluation identified in (a) above to establish appropriate design criteria; and (c) Capacity Enhancement Measures: The steps needed to establish a short- and long-term CIP to address identified hydraulic deficiencies, including prioritization, alternatives analysis, and schedules. The CIP may include increases in pipe size, I/I reduction programs, increases and redundancy in pumping capacity, and storage facilities. The CIP shall include an implementation schedule and shall identify sources of funding. (d) Schedule: The Enrollee shall develop a schedule of completion dates for all portions of the capital improvement program developed in (a)-(c) above. This schedule shall be reviewed and updated consistent with the SSMP review and update requirements as described in Section D. 14. (ix) Monitoring, Measurement, and Program Modifications: The Enrollee shall: (a) Maintain relevant information that can be used to establish and prioritize appropriate SSMP activities; (b) Monitor the implementation and, where appropriate, measure the effectiveness of each element of the SSMP; (c) Assess the success of the preventative maintenance program; (d) Update program elements, as appropriate, based on monitoring or performance evaluations; and (e) Identify and illustrate SSO trends, including: frequency, location, and volume. (x) SSMP Program Audits - As part of the SSMP, the Enrollee shall conduct periodic internal audits, appropriate to the size of the system and the number of SSOs. At a minimum, these audits must occur every two years and a report must be prepared and kept on file. This audit shall focus on evaluating the effectiveness of the SSMP and the State Water Resources Control Board Order No. 2006-0003-DWQ Page 15 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 Enrollee's compliance with the SSMP requirements identified in this subsection (D.13), including identification of any deficiencies in the SSMP and steps to correct them. (xi) Communication Program — The Enrollee shall communicate on a regular basis with the public on the development, implementation, and performance of its SSMP. The communication system shall provide the public the opportunity to provide input to the Enrollee as the program is developed and implemented. The Enrollee shall also create a plan of communication with systems that are tributary and/or satellite to the Enrollee's sanitary sewer system. 14.Both the SSMP and the Enrollee's program to implement the SSMP must be certified by the Enrollee to be in compliance with the requirements set forth above and must be presented to the Enrollee's governing board for approval at a public meeting. The Enrollee shall certify that the SSMP, and subparts thereof, are in compliance with the general WDRs within the time frames identified in the time schedule provided in subsection D.15, below. In order to complete this certification, the Enrollee's authorized representative must complete the certification portion in the Online SSO Database Questionnaire by checking the appropriate milestone box, printing and signing the automated form, and sending the form to: State Water Resources Control Board Division of Water Quality Attn: SSO Program Manager P.O. Box 100 Sacramento, CA 95812 The SSMP must be updated every five (5) years, and must include any significant program changes. Re-certification by the governing board of the Enrollee is required in accordance with D.14 when significant updates to the SSMP are made. To complete the re-certification process, the Enrollee shall enter the data in the Online SSO Database and mail the form to the State Water Board, as described above. 15.The Enrollee shall comply with these requirements according to the following schedule. This time schedule does not supersede existing requirements or time schedules associated with other permits or regulatory requirements. State Water Resources Control Board Order No. 2006-0003-DWQ Page 16 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 Sewer System Management Plan Time Schedule Task and Completion Date Associated Section Population > Population Population Population < 100,000 between 100,000 between 10,000 2,500 and 10,000 and 2,500 Application for Permit Coverage 6 months after WDRs Adoption Section C Reporting Program Section G 6 months after WDRs Adoption SSMP Development 15 months after 18 months after Plan and Schedule 9 months after 12 months afte 2 WDRs WDRs No specific Section WDRs Adoption WDRs Adoption Adoption Adoption Goals and Organization Structure 12 months after WDRs Adoption 18 months after WDRs Adoption Section D 13 i & (ii) Overflow Emergency Response Program Section D 13 (vi) Legal Authority Section D 13 (iii) 36 months after 39 months after Operation and 24 months after 30 months afte 2 WDRs WDRs Maintenance Program WDRs Adoption WDRs Adoption Adoption2 Adoption2 Section D 13 iv Grease Control Program Section D 13 (vii) Design and Performance Section D 13 (v) System Evaluation and Capacity Assurance 36 months after 39 months after 48 months after 51 months after Plan WDRs Adoption WDRs Adoption WDRs Adoption WDRs Adoption Section D 13 (viii) Final SSMP, incorporating all of the SSMP requirements Section D 13 State Water Resources Control Board Order No. 2006-0003-DWQ Page 17 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 1. In the event that by July 1, 2006 the Executive Director is able to execute a memorandum of agreement (MOA) with the California Water Environment Association (CWEA) or discharger representatives outlining a strategy and time schedule for CWEA or another entity to provide statewide training on the adopted monitoring program, SSO database electronic reporting, and SSMP development, consistent with this Order, then the schedule of Reporting Program Section G shall be replaced with the following schedule: Reporting Program Section G Regional Boards 4, 8, 8 months after WDRs Adoption and 9 Regional Boards 1, 2, 12 months after WDRs Adoption and 3 Regional Boards 5, 6, 16 months after WDRs Adoption and 7 If this MOU is not executed by July 1, 2006, the reporting program time schedule will remain six (6) months for all regions and agency size categories. 2. In the event that the Executive Director executes the MOA identified in note 1 by July 1, 2006, then the deadline for this task shall be extended by six (6) months. The time schedule identified in the MOA must be consistent with the extended time schedule provided by this note. If the MOA is not executed by July 1, 2006, the six (6) month time extension will not be granted. E. WDRs and SSMP AVAILABILITY 1. A copy of the general WDRs and the certified SSMP shall be maintained at appropriate locations (such as the Enrollee's offices, facilities, and/or Internet homepage) and shall be available to sanitary sewer system operating and maintenance personnel at all times. F. ENTRY AND INSPECTION 1. The Enrollee shall allow the State or Regional Water Boards or their authorized representative, upon presentation of credentials and other documents as may be required by law, to: a. Enter upon the Enrollee's premises where a regulated facility or activity is located or conducted, or where records are kept under the conditions of this Order; b. Have access to and copy, at reasonable times, any records that must be kept under the conditions of this Order; State Water Resources Control Board Order No. 2006-0003-DWQ Page 18 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 c. Inspect at reasonable times any facilities, equipment (including monitoring and control equipment), practices, or operations regulated or required under this Order; and d. Sample or monitor at reasonable times, for the purposes of assuring compliance with this Order or as otherwise authorized by the California Water Code, any substances or parameters at any location. G. GENERAL MONITORING AND REPORTING REQUIREMENTS 1. The Enrollee shall furnish to the State or Regional Water Board, within a reasonable time, any information that the State or Regional Water Board may request to determine whether cause exists for modifying, revoking and reissuing, or terminating this Order. The Enrollee shall also furnish to the Executive Director of the State Water Board or Executive Officer of the applicable Regional Water Board, upon request, copies of records required to be kept by this Order. 2. The Enrollee shall comply with the attached Monitoring and Reporting Program No. 2006-0003 and future revisions thereto, as specified by the Executive Director. Monitoring results shall be reported at the intervals specified in Monitoring and Reporting Program No. 2006-0003. Unless superseded by a specific enforcement Order for a specific Enrollee, these reporting requirements are intended to replace other mandatory routine written reports associated with SSOs. 3. All Enrollees must obtain SSO Database accounts and receive a "Username" and "Password" by registering through the California Integrated Water Quality System (CIWQS). These accounts will allow controlled and secure entry into the SSO Database. Additionally, within 30days of receiving an account and prior to recording spills into the SSO Database, all Enrollees must complete the "Collection System Questionnaire", which collects pertinent information regarding a Enrollee's collection system. The "Collection System Questionnaire" must be updated at least every 12 months. 4. Pursuant to Health and Safety Code section 5411.5, any person who, without regard to intent or negligence, causes or permits any untreated wastewater or other waste to be discharged in or on any waters of the State, or discharged in or deposited where it is, or probably will be, discharged in or on any surface waters of the State, as soon as that person has knowledge of the discharge, shall immediately notify the local health officer of the discharge. Discharges of untreated or partially treated wastewater to storm drains and drainage channels, whether man-made or natural or concrete-lined, shall be reported as required above. Any SSO greater than 1,000 gallons discharged in or on any waters of the State, or discharged in or deposited where it is, or probably will be, discharged in or on any surface waters of the State shall also be reported to the Office of Emergency Services pursuant to California Water Code section 13271. State Water Resources Control Board Order No. 2006-0003-DWQ Page 19 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 H. CHANGE IN OWNERSHIP 1. This Order is not transferable to any person or party, except after notice to the Executive Director. The Enrollee shall submit this notice in writing at least 30 days in advance of any proposed transfer. The notice must include a written agreement between the existing and new Enrollee containing a specific date for the transfer of this Order's responsibility and coverage between the existing Enrollee and the new Enrollee. This agreement shall include an acknowledgement that the existing Enrollee is liable for violations up to the transfer date and that the new Enrollee is liable from the transfer date forward. I. INCOMPLETE REPORTS 1. If an Enrollee becomes aware that it failed to submit any relevant facts in any report required under this Order, the Enrollee shall promptly submit such facts or information by formally amending the report in the Online SSO Database. J. REPORT DECLARATION 1. All applications, reports, or information shall be signed and certified as follows- (i) All reports required by this Order and other information required by the State or Regional Water Board shall be signed and certified by a person designated, for a municipality, state, federal or other public agency, as either a principal executive officer or ranking elected official, or by a duly authorized representative of that person, as described in paragraph (ii) of this provision. (For purposes of electronic reporting, an electronic signature and accompanying certification, which is in compliance with the Online SSO database procedures, meet this certification requirement.) (ii) An individual is a duly authorized representative only if: (a) The authorization is made in writing by a person described in paragraph (i) of this provision; and (b) The authorization specifies either an individual or a position having responsibility for the overall operation of the regulated facility or activity. K. CIVIL MONETARY REMEDIES FOR DISCHARGE VIOLATIONS 1. The California Water Code provides various enforcement options, including civil monetary remedies, for violations of this Order. 2. The California Water Code also provides that any person failing or refusing to furnish technical or monitoring program reports, as required under this Order, or State Water Resources Control Board Order No. 2006-0003-DWQ Page 20 of 20 Statewide General WDR For Wastewater Collection Agencies 512106 falsifying any information provided in the technical or monitoring reports is subject to civil monetary penalties. L. SEVERABILITY 1. The provisions of this Order are severable, and if any provision of this Order, or the application of any provision of this Order to any circumstance, is held invalid, the application of such provision to other circumstances, and the remainder of this Order, shall not be affected thereby. 2. This order does not convey any property rights of any sort or any exclusive privileges. The requirements prescribed herein do not authorize the commission of any act causing injury to persons or property, nor protect the Enrollee from liability under federal, state or local laws, nor create a vested right for the Enrollee to continue the waste discharge. CERTIFICATION The undersigned Clerk to the State Water Board does hereby certify that the foregoing is a full, true, and correct copy of general WDRs duly and regularly adopted at a meeting of the State Water Resources Control Board held on May 2, 2006. AYE: Tam M. Doduc Gerald D. Secundy NO: Arthur G. Baggett ABSENT: None ABSTAIN: None Song Her Clerk to the Board STATE WATER RESOURCES CONTROL BOARD MONITORING AND REPORTING PROGRAM NO. 2006-0003-DWQ STATEWIDE GENERAL WASTE DISCHARGE REQUIREMENTS FOR SANITARY SEWER SYSTEMS This Monitoring and Reporting Program (MRP) establishes monitoring, record keeping, reporting and public notification requirements for Order No. 2006-2003-DWQ, "Statewide General Waste Discharge Requirements for Sanitary Sewer Systems." Revisions to this MRP may be made at any time by the Executive Director, and may include a reduction or increase in the monitoring and reporting. A. SANITARY SEWER OVERFLOW REPORTING SSO Categories 1. Category 1 - All discharges of sewage resulting from a failure in the Enrollee's sanitary sewer system that: A. Equal or exceed 1000 gallons, or B. Result in a discharge to a drainage channel and/or surface water; or C. Discharge to a storm drainpipe that was not fully captured and returned to the sanitary sewer system. 2. Category 2 —All other discharges of sewage resulting from a failure in the Enrollee's sanitary sewer system. 3. Private Lateral Sewage Discharges — Sewage discharges that are caused by blockages or other problems within a privately owned lateral. SSO Reporting Timeframes 4. Category 1 SSOs —All SSOs that meet the above criteria for Category 1 SSOs must be reported as soon as: (1) the Enrollee has knowledge of the discharge, (2) reporting is possible, and (3) reporting can be provided without substantially impeding cleanup or other emergency measures. Initial reporting of Category 1 SSOs must be reported to the Online SSO System as soon as possible but no later than 3 business days after the Enrollee is made aware of the SSO. Minimum information that must be contained in the 3-day report must include all information identified in section 9 below, except for item 9.K. A final certified report must be completed through the Online SSO System, within 15 calendar days of the conclusion of SSO response and remediation. Additional information may be added to the certified report, in the form of an attachment, at any time. The above reporting requirements do not preclude other emergency notification requirements and timeframes mandated by other regulatory agencies (local Monitoring and Reporting Program No. 2006-0003-DWQ Page 2 of 5 Statewide General WDRs for Sanitary Sewer Systems 5/2/2006 County Health Officers, local Director of Environmental Health, Regional Water Boards, or Office of Emergency Services (OES)) or State law. 5. Category 2 SSOs —All SSOs that meet the above criteria for Category 2 SSOs must be reported to the Online SSO Database within 30 days after the end of the calendar month in which the SSO occurs (e.g. all SSOs occurring in the month of January must be entered into the database by March 1st). 6. Private Lateral Sewage Discharges —All sewage discharges that meet the above criteria for Private Lateral sewage discharges may be reported to the Online SSO Database based upon the Enrollee's discretion. If a Private Lateral sewage discharge is recorded in the SSO Database, the Enrollee must identify the sewage discharge as occurring and caused by a private lateral, and a responsible party (other than the Enrollee) should be identified, if known. 7. If there are no SSOs during the calendar month, the Enrollee will provide, within 30 days after the end of each calendar month, a statement through the Online SSO Database certifying that there were no SSOs for the designated month. 8. In the event that the SSO Online Database is not available, the enrollee must fax all required information to the appropriate Regional Water Board office in accordance with the time schedules identified above. In such event, the Enrollee must also enter all required information into the Online SSO Database as soon as practical. Mandatory Information to be Included in SSO Online Reporting All Enrollees must obtain SSO Database accounts and receive a "Username" and "Password" by registering through the California Integrated Water Quality System (CIWQS). These accounts will allow controlled and secure entry into the SSO Database. Additionally, within thirty (30) days of receiving an account and prior to recording SSOs into the SSO Database, all Enrollees must complete the "Collection System Questionnaire", which collects pertinent information regarding an Enrollee's collection system. The "Collection System Questionnaire" must be updated at least every 12 months. At a minimum, the following mandatory information must be included prior to finalizing and certifying an SSO report for each category of SSO: 9. Category 2 SSOs: A. Location of SSO by entering GPS coordinates; B. Applicable Regional Water Board, i.e. identify the region in which the SSO occurred; C. County where SSO occurred; D. Whether or not the SSO entered a drainage channel and/or surface water; E. Whether or not the SSO was discharged to a storm drain pipe that was not fully captured and returned to the sanitary sewer system; Monitoring and Reporting Program No. 2006-0003-DWQ Page 3 of 5 Statewide General WDRs for Sanitary Sewer Systems 5/2/2006 F. Estimated SSO volume in gallons; G. SSO source (manhole, cleanout, etc.); H. SSO cause (mainline blockage, roots, etc.); I. Time of SSO notification or discovery; J. Estimated operator arrival time; K. SSO destination; L. Estimated SSO end time; and M. SSO Certification. Upon SSO Certification, the SSO Database will issue a Final SSO Identification (ID) Number. 10.Private Lateral Sewage Discharges: A. All information listed above (if applicable and known), as well as; B. Identification of sewage discharge as a private lateral sewage discharge; and C. Responsible party contact information (if known). 11.Category 1 SSOs: A. All information listed for Category 2 SSOs, as well as; B. Estimated SSO volume that reached surface water, drainage channel, or not recovered from a storm drain; C. Estimated SSO amount recovered; D. Response and corrective action taken; E. If samples were taken, identify which regulatory agencies received sample results (if applicable). If no samples were taken, NA must be selected. F. Parameters that samples were analyzed for (if applicable); G. Identification of whether or not health warnings were posted; H. Beaches impacted (if applicable). If no beach was impacted, NA must be selected; I. Whether or not there is an ongoing investigation; J. Steps taken or planned to reduce, eliminate, and prevent reoccurrence of the overflow and a schedule of major milestones for those steps; K. OES control number (if applicable); L. Date OES was called (if applicable); M. Time OES was called (if applicable); N. Identification of whether or not County Health Officers were called; O. Date County Health Officer was called (if applicable); and P. Time County Health Officer was called (if applicable). Reporting to Other Regulatory Agencies These reporting requirements do not preclude an Enrollee from reporting SSOs to other regulatory agencies pursuant to California state law. These reporting requirements do not replace other Regional Water Board telephone reporting requirements for SSOs. Monitoring and Reporting Program No. 2006-0003-DWQ Page 4 of 5 Statewide General WDRs for Sanitary Sewer Systems 5/2/2006 1. The Enrollee shall report SSOs to OES, in accordance with California Water Code Section 13271. Office of Emergency Services Phone (800) 852-7550 2. The Enrollee shall report SSOs to County Health officials in accordance with California Health and Safety Code Section 5410 et seq. 3. The SSO database will automatically generate an e-mail notification with customized information about the SSO upon initial reporting of the SSO and final certification for all Category 1 SSOs. E-mails will be sent to the appropriate County Health Officer and/or Environmental Health Department if the county desires this information, and the appropriate Regional Water Board. B. Record Keeping 1. Individual SSO records shall be maintained by the Enrollee for a minimum of five years from the date of the SSO. This period may be extended when requested by a Regional Water Board Executive Officer. 3. All records shall be made available for review upon State or Regional Water Board staff's request. 4. All monitoring instruments and devices that are used by the Enrollee to fulfill the prescribed monitoring and reporting program shall be properly maintained and calibrated as necessary to ensure their continued accuracy; 5. The Enrollee shall retain records of all SSOs, such as, but not limited to and when applicable: a. Record of Certified report, as submitted to the online SSO database; b. All original recordings for continuous monitoring instrumentation; c. Service call records and complaint logs of calls received by the Enrollee; d. SSO calls; e. SSO records; f. Steps that have been and will be taken to prevent the SSO from recurring and a schedule to implement those steps. g. Work orders, work completed, and any other maintenance records from the previous 5 years which are associated with responses and investigations of system problems related to SSOs; h. A list and description of complaints from customers or others from the previous 5 years; and i. Documentation of performance and implementation measures for the previous 5 years. 6. If water quality samples are required by an environmental or health regulatory agency or State law, or if voluntary monitoring is conducted by the Enrollee or its agent(s), as a result of any SSO, records of monitoring information shall include: Monitoring and Reporting Program No. 2006-0003-DWQ Page 5 of 5 Statewide General WDRs for Sanitary Sewer Systems 5/2/2006 a. The date, exact place, and time of sampling or measurements; b. The individual(s) who performed the sampling or measurements; C. The date(s) analyses were performed; d. The individual(s) who performed the analyses; e. The analytical technique or method used; and, f. The results of such analyses. C. Certification 1. All final reports must be certified by an authorized person as required by Provision J of the Order. 2. Registration of authorized individuals, who may certify reports, will be in accordance with the CIWQS' protocols for reporting. Monitoring and Reporting Program No. 2006-0003 will become effective on the date of adoption by the State Water Board. CERTIFICATION The undersigned Clerk to the Board does hereby certify that the foregoing is a full, true, and correct copy of a resolution duly and regularly adopted at a meeting of the State Water Board held on May 2, 2006. Song Her Clerk to the Board Appendix 1-2: STATE OF CALIFORNIA STATE WATER RESOURCES CONTROL BOARD ORDER NO. WO 2008-0002-EXEC ADOPTING AMENDED MONITORING AND REPORTING REQUIREMENTS FOR STATEWIDE GENERAL WASTE DISCHARGE REQUIREMENTS FOR SANITARY SEWER SYSTEMS The State of California, Water Resources Control Board (State Water Board)finds: 1. The State Water Board is authorized to prescribe statewide general waste discharge requirements for categories of discharges that involve the same or similar operations and the same of similar types of waste pursuant to Water Code 13263, subdivision (i). 2. The State Water Board on May 2, 2006, adopted Statewide General Waste Discharge Requirements for Sanitary Sewer Systems, Order No. 2006-0003-DWQ, pursuant to that authority. 3. The State Water Board on May 2, 2006, adopted Monitoring and Reporting. Requirements to implement.the General Waste Discharge Requirements for Sanitary Sewer Systems. 4. State Water Board Order No. 2006-0003-DWQ, paragraph G.2., and the Monitoring and Reporting Requirements, both provide that the Executive Director may modify the terms of the Monitoring and Reporting Requirements at any time. 6. The time allowed in those Monitoring and Reporting Requirements for the filing of the initial report of an overflow is too long to adequately protect the public health and safety or the beneficial uses of the waters of the state when there is a sewage collection system spill. An additional notification requirement is necessary and appropriate to ensure the Office of Emergency Services, local public health officials, and the applicable regional water quality control board are apprised of a spill that reaches a drainage channel or surface water. 6. Further, the burden of providing a notification as soon as possible is de minimis and will allow response agencies to take action as soon as possible to protect public health and safety and beneficial uses of the waters of the state. IT IS HEREBY ORDERED THAT: Pursuant to the authority delegated by Resolution No. 2002-0104 and Order No. 2006-0003- DWQ, the Monitoring and Reporting Requirements for Statewide General Waste Discharge Requirements for Sanitary Sewer Systems No. 2006-0003-DWQ is hereby amended as shown in Attachment A, with new text indicated by double-underline. QQ Dated: U Dorothy Ri Executive erector ATTACHMENT A STATE WATER RESOURCES CONTROL BOARD MONITORING AND REPORTING PROGRAM NO. 2006-0003-DWQ (AS REVISED By ORDER NO. WO 2008-0002-EXEC STATEWIDE GENERAL WASTE DISCHARGE REQUIREMENTS FOR SANITARY SEWER SYSTEMS This Monitoring and Reporting Program (MRP) establishes monitoring, record keeping, reporting and public notification requirements for Order No. 2006-2003-DWQ, "Statewide General Waste Discharge Requirements for Sanitary Sewer Systems." Revisions to this MRP may be made at any time by the Executive Director, and may include a reduction or increase in the monitoring and reporting. NOTIFICATION Although State and Regional Water Board staff don not have duties first responder this Monitoring and Reporting Frogram is an appropriate mechanism to ensur that th aaencies that do have first res and r duties are notified in a timely manner in rder to protect public health and beneficial_use . 1. For any discharges of sewage that rgsults results in a dischar to a draina a channel or a surface water. the Discharger shall, as soon as pos i le but not later then two 2 hours after becoming aware f the discharge, notify the State ffice of Emergency Services. th e local health officer or directors of environmental health with jurisdiction over affected water bodies, and the appropriate Regional Water Quality Control Board. 2. As soon as possible. but no later then twenty-four 1241 hours after becorn aware of a discharcte to r in channel or a su[faCe water, the Di har er shall submit to the appropriate Regional Water Quality Control Board a certification that the State ffice f Emergency Services and the local health officer or directors of environmental health with ' ri i lion over th ffected water bodies have been notified of the discharge. A. SANITARY SEWER OVERFLOW REPORTING SSO Categories 1. Category 1 - All discharges of sewage resulting from a failure in the Enrollee's sanitary sewer system that: A. Equal or exceed 1000 gallons, or B. Result in a discharge to a drainage channel and/or surface water; or C. Discharge to a storm drainpipe that was not fully captured and returned to the sanitary sewer system. Monitoring and Reporting Program No.2006-0003-DWQ Page 2 of 5 Statewide General WDRs for Sanitary Sewer Systems Revised 02/20/2008 2. Category 2 —All other discharges of sewage resulting from a failure in the Enrollee's sanitary sewer system. 3. Private Lateral Sewage Discharges—Sewage discharges that are caused by blockages or other problems within a privately owned lateral. SSO Rep6rltinq Timeframes 4. Category 1 SSOs Except as provided above, all SSOs that meet the above criteria for Category 1 SSOs must be reported as soon as: (1) the Enrollee has knowledge of the discharge, (2) reporting is possible, and (3),reporting can be provided without substantially impeding cleanup or other emergency measures. Initial reporting of Category 1 SSOs must be reported to the Online SSO System as soon as possible but no later than 3 business days after the Enrollee is made aware of the SSO. Minimum information that must be contained in the 3-day report must include all information identified in section 9 below, except for item 9.K. A final certified report must be completed through the Online SSO System, within 15 calendar days of the conclusion of SSO response and remediation. Additional information may be added to the certified report, in the form of an attachment, at any time. The above reporting requirements are in addition to do not preclude other emergency notification requirements and timeframes mandated by other regulatory agencies (local County Health Officers, local Director of Environmental Health, Regional Water Boards, or Office of Emergency Services (OES)) or State law. 5. Category 2 SSOs —All SSOs that meet the above criteria for Category 2 SSOs must be reported to the Online SSO Database within 30 days after the end of the calendar month in which the SSO occurs (e.g. all SSOs occurring in the month of January must be entered into the database by March 1st). 6. Private Lateral Sewage Discharges—All sewage discharges that meet the above criteria for Private Lateral sewage discharges may be reported to the Online SSO Database based upon the Enrollee's discretion. If a Private Lateral sewage discharge is recorded in the SSO Database, the Enrollee must identify the sewage discharge as occurring and caused by a private lateral, and a responsible party (other than the Enrollee) should be identified, if known. 7. If there are no SSOs during the calendar month, the Enrollee will provide, within 30 days after the end of each calendar month, a statement through the Online SSO Database certifying that there were no SSOs for the designated month. 8. In the event that the SSO Online Database is not available, the enrollee must fax all required information to the appropriate Regional Water Board office in Monitoring and Reporting Program No.2006-0003-DWQ Page 3 of 5 Statewide General WDRs for Sanitary Sewer Systems Revised 02/20/2008 accordance with the time schedules identified above. In such event, the Enrollee must also enter all required information into the Online SSO Database as soon as practical. Mandatory Information to be Included in SSO Online Report!n4 All Enrollees must obtain SSO Database accounts and receive a "Username" and "Password" by registering through the California Integrated Water Quality System (CIWQS). These accounts will allow controlled and secure entry into the SSO Database. Additionally, within thirty (30) days of receiving an account and prior to recording SSOs into the SSO Database, all Enrollees must complete the "Collection System Questionnaire", which collects pertinent information regarding an Enrollee's collection system. The "Collection System Questionnaire" must be updated at least every 12.months. At a minimum, the following mandatory information must be included prior to finalizing and certifying an SSO report for each category of SSO: 9. Category 2 SSOs: A. Location of SSO by entering GPS coordinates; B. Applicable Regional Water Board, i.e. identify the region in which the SSO occurred; C. County where SSO occurred; D. Whether or not the SSO entered a drainage channel and/or surface water; E. Whether or not the SSO was discharged to a storm drain pipe that was not fully captured and returned to the sanitary sewer system; F. Estimated SSO volume in gallons; G. SSO source (manhole, cleanout, etc.); H. SSO cause (mainline blockage, roots, etc.); I. Time of SSO notification or discovery; J. Estimated operator arrival time; K. SSO destination; L. Estimated SSO end time; and M. SSO Certification. Upon SSO Certification, the SSO Database will issue a Final SSO Identification (ID) Number. 10.Private Lateral Sewage Discharges: A. All information listed above'(if applicable and known), as well as; B. Identification of sewage discharge as a private lateral sewage discharge; and C. Responsible party contact information (if known). Monitoring and Reporting Program No.2006-0003-DWQ Page 4 of 5 Statewide General WDRs for Sanitary Sewer Systems Revised 02/20/2008 11.Category 1 SSOs: A. All information listed for Category 2 SSOs, as well as; B. Estimated SSO volume that reached surface water, drainage channel, or not recovered from a storm drain; C. Estimated SSO amount recovered; D. Response and corrective action taken; E. If samples were taken, identify which regulatory agencies received sample results (if applicable). If no samples were taken, NA must be selected. F. Parameters that samples were analyzed for (if applicable); G. Identification of whether or not health warnings were posted; H. Beaches impacted (if applicable). .If no beach was impacted, NA must be selected; I. Whether or not there is an ongoing investigation; J. Steps taken or planned to reduce, eliminate, and prevent reoccurrence of the overflow and a schedule of major milestones for those steps; K. OES control number (if applicable); L. Date OES was called (if applicable); M. Time OES was called (if applicable); N. Identification of whether or not County Health Officers were called; O. Date County Health Officer was called (if applicable); and P. Time County Health Officer was called (if applicable). Reporting to Other Regulatory Agencies These reporting requirements do not preclude an Enrollee from-reporting SSOs to other regulatory agencies pursuant California state law. These reporting requirements do not replace other Regional Water Board telephone reporting requirements for SSOs. 1. The Enrollee shall report SSOs to OES, in accordance with California Water Code Section 13271. Office of Emergency Services Phone (800) 852-7550 2. The Enrollee shall report SSOs to County Health officials in accordance with California Health and Safety Code Section 5410 et seq. 3. The SSO database will automatically generate an e-mail notification with customized information about the SSO upon initial reporting of the SSO and final certification for all Category 1 SSOs. E-mails will be sent to the appropriate County Health Officer and/or Environmental Health Department if the county desires this information, and the appropriate Regional Water Board. Monitoring and Reporting Program No.2006-0003-DWQ Page 5 of 5 Statewide General WDRs for Sanitary Sewer Systems Revised 02/20/2008 B. Record Keeping 1. Individual SSO records shall be maintained by the Enrollee for a minimum of five years from the date of the SSO. This period may be extended when requested by a Regional Water Board Executive Officer. I.2. Omitted.l 3. All records shall be made available for review upon State or Regional Water Board staffs request. 4. All monitoring instruments and devices that are used by the Enrollee to fulfil!the prescribed monitoring and reporting program shall be properly maintained and calibrated as necessary to ensure their continued accuracy; 5. The Enrollee shall retain records of all SSOs, such as, but not limited to and when applicable: a. Record of Certified report, as submitted to the online SSO database; b. All original recordings for continuous monitoring instrumentation; C. Service call records and complaint logs of calls received by the Enrollee; d. SSO calls; e. SSO records; f. Steps that have been and will be taken to prevent the SSO from recurring and a schedule to implement those steps. g. Work orders, work completed, and any other maintenance records from the previous 5 years which are associated with responses and investigations of system problems related to SSOs; h. A list and description-of complaints from customers or others from the previous 5 years; and i. Documentation of performance and implementation measures for the previous 5 years. I , 6. If water quality samples are required by an environmental or health regulatory agency or State law, or if voluntary monitoring is conducted by the Enrollee or its agent(s), as a result of any SSO, records of monitoring information shall include: a. The date, exact place, and time of sampling or measurements; b. The individual(s) who performed the sampling or measurements; C. The date(s) analyses were performed; d. The individual(s) who performed the analyses; e. The analytical technique or method used; and, f. The results of such analyses. Monitoring and Reporting Program No.2006-0003-DWQ Page 6 of 5 Statewide General WDRs for Sanitary Sewer Systems Revised 02/20/2008 C. Certification 1. All final reports must be certified by an authorized person as required by Provision J of the Order. 2. Registration of authorized individuals, who may certify reports, will be in accordance with the CIWQS' protocols for reporting. Monitoring and Reporting Program No. 2006-0003 will become effective on the date of adoption by the State Water Board. The notification requirements added by Order No. WQ 2008-0002-EXEC will become effective upon issuance by the Executive Director. CERTIFICATION The undersigned Clerk to the Board does hereby certify that the foregoing is .a full; true, and correct copy of an order amended by the Executive Director of the State Water Board. I ro A A -,L Vvy Jea a Townsend CI to the Board Appendix 1-3: STATE CAF' CALIFORNIA WATER RESOURCES CONTROL BOARD ORDER NO. WQ 2013 068-EXEC AMENDING MONITORING AND REPORTING FROGRAM FOR STATEWIDE GENERAL WASTE DISCHARGE REQUIREMENTS FOR SANITARY SEWER SYSTEMS The State of California, Water Resources Control Board:, (hereafter State Water Board) finds; 1, "he state Water Board is authorized to prescribe statewide general Waste Discharge Requirements (WDRs) for categories of discharges that involve the same or similar operations and the same or simiilar types of waste pursuant to Water Code section 13263(i), 2. Water Code section 13193 et seq, requires the Regional Water Quality Control Boards (Regional Water Boards) and the State Water Board (collectively, the Water Boards)to gather Sanitary Sewer Overflow (SSO) information and make this information available to the public, including but not limited to, SSO cause, estimated voluim:e, location, date, time, duration, whether or not the SSO reached or may have reached waters of the state, response and corrective action taken,, and an enrollee's contact information for each SSO event. An enrollee is defined as the public entity having legal authority over the operation and maintenance of, or capital improvements to, a sanitary sewer system greater than one mile in length. 3, Water Code section 13271, et seq. requires notification to the California Office of Emergency Services (Cal ORB), formerly the California Emergency Management Agency, for certain unauthorized discharges, including SSOs. 4. On May 2, 200 , the State Water Board adopted Order 2010,5-0003-DWO, "Statewide Waste Discharge Requirements for Sanitary Sewer Systems"' (hereafter BB'S WDRs)to comply with Water Code section 13193 and to establish the framework for the statewide SSO Reduction Program. 5, Subsection G.2 of the SSS WDRs and the Monitoring and Reporting Program (MR P) provide that the Executive Director may modify the terms of the MRP at any time, & On February 20, 2008, the State Water Board Executive Director adopted a revised MR P for the SSS WDRs to rectify early notification deficiencies and ensure that first responders are notified in a timely manner of SSOs discharged into waters of the state, 7'. When notified of an SSO that reaches adrainage channel or surface water of the state, Cal OES, pursuant to Water Code section 13271(a)(3), forwards the SO notification information 2 to local government agencies and first responders including local puibl�ic health officials and the applicable Regional Water Board. Receipt of notifications for a single S,SO event from both the SSO reporter 1 Available for download at: nmm -0 gA 1sLi gaq�qqoRtqd_o r_d_e_.rAh&9-er.-gia fin'y2Q9§tWq-Q/-w-%o-2 Q-0§.--02Q1kq1! 2 Cal o Hazardous Materials SpHl Re rts available Online at: hUggg3.ca�em �a onpr2tjqnaV�nqlh.,,nsfjdej@. tview and Lu�n gf, � �qa/ - - -- -u— _ gl__ L- Monitoring and Reporting Program Oa No. WQ 2013-0058-EXEC Page 2 of 21 Statewide Waste Discharge Requirem�ents for Sanitary Sewer Systems and CW OES is du�plicative, To address this, the SS O notification requirements added by the February 20, 2 08 MAP revision are being re di in,this MI RP revision. 8, In,th biruary 28,, 2008 Mernorandiurn of Agreement between the State Water Board and the California Water and Environment Association (CWEA), the State Water Board committed to re- designingthe ICIWQS3 Online, $SO Database to aflow "'evenit" based SS 01 reporting versus the original "location" based reporting. Revisions to this MRP and accompanying, changesto the CIWQS Onfine SS O Database will impl ernent this change by, allowing for multiple DSO appearance points, to, be associated with each SS O event caused by a single asset faflure, 9 Based on stakeholder input and Water Board staff lexplerieru ce impler-nenting the DSO Red=tion Program, SSO categories have been revised in,this MR,P, In the prior version of the MRP, SS Os have been categorized as Category I or Category 2, This MRP implements changes to SS'O categi ail es by adding a Category 3 SS O type. This, change will improve dais management to further assist Water Board, St2ff with evakiation of high threat rid low threat SS 09 by placing them in uniique categones i.e., Category 11, and Category 3,,, respectively), TNs change will also alssist enrollees in identifying SS 0s that require Cpl OES notification, 10. Based an over sp x years of implementation otters SS,S WDRs, the State Water Board conc�udes that the February 20, 2008 MRP must be updated to better advance the SS O Reduction Program" objectives, assess, compliance, and enforce the requirements of the SSS WDRs. IT IS HEREBY O 'DIE REDTHAT: Pursuant to the authority delegated by Water Code section 13267(f), Resolution 2002-0104, and Order 2,00,6-0003-DWQ, the MRP for the SSA WDRs (Order 2006-0003-DWQ), is he!reby amended as shown inktachment A and shall be effective on 07126/2013. n6lo Date Thomas Howard Executive Director Calftrn Mtegrated Water Quality System(MO S)pubHoly avaHaNe at gV,M Lu-91algo! 4 Statewide Sannary S r Overflow Reduabon,Program�nfbrmafion is available at, �jyj:.�/ rog -gg, fWqt,p e,,Jp .rarnahnal VMMa@j,!,L _pld§L qpy_ g-�gm s ATTACHMENT A STATE WATER RESOURCES CONTROL IECARI ORDER NO. WO 2013-0058-EXEC AMENDING MONITORING RIING AIND REPORTING PROGRAMI FOR STATEWIDE GENERAL WASTE DISCHARGE REQUIREMENTS FOR SANITARY SEWER SYSTEMS This Monitoring and Reporting Program (MRP) establishes monitoring, record keeping, reporting and public notification requirements for Order 200 -0003-I WW I„ "Statewide General Waste Discharge Requirements for Sanitary Sewer Systems" (SSS WWI Rs). This MRP shall' be effective from September , 2013 until it is rescinded. The Executive Director may make revisions to this MRP at any time. These revisions may include a reduction or increase in the monitoring and reporting requirements. All site specific records and data developed pursuant to the S'SS WWDRs and this MRP shall be complete, accurate, and justified by evidence maintained by the enrollee. Failure to comply with this MRP may subject an enrollee to civil liabilities of up to $5,000 a day per violation pursuant to,Water Code section 13350; up to $11, a day per violation pursuant to Water Code section 13268; or referral to the Attorney General for judicial civil) enforcement. The ;Mate Water Resources Control Board (State Water Iloard) reserves the right to take any further enforcement action authorized by law. A. SUMMARY OF MRP REQUIREMENTS Table 1 Shill Categories and Definitions I II I IIIIIIII 1 �� 111 '� Discharges of untreated or partially treated wastewater of g resulting from an enrollee's sanitary sewer system failure or flow condition that: Reach surface water and/or reach a drainage channel tributary to a surface water, or Reach a Municipal Separate Storm Sewer System (MlS4)and are not fully captured and returned to the sanitary sewer system or not otherwise captured and disposed of properly. Any voluirme of wastewater not recovered from the MS4 is considered to have reached surface water unless the storm drain system discharges to a dedicated storm water or groundwater infiltration baslirn (e.g. infiltration pit, percolation pond). Discharges of untreated or partially treated wastewater of 1,0001 gallons oir nrq eater resulting from en enrollee's sanitary sewer system failure or flows condition that do not reach surface,water,a drainage channel, or a MS4 untess the entire SSC discharged to the storm drain system its fully recovered and dispensed of properly. All other discharges of untreated or partiatly treated wastewater iresulting from an enrollee's sanitary sewer system failure or flow condition. Discharges of untreated)or p rtiallly tareated wastewater,resulting from blockages or other problems within a rl ate) owned sewer lateral connected to,the enrollee's sanitary sewer systems or from other private sewer assets. PLSf that the enrollee becomes a^ are of may be voluntarily reported to the California Integrated Water!Quality System (CIWW S)Cnlwne s ate Database. Monitoring and Reporting r r r Order r No:, WQ 2013-0058-EXEC Rage 2 of 11 Statowide Waste ' ch r uire m nt for Sanitary Sewer-S trans Table t rr, Reporting, Monftoriing, and Record Keeping rr qu eats Within two,hours of becorning aware,of any Call Cal IDES t category 1 Sso greater ten,or onival to (800) 852.7550 y , 1,01010 giallons,discharged Ig surface Apt r or tttir dl In a location ri It probably wrMwrttt be disthalged to surface r, notify the jlCalfforinis Office,of Emergency Services,(Cal SE'S)and obtMn a nottfication control number, * Category,J 11 llJ1JJ f SS O- l % Submit draft report within three Enter data into the ClWQ Oinfine days of becoming f t �St r C t certify whir 15 calendar days of SSO end dt . Ntt q..waterboards.!p4,_qgy/), U Category 2 S�Su Submit draft report within 3 oertffied by e ro%e's Legally us�n s ,days, �f becoming aware f the SS rnd . p rmudN ft ��� „ u certfy within 15 calendar days of the SSO end l date. Category SSw ; Submit certified report within calendar days of the nd iof month rm rt ich, SSO tlhe occurred * SSO Technicai Report" Submit within 45 calendar days after the sand date of any Category 1' SSO in which 5,01,000 gaHons or greater r wire spilled to uurf waters, o "No Splll" Certification: Certify that no SSOs occurred wwttmNri 30 calendar days of the crud of th month orb if reporting q art dy, the quarter in which no SSOs occurred, * t crll etucart S t m to esbo mrm wir . Update and certffy every 12 rim rnths,, Conduct water quit laity sampling_rttFmuir hours Water quality results are required after mi�utw sf$30 notifilcation for Category 1 3�1 be pl d d into CIWQS for in which 50! 000 gallons or greater are spilled to Category I S80s,in which ,1 surface waters, gallons,or greater are spilled to rJ' surface waters, �lflr � fI � SSO event records, Self-maintained records squall be f * Records documenting Sairwltry ewer avaiiiable during inspections or Management Plan (SS MP) umrm ler"rmermt to rr and upon request, chianges/updates to the SS * Records to document ent"w ater Quality Monitoring 1 for SSO of 50,0010,gallons or greater spilled to surfed water, Collection system telemetry records of relied upon to document and/or estimate SS Volume. Mw*ofing and Reporting Program Order No, WQ 2013-0058-,FXEC Page 3 of I I Statewide Waste Discharge Requirements far,Sanit ary Sewcr Systems B. NOTIFICATION R.�QUJIREMENTS Although Regional Waiter QUality Control Boards (Regional Water oardls) and the State Water Board (coil ectively, the Water Boards), staff do not have duties as first responders, this MRP is an appropriate mechanism to ensure that the agencies that have first responder duties are notified in a firneiy manner in order to protect puNic health and beinefiicW uses,, For any Sato gory 1 SSO . q _pL. to 00 allons that results in a discharge to a surface water o�r spilled in a location where it probably will be discharged to Surface water, either directly or by way of a drainage channel or MS4, the enrollee shall, as soon as possible, but not later than,two 21 our after (A) the enrollee has, knowledge of the L _ discharge, (B) notification is possible, and (C) notification can be provided without substantially impeding cleanup or other emergency measures, notify the Cal O and obtain a notification control nUrnber. Z To satisfy notification requirements for each applicable SS O, the enroHee shaH provide the information requested by Cal ES before receiving a controi number, Spill information requested by Cal OES may include-, L dame ame of person notifying Cal OES and direct return phone number, iL Estimated S volume discharged (galions). 4L If ongoing, estimated SSO discharge rate (gallons per minute). iv. SSO Incident Description, a. Brief narrative, b. On:-scene point of contact for additional information (name and cell phone nurnber), c. Date and time enrollee became aware of the SS O,, d. Name of sanitary sewer system agency causing the SSO,. e. SSO cause (iif known). v. indication of whether the SSO has been contained. vi. Indication of whether surface water is impacted. vii. Name of surface water impacted by the SS O, if applicable, viii, indication of whether,a drinking water supply is or may be impacted by the SS O, ix. Any other known SSO impacts. x. SSO incident location (address, city, state, and zip, code),. 3. Following the initial notification to Cal OES and until such time that an enrollee certifies the SSO report in the ClWQS Online SSO Database, the enrollee shall provide updates to Cal OES regarding substantial changes to the estimated vol urne of untreated or partially treated sewagle discharged and any substantial change(s) to knownimpact(s). 4 PLSDs- The enrollee is strongly encouraged to notify Call OES, of discharges greater than or equal to 1,,000 gallons, Of untreated or partially treated wastewater that result or may reSUlt in a discharge to surface wate:r resulting from failures or flow conditions w-i't'hiin IT gLpdv��fLj sewer lateral or frorn other pri sewer,assets if the enrollee becomes aware of the P,LSD. Monitoring and Retporting Program Order No. WQ 2013-0058-EXEC Page of I I Statewide Waste Disctwrge Requirements, for Sanitary Sewer Systems C. REPORTING REQUIREMENTS 1, CI WQS Online SSO Database Account: All enrollees shall obtain a C1W Online SSO Database account and receive a "Username" and "Password," by registering through ClWQS. These accounts allow controlled and secure entry into the Cl QS Online SSO Database. 2 SSO Mandatory Reporting Information: For reporting purposes, if one SSO event results in mUitiple appearance points in a sewer system asset, the enrollee shall complete one SSO report in the CIWQS Online SS,O Database which includes the GPS coordinates for the location of the SSO appearance point closest to the failure point, blockage or location of the flow condition that caused the SSO, and provide descriptions of the locations of all other discharge points associated with the SSO event. 3. SSO Cale ories L Category 1 ® Discharges of untreated or partially treated wastewater of and lume resuiting frorn an enrollee's sanitary sevver system failure or flow condition that: ,a. Reach surface water and/or reach a drainage channel tributary to a surface water; or b. Reach a MS4 and are not fully captured avid returned to the sanitary sewer system or not otherwise captured and disposed of properly, Any volume of wastewater not, recovered frorn the MS4 is considered to have reached surface water unless the storm drain systern discharges to a dedicated storm water or groundwater infiltration basin (e.g., infiltration pit, percolation pond). iL Category 2 — Discharges of untreated or partially treated wastewater r� ter flair or eau al to 1,099—ollons resulting from an enrollee's sanitary sewer system failure or flow condition that does not reach a surface water, a drainage channel, or the MS4 unless the entire SSO volume discharged to the storm drain system is fully recovered and disposed of properly. iH. Category 3—All other discharges of untreated or partially treated wastewater resulting from an enroliee's sanitary, sewer system failure or flow condition. ri 4. Sanitary_qear Overflow Rgportin to IAQS - Timeframes i. Category I and Category 2 SSOs —All SS0s that meet the above criteria for Category I or Category 2 SSOs shall be reported to the CIMS Online SSO Database: a. Draft reports for Category 1 and Category 2 SS Os shall be submitted to the CIVVQS I Online SSO Database within three � Ibusiness 021SE of the enrollee becoming aware of the SSO. Minimum information that shall be reported in a draft Category 1 SSO report shall include all information identified in section 8J.a. below. Minimum information that shall be reported in a Category 2 S80 draft report shall include all information identified in section 8J.c below. b. A final Category 1 or Category 2 SSO report shall be certified through the CI'WQS Onfine SSO Database within 15 calendar da s of the end data of the SSO. Minimum information that shall be certified in the final Category 1 SSO report shall include all information identified in section 8J.b below. Minimum information that shall be certi Pied in a final Category 2 SSO report shall include all information identified in section 8.i,d below'. Monitoring and Reporting Program: Order No, WQ 2013-0058-EXEC Page 5 of I I Statew(de Waste Discharge Requirements for Sanitary Sewer SY.Sterns H. Categofy 3 SSOs —All S that rneet the above criteria for Category 3 SSOs shall be reported to the CIWQS Online SSO Database and certified within 30 calendar days after the end of the calendar month in which the SSO occurs (e.g., all Category 3 S occurring in the month of February shall be entered into the database and certified by March 30), Minimum information that shall be certified in a final Category 3 SSO report shall include all information identified in section .i.e 8 below. Ili "'No Spill" Certification — If there are no SS Os during the calendar month, the enrollee shall either 1) certify, within 30 calendar, days after the end of each calendar month, a "No Spill" certification statement in the CIWQS Online SSO Database certifying that there were no SSO�s for the designated month, or 2) certify', quarterly within 30 calendar days after the end of each quarte,r, "No Spill," certification statements in the CSI WQS Onfine SSO Database certify ng that there were no S s for each month in the quarter bleing reported on. For quartedy reporting, the quarters are Q1 - January/ February/ March, Q2 - April/May/June, Q3, - JulyiAugus,V'S eptember, and Q4 - C ct bei,/Nlovef-nber/Decernber, If there are no SS,Os during a calendar month but the enrollee reported a PLSD, the enrollee shall still certify a "No Spill" certification statement for that month. iv. Amended SSO Reports—The enrollee may Update or add additional information to a certified SS01 report within; 120 calendar days after the SSO end date by amending the report or by adding an attachment to the SSO report in the CIWQS Online SSO Database, SSO reports certified in the CIWQS O; nlIne SSO Database prior to the adoption date of this MRP may only be amended Up to 120 days, after the effecflve date of this MRP. duffer 120 days, the enrollee may contact the SSO Program Manager to request to amend an SSO report, if the enrollee also submits justification for why the additional information was not available prio r to the end of the 120 days. 5 SSO Technical Reneirt The enrollee shall SUbmit an SSO Technical Report in the CIWQS Onfine SSO Database within 45 calendar days of the SSO end date for any SSO in which 50,000 gallons or greater are spilled to surface waters. This report, which does riot preclude the Water Boards from requiring more detailed analyses if requested, shall include at a minimurn, the folloWng: L Causes and Circumstances of the S,SO. a. Complete and detailed explanation of how and when the SSO was 6scovered, L Diagram showing the SSO failure point, appearance polint(s), and final destination($), c. Detailed description of the methodology employed and available data used to calculate the VOlUrne of the SSO and, if apiplicabilel, the SSO volume recovered'. d. Detailed description of the cause(s) of the SSO. e. Copies of original field crew records used to document the SSO. f. Historicai maintenance records for the faHure location. ii, Enrollee's se.2gL Res n . _.Lq SSO: a. Chronological narrative description of all actions taken by enrollee to terminate the $pill. b. Explanation of how the SS MP Overflow Emergency Response plan was implemented to respond to and mitigate the SSO. Monitoring and Reporting P;Dgram Or-der No. WQ 20,13-0058-EXEC Page 6 of'l I Statewide Wasto Discharge Requiannents for Sanitary Sewer Systems c, Final correclIve action(s) completed arid/or planned to be completed, including a schedule for actions not yet corripl eted. iii. WatI!E_QYarI!Y onitorin . — . –M 9L a, Description f all war ter quality sampling activities conducted including analyticai resu is and evaluation of the resuits. b, Detailed location map illustrating all water quality sampfin oinits. 6, PLSDs Discharges of untreated or partially treated wastewater resulting from blockages, or other problems with iin.,gS.!jVat@__IY owned sqwer lateral connected to the enroflee's sanitary sewer system crTr�`m""othe"r-"p"rTvate sanitary sewer system assets may be voluntari replortedtothe j IL-4-It C1 QS Online SS O Database, i, The enr0ee 'is also encouraged to provide notification to Cal O per section B above when a PLSD greater than or equal to 1,000 gallons has r may result in a discharge to surface water. For any PPS D greater than or equal to 1,000 gaillons regardlliess, of,the spill destination, the enrollee is also encouraged to,file a spill report as required by Health and Safety Code section 5410 et, seq. and Water Code section "1327"1, or notify the responsible party that notification and reporting should be completed as specified above and required by Strut e law, iL I f a PLS D is recorded in the CIWQS Onlliine SS O Database, the enrollee Must identify the sewage discharge as occurring and caused by a private sanitary sewer system asset and should identify a responsible party (other than the enroflee), if known, Certification of PLED reports by enroflees is not required. 7', qIWQS QUIine SSO Qagbase Unavallijbi[ily ln the event that the CIWQS Online SS'O Database is riot av ail aUe, the enrollee must fax or e-mail all required information to the appropriate Regional Water Board office in accordance, with the time schedt,rIes identified herein. lien such event, the enrollee must also einter all required information into the ClWQS Online SSO Database when the database becomes available, 8, Mandat2ry Infornlatiern to be Included in Cl WQS Qrffne SSA ReRqrtLM All enrollees shall obtain a CIWQS Online SSO Database aCCOUnt and receive a "U:sernarrm e" and "Password" by registering:through CIW'QS which carn be reached at g1VY0,Sfc)w@terbq:drdLs,qa.cov or by calling (866) 792-4977, M-F, 8 A.M. to 5 P.M. These accounts will allow controlled and secure entry into the ClWQS Online SS 01 Database:. Additionally, within thirty (30) days of uinitial enrollment and prior to recording SS Os into the CIWQS Online SSO Database, all enrollees must complete a Coflectlon System Questionnaire, (Questionnaire), 'The Questionnaire shall be Updated at least once every '12 nionths. i. ssp_ arty At a minirTILIM�, the following mandatory information shall be reported prior to finalizing and certifying an S SO report for each category of SSO: Monitoring and Reporting Program Order No. WQ 2013-0058-EXEC Page 7 of I I Statewide Waste Discharge Requirements for Sanitary Sewer Systems a. Draft Cate aory 1 SSOs-. A-t a minimurn, the following mandatory information shall be reported -for a draft Category 1 SSO repoft-, 1. SSO Contact lnformiation, Name and telephone number of enrollee contact person who can answer specific questions about the SSO b,eing reported. 2. SSO Location Name. & Location of the overflow event (SSO) by entering GPS coordinates, if a single overflow event results in multiple appearance points, provide GAS coordinates for the appearance point closest to the failure point and describe each additlonal appearance point in the SSO appearance point explanation 'field. 4, Whether or not the SSO reached surface water, a drainage channel, or entered and was discharged from a drainage strUcture. 5. Whether or not the SSO reached a municipal separate storm drain system. & Whether, or not the total SSO volume that reached a municipal separate storm drain system was fully recovered. 7. Estimate of the SSO violume, inclusive of all discharge point(s). & Estimate of the SSO volume that reached surface water, a drainage channel, or was not recovered from a storm drain. 9 Estimate of the SSO volume recovered (if applicable). 10. Number of SSO appearance point(s). 11. Description and location of SSO appearance point(s). if a single sanitary sewer system failuire results in multiple SSO appearance points, each appearance point Must be described. 12. SSO start date and firne. 13. Date and time the enrollee was notified of, or self-discover d, the SSO. 14. Estimated operator arrival time. 15. For spills greatem r than or equal to 1,000 gallons, the date and time Cal OE'S was called. 16. For spHis greater than or equal to 1,000 gallons, the Cal O,ES control number, b. 'Certified Cate oLLI �LSO& At a rninirrILIM, the following mandatory information shall be reported for a certified Category 1 SSO, report, in addition to all fi elds in se tion 8J,a : 1. Description of SSO destination(s). 2. SSO end date and time. 3. SSO causes (maininn blockage, roots, etc.), 4. SSO failUre point (main, lateral, etc.). 5. Whether or not the spill was associated with a storm event. 6. Description of spili corrective action, including steps planned or taken to reduce, eliminate, and prevent reoccurrence of the overflow; and a schedule of major nnflestones for those steps. T Description of spill response a,r-livities. 8. Spill response compl etion date. 9. Whether oir not there is an ongoing investigation, the reasons for thus investigation and the expected date of cornpletion. Monitoring and Rep offing Program Order No. WQ 20,13-0056-EXEC Page 8 of I I Statewide Waste DisschaTe Requirements for Sanitary Sewer SYS'toms 10. Whether or n ot a beach closu re occu rred o r rn ay have occurred as a resu It of thou sso, 11, Whether or not health warnings were posted as a ireslu It of the SSO. 12, Name of beach(es) closed and/or impacted, If no beach was urnpacted, NA shall be selected. 13 Name of surface water,(s) impacted, 14, If water quality samples were collected, identil'y parameter's ft-n e water quality samples were analyzed for. If no; sarnples were taken, NA shall be selected, 15, If water qUality samples were taken, identify which: regulatory, agencies: received sample results (if applicable). If no samples were taken, NA shall be selected. M Description of niethod'ology(ies) and type of data relined upon for estimations of the SSO volume discharged and recovered. 1T SSO Cerfifi cation: Upon SS O Certification, the CIWQS Online SSO Database will issue a final S,SO identification (0) number. c, graft r : cwt a rninirriurn, the foillowing mandaitory information shall be reported for a draft Category 2 SSO r urt: 1. Items 1-14 in, section 8J.a above for Draft Category 1 SSO d. Certified Cgtjg9jy 2 SSOw At a rninumum, the follow Ing mandatory information shall �be reported for a certified Category 2 SSO report: 1. Items 1-14 in section, 8.j.a ablave for Draft Category 1 SSO and It erns 1-9, and 17 in section 8J.b above for Certified Category 1 SS O. e. Certified Cate 9ry_jSS0s: At a minimum, the fcHowing mandatory information shall be reported for a certified Category 3 SSO report 1. It erns 1-14 in section 8J.a above for Draft Category I SSO and Items 1-6, arid 17 in section 8.i,b above for Certified Category 1 SAC" A.5SOs to Other ReRulatory A en cies 2_ These reporting requirements do not preclude an enroHee from reporting SSOs to other regulatory agencies pursuant to state law. In addition, these reporting requirements do not repiace other Regional Water Board notification and reporting requirements for SOs. iii. Collection Sj§tern Questioqnaire The re:q:uired Questionnaire (see subsection G of the SSS WDRs,) provides the Water Boards with site-specifi c information related tau the enrollee's sanitary sewer system. The enroHee shall complete and certify the Questionnaire at least every 12 months to facilitate program implementation, compliance assessment, and enforicernent response. iv, SS MP Availabi L H ty 'The enrollee shall provide the plublicly available internet web site address to the CIWQS, Online SSO Database where a downloadable copy olf the enrollee's, approved SSMI P, critical SUPporiling d0CUrnents referenced in the SS MP, and pirolof of local governing board approval of the S,S is posted. If ali of the SSM'P documentation listed in th!is, subsection is not publicly available on the lriternet, the en�roll shall comp�y with the following procedure: Monitoring and Reportil7g Program Order No. WO 2013-0058-EXEC Page 9ofll Statewide Waste. Discharge Requirements for Sanitary Sewer Systems a. Submit an,'electronic copy of the enrollee's approved SSMP, critical supporting documents referenced in the SSMR and proof of local governing board approval of the SSMP to the State Water Board, within 30 days of that approval and within 30 days of any subsequent SSMP re-certifications, ter the following rnaiiing address, State Water Resources Control Board Division of Water Quality Attn: SS O Pr grarn Manager 1001 l Street, 15th IR oor, Sacramento, CA 95814 D. WATER UA LIT-� MONITORING REQUIREMENTS: To comply with subsection D.7(v) of the SS S W Rs, the enrollee shall develop and implement an SSO Water Quality Monitoring Program to assess impacts from SSOS to surfa waters in which 50,000 gallons or greater are spilled to surface waters,, The SSO Water Quality Monitoring Program, shall, at a rnlnimum: 1. Contain Protocols for water,quality monitoring. 2. Account for spill travel tirne in the surface water and scenarios where monitoring may not be possibll e (e.g. safety, access restrictions, etc.). 3. Require water quality analyses for ammonia and bacterial indicators to be performed by an accredited or certified laboiratory. 4. Require monitoring instruments and devices, used to inqplernent the SS O Water Quality Monitoring Program to be property maintaMed and calibrated, including any records to document maintenance and caHbration, as necessary, to ensurie their continued accuracy. 5, Within 48 hours of the enrollee becoming aware of the SSO, require water quality sampling for, at a minimum, the foHowing constituents". L Arnmonia H. Appropriate Bacterial indicator(s) per the applicable Basin Plan water quality obje�live or Regional Board direction which may include total and fecal coliforim, enter us, and e-cofi, E. RECORD KEEPING REQUIREMENTS: The foll owing records shall be maintained by the enroHeefor a minirnum of five (Q_y2,,gr, !, and shall be rnade available f' wr review by the Water Boards during an onsite inspection or through an information request, 1 General Records: The enrollee shall rnaintain records to document compliance with all provisions of the SSS WDRs and this MRP for each sanitary sewer system owned including any required records generated by mi enrollee's sanitary sewer system contractor(s), 2. SS O Records: The enrollee shall maintain records for each S&O event, including but not limited to,, i. Complaint records documenting how the enrollee responded to all notifications of possible or actual SSOs, both during and after business hours, including complaints that do not Monitofing and Reporting Program Order No. KIQ 2013-0058-EXE7C Page 10 of 11 tats ride Waste, Discharge Requirempnts for Sanitar y Sewer Sy terra result in DSOs. Each complaint record shall, at a minimum, include the fofloWng information: a. Date, time, and method of notification. b, Date and firne the COMplainant or Informant first noticed the SSO�, c. Narrative description of the complaint, including any information the caller can provide regarding whether or not the cornpiainant or informant reporting the potential SSO knows if the SSO has reached surface waters, drainage channels or stonin drains. d. Foilow-up return, contact information for complainant or informant for each complaint received, if not reported anonymously. e. Final resoMion of the complaint, H, Records documenting steps aridlor remedial actions undertaken to enrollee,, using all available information, to comply with section DY of the ASS WDRs, iii., Records documenitin:g how all estirnate(s) of volume(s) discharged and, if appilicable, volume(s), recovered were calculated. 1 Records documenting all changes made to the SSMP since Its last certification jindicating when a subsectioni(s,) of the SSMP was changed and/or nu dated and who authorized the change or, update. These records shall be attached to the S,SMP, 4. Electronic monitoring records relied upon for documenting SS O events and/'or estimating the SSO volurnie discharged, including, bUt not limited to records from: L Supervisory Control and Data Acquisition (SCADA) systenis N. Alarm systern(s) iH Flow monitoring device(s) or other instrurnent(s) used 'to estimate wastewater levels:, flow rates and/or volurnes. F, CERTIFICATION. 1 Ali information required to be re ported into the CIWQS Onfine SS01 Database shali be certified by a person designated as described in subsection J of the SSS )NDRs. This desi�gnated person is also known as a Legally Responsible Official (LRO). An enrollee may have more than one LRO, 2, Any designated person (Le, an LRO) shall be registered with the State Water Board to certify reports in accordance with the CiWOS protocols for reporting. 3,, Data Submitter(DS),; Any enrollee employee or contractor may, enter draft, data into the CIWQS Online SSO Database on behalf of the enrollee if authorized by the LRO and registered with the State Water Board, However, only LROs may certify reports in CIMS, 4, The enrollee shall maintain continuous coverage by an LRO. Any' change of a, registered LRO, or DS (e.g., retired staffl, including deactivation or a change to the L.RO's or DS�'s contact infiormafion, shall be submifted by the enroHee tio the State Water Board within 30 days of the change by calling (866) 792-4977 or e­maifing help .war qs.wa tent oarcdlLcaqov,. Monitoring and Repofting Program Order No, WQ 2013-0058-EXEC Page 11' Off"1I Statewide Waste Discharge Requirements for Sanitary S r,Systems 5n A registered deshgnated person (i.e., an L shall certify all required reports under penafty of perjury laws of the state! as stated in the C1 OnUne SS O Database at,the timie of certification, CERTIFICATION The undlersigned Clerk to the Board does, hiereby ceftify that the foregoing is a fuill, true, and correct copy of an order arnended by the Executive Director of the State Water Resources Control Board. Date i �ne Townsien irk to the rd *t Boa;I Sewer System Management Plan—Revision 01 Element 2—Organization City of Arroyo Grande SSMP Element 2 - Organization The intent of this section is to identify the City of Arroyo Grande Staff that are responsible for implementing this SSMP, responding to SSO events, and meeting the SSO reporting requirements. This section also includes the designation of the Authorized Representative to comply with the SWRCB requirements for completing and certifying spill reporting. Element 2: Organization Appendix Supporting information for Element 2 is included in Appendix 2. This Appendix includes the following documents: • Council names and position currently held (updated as needed) • Staff Contact Information (updated as needed) • Public Works Department Organization Chart 2.1 Regulatory Requirements The collection system agency's SSMP must identify: • The name of the responsible and authorized representative; • The names and telephone numbers for management, administrative and maintenance positions responsible for implementing specific measures in the SSMP program. Include lines of authority as shown in an organization chart or similar documents with a narrative explanation; and • The chain of communication for reporting SSOs, from receipt of a complaint or other information, including persons responsible for reporting the SSO to the Office of Emergency Services, Regional Water Quality Control Board and, County Environmental Health Agency. 2.2 Organization Discussion The following section outlines the City of Arroyo Grande organization, general and SSMP responsibilities of personnel, authorized representative, and chains of communication for SSO responding and reporting. (Names and contact information of current Staff is available in Appendix 2-2). 2.3 City of Arroyo Grande Organization Arroyo Grande was incorporated as a city July 10, 1911. As mentioned earlier, the City of Arroyo Grande is a member agency with SSLOCSD. Arroyo Grande is the largest city served by SSLOCSD. The City of Arroyo Grande is governed by a five member Council, with council members serving four (4) year terms. The City Council is an elected body that makes decisions in the best interest of the city and its residents. The City Council establishes City policy, establishes goals and objectives, approves the annual budget, approves expenditures and performs other related functions. Daily management of the sewage collection system is carried out by the Utilities Supervisor. This individual reports to the Public Works Director who reports to the City Manager. (See Figure 2-1 for The City of Arroyo Grande organization structure). City of Arroyo Grande SSMP Page 2-1 WON IN Sewer System Management Plan—Revision 01 Element 2—Organization City of Arroyo Grande SSMP The Director is the authorized representative responsible for implementation of the Sewer System Management Plan (SSMP). The Director is also, the designated Staff member who is responsible for all Wastewater Collection operations. A Maintenance Services Supervisor is on-call during non-office hours. Figure 2-1 City of Arroyo Grande Organizational Chart City Of Arroyo Grande Organization Curt CITIZENS CITY COUNCIL FIRE TY ATTORNEY (j PA) ------------------ CI CITY MANAGER LEGISLATIVE&INFORMATION SERVICES RECREATION SERVICES POLICE (City Clerk; (Recreation/Childcare/ Information Technology) Facility Reservations) ADMINISTRATIVE SERVICES COMMUNITY DEVELOPMENT PUBLIC WORKS T Accounts Payable;Payroll; Planning;Engineering;Building, Strecis and Landscaping,Utilities, Utility Billing;Human Resources Neighborhood Services Capital Projects,Parks,Facililics 2.4 Description of General Responsibilities This section includes a brief description of the job title, authority and respective responsibilities associated with each position. City Council Members The legislative head of the City of Arroyo Grande is the City Council which is composed of five members. The five city council members are elected at-large, on a non-partisan basis. Residents elect the Mayor and four Council members. City of Arroyo Grande SSMP Page 2-2 NMI lm� Sewer System Management Plan—Revision 01 Element 2—Organization City of Arroyo Grande SSMP Council members serve four-year overlapping terms. The mayor is directly elected and serves a two-year term. The City Council establishes City policies, approves ordinances and resolutions, makes land use decisions, approves agreements and contracts, and hears appeals on decisions made by City Staff or advisory committees. The Mayor and City Council members receive a monthly stipend set by resolution. One member of the City Council is selected to serve on the South San Luis Obispo County Sanitation District board. (See Appendix 2-1 for a current list of City Council Members.) Public Works Director(Director) This position serves as the primary administrator and liaison between City Manager and Staff. The Director also makes Public Works policy recommendations. These policies are presented to City Council Members for approval and adoption. The Director is responsible for directing, managing and overseeing activities and operations of the Public Works Department including streets, water, and sewer services to coordinate assigned activities with other departments and outside agencies. The Director reviews budget requests and makes recommendations to the City Manager on final expenditure levels, manages all labor/management activities, and performs development review and permit issuance. For name of current position holder see Appendix 2-2. City Engineer The City Engineer is responsible for a variety of engineering functions in support of City land development, traffic, and capital improvement programs; to coordinate and plan projects including preparation of proposals, reviewing plans, preparing reports and coordinating construction activities; to ensure work quality and adherence to established policies and procedures; and to perform the more technical and complex tasks relative to assigned area of responsibility. For name of current position holder see Appendix 2-2. Public Works Supervisor- Utilities The Public Works Supervisor - Utilities directs the daily operations of all maintenance activities within the Department. The Utilities Supervisor develops policies for work activities to ensure compliance while creating benchmarks of the policies implemented. Additionally, the Utilities Supervisor works with the utilities division regarding any clean ups and repairs made to the City of Arroyo Grande wastewater collection system and related appurtenances. The Utilities Supervisor also prepares and administers assigned program budgets, monitors and authorizes expenditures and makes recommendations for existing and future Department budgets. This position serves as one of the standby positions for emergency response for the Public Works Department after office hours. For name of current position holder see Appendix 2-2. Office Assistant H The Office Assistant II provides administrative support to the Public Works Department and the Director. The Office Assistant II provides information and assistance to the public regarding departmental policies and procedures while performing a variety of duties relative to an assigned area of responsibility. This position performs secretarial, receptionist and administrative tasks, some of which are complex and confidential in nature. For name of current position holder see Appendix 2-2. Maintenance Services Staff Provides support to all parts of operation. Maintenance Services Staff perform a variety of functions related to construction, repair and maintenance of parks, buildings, streets, sewage City of Arroyo Grande SSMP Page 2-3 NMI lm� Sewer System Management Plan—Revision 01 Element 2—Organization City of Arroyo Grande SSMP collection systems or water distribution systems. Maintenance Services Staff operate vehicles, equipment, tools and receive training in emergency response. Office & 24 Hr. Emergency The City of Arroyo Grande is open Monday through Friday from 7:30 am to 4 pm. All emergency calls after hours must be placed to the Police Department who will notify the on-call Supervisor. City of Arroyo Grande 1375 Ash Street Arroyo Grande, CA 93420 (805)473-5460 T City of Arroyo Grande Police Department 200 N Halcyon Rd Arroyo Grande, CA 93420 (805)473-5100 T 2.5 Responsibility for SSMP Implementation The Director is responsible for overseeing the overall implementation of the SSMP. Various individuals within the City of Arroyo Grande organization are responsible for implementing one or more of the SSMP elements. Table 2-1 summarizes the responsibilities for SSMP implementation by element. Table 2-1 Responsibility for SSMP Implementation by Element 1 Goals Public Works Director 2 Organization Public Works Director 3 Legal Authority Public Works Director Public Works Director, Utilities 4 Operations and Maintenance Program Supervisor 5 Design and Performance Provisions Public Works Director 6 Overflow Emergency Response Plan Utilities Supervisor 7 FOG Control Program Utilities Supervisor System Evaluation and Capacity Assurance Public Works Director, Engineering 8 Plan Consultant Monitoring, Measurement, and Plan Public Works Director, Utilities 9 Modifications Supervisor&Engineering Consultant Public Works Director, Utilities 10 SSMP Program Audits Supervisor&Engineering Consultant Public Works Director, Utilities 11 Communication Program Supervisor City of Arroyo Grande SSMP Page 2-4 NMI IN Sewer System Management Plan—Revision 01 Element 2—Organization City of Arroyo Grande SSMP Responsibility for Element 1— Goals The Director is responsible for leading Staff in the implementation of the City of Arroyo Grande goals. Responsibility for Element 2— Organization The Director is responsible for updating the organizational structure, SSMP implementation assignments, and SSO responding and reporting chain of communication, as needed. Responsibility for Element 3— Legal Authority The Director is responsible for upholding the City of Arroyo Grande Municipal Code and for drafting new ordinances, as needed. Responsibility for Element 4— Operations and Maintenance Program The Director and Utilities Supervisor are responsible, in part, for 1) Resources and Budget, 2) Outreach to Plumbers and Building Contractors 3) Prioritizing Preventative Maintenance, 4) Purchasing Contingency Equipment and Replacement Inventories, 5) Training for Staff, 6) Updating the Collection System Map, and 7) Scheduling Inspections and Condition Assessments. Responsibility for Element 5— Design & Performance Standards The Director is responsible for reviewing design and construction documents to ensure that all construction projects meet the City of Arroyo Grande standards. This position is responsible for updating standards for installation, rehabilitation and repair, as needed. This position is also responsible for the inspection of construction projects to ensure City of Arroyo Grande standards have been followed. Responsibility for Element 6— Overflow Emergency Response Plan The Utilities Supervisor is responsible for implementation of the Overflow Emergency Response Plan, including revisions to the plan and annual training for maintenance crew members and Staff. Responsibility for Element 7— Fats, Oils and Grease (FOG) Control Program The Utilities Supervisor is responsible for identifying grease hot spots and maintains an effective cleaning program for grease problem areas in the sewers. Contracted consultant is responsible for inspecting grease traps/interceptors that have been installed at non-residential locations, at the City of Arroyo Grande direction, and for enforcement of regulations, as needed. Responsibility for Element 8— System Evaluation and Capacity Assurance Plan The Director and Utilities Supervisor are responsible for managing the engineering consultant in establishing and assessing capacity requirements for the City of Arroyo Grande collection system and for the preparation and implementation of the City of Arroyo Grande System Evaluation and Capacity Assurance Plan. These positions are responsible for the development and implementation of the city's long-term Capital Improvement Plan (CIP), including updating budgets and schedules. Responsibility for Element 9— Monitoring, Measurement, and Plan Modifications The Director and Utilities Supervisor are responsible for monitoring the implementation of and assessing the success of the overall SSMP program elements, with the assistance of various City of Arroyo Grande SSMP Page 2-5 NMI lm� Sewer System Management Plan—Revision 01 Element 2—Organization City of Arroyo Grande SSMP Staff and engineering consultants. These positions are responsible for identifying trends in SSO occurrences and providing recommendations to the City of Arroyo Grande and the City Council. Responsibility for Element 10— SSMP Program Audits The Director and Utilities Supervisor are responsible for overseeing the annual SSMP Program audits. Responsibility for Element 11— Communication Program The Director and Utilities Supervisor are responsible for communicating with the public and regulatory agencies about the status of the City of Arroyo Grande SSMP. 2.6 Chain of Communication for Reporting SSO's The Chain of Communication for Reporting SSOs begins with contact to the City of Arroyo Grande Public Works Administrative office by either residents or the Police Department. The Police Department or Public Works Staff then notifies Operations Staff via phones or pager of the overflow. The City requires a response time of 15 minutes or less during business hours, a response time of one-half hour or less is expected after business hours and on the weekends. The Director and/or Utilities Supervisor are responsible for reporting SSOs to the RWQCB. The City of Arroyo Grande Public Works contact number is answered Monday— Friday from 7:30 am —4 pm (805) 473-5460 All after hour's emergencies are reported to: Arroyo Grande Police Department (805) 473-5100 The City of Arroyo Grande's procedure is to report all Category 1, 2 and 3 spills as required by the Statewide General Order. In the event of a report of a possible wastewater spill, or when Staff is contacted concerning odors, standing water or an overflowing manhole, the following steps are taken to verify the report and ensure the safety of the public. 1. The receiver of the call (City Staff or after hours Police Department) will obtain the location from the caller and any description they may have of the problem. Staff will fill in a Sewer Incident Report Form (SSO Response Checklist) and obtain caller name and phone number for follow-up information if necessary. Lift station alarms are also automatically sent to the Supervisory Control and Data Acquisition (SCADA) system that then forwards the alarms to the Police Department Dispatch Center. 2. The call receiver will contact the Utilities Supervisor by phone immediately who will direct Maintenance Staff to the described location. Utilities Supervisor will initiate the sewer overflow response report and provide it to the responding Staff. 3. Maintenance Staff will proceed to the location to verify report. 4. If warranted the Utilities Supervisor may request further support. If Maintenance Staff member is dispatched he/she will keep Administrative Staff informed of progress as necessary. 5. Utilities Supervisor or his delegate will notify Director. City of Arroyo Grande SSMP Page 2-6 NMI lm� Sewer System Management Plan—Revision 01 Element 2—Organization City of Arroyo Grande SSMP 6. Director and/or Utilities Supervisor will notify all appropriate public agencies as described in Element 6 Overflow Emergency Response Plan. Upon completion of containment and clean-up, Director and/or Utilities Supervisor will use the Sanitary Sewer Overflow Report (SSOR) to complete the final spill reports to the CIWQS database, RWQCB, , and the SLO County Environmental Health Department as needed. Figure 2-2 Chain of Communication for Responding to SSO SSO Identifier contacts City of Arroyo Grande Public Works or if after hours the Police Department City of AG Public Works(805)473-5460 Police Dept(805)473-5100 Staff notifies Utilities Supervisor Utilities Supervisor contacts other Maintenance Staff for assistance, if needed Utilities Supervisor contacts Director for assistance, if needed City of Arroyo Grande SSMP Page 2-7 NMI lm� Sewer System Management Plan—Revision 01 Element 2—Organization APPENDIX 2 City of Arroyo Grande 2-1: Council Names and Position Currently Held(updated as needed) 2-2: Staff Contact Information (updated as needed) 2-3: Public Works Department Organization Chart NP City of Arroyo Grande SSMP Sewer System Management Plan—Revision 01 Element 2—Organization Appendix 2-1 Council Names and Position Currently Held (updated as needed) City Council Members —2014 Mayor—Tony Ferrara Mayor Pro Tern — Kristen Barnich Council Member—Joe Costello Council Member—Jim Guthrie Council Member—Tim Brown City of Arroyo Grande SSMP u 3e A 6 WAfe"�ll„ Sewer System Management Plan—Revision 01 Element 2—Organization Appendix 2-2 Maintenance Services Contact Information (updated as needed) Maintenance Services Contact Information -2014 Geoff English, Director (805) 473-5466 Office (805) 610-0191 Cell genglish @arroyogrande.org Michael Linn, Capital Projects Manager (805) 473-5444 Office MLinn@arroyogrande.org Shane Taylor, Public Works Supervisor(Utilities) (805) 473-5464 Office (805) 459-4859 Cell staylor @arroyogrande.org Ron Simpson, Public Works Supervisor(Streets and Landscape) (805) 473-5470 Office (805) 431-7421 Cell rsimpson @arroyogrande.org Glenda Boner, Office Assistant 11 (805) 473-5460 Office gboner @arroyogrande.org Emergency Numbers During Office Hours: After Office Hours: City of Arroyo Grande Police Dispatch (805) 473-5460 T (805) 473-5100 T J City of Arroyo Grande SSMP u 31 A Wkell�11„ 0 C: 0 C: O N .Ln 'E > m 0) ac: E E Cl) � P4 L 9 A 'v P4 0 '�o 4.4 ILI 0 �o o `70811 m Cl) Cl) x 0 Q 2 .Cq:( 0 Sewer System Management Plan—Revision 01 Element 3—Legal Authority Element 3 - Legal Authority The City of Arroyo Grande has a comprehensive Public Works Sewer Service Systems Municipal Code which is identified as Chapter 13.12 —Sewer Service System, Section 13.12.010-13.12.510. This Chapter of the Municipal Code is available to the public on the internet at: http://municipalcodes.Iexisnexis.com/codes/arroyo/. Element 3: Legal Authority Appendix Supporting information for Element 3 is included in Appendix 3 which contains the following document: • City of Arroyo Grande Municipal Code Chapter 13.12 3.1 Regulatory Requirements The City will demonstrate, through its sewer codes, service agreements, or other legally binding procedures, that it possesses the necessary legal authority to: 1. Prevent illicit discharges into its sanitary sewer system (examples may include Inflow& Infiltration (1/1), storm water, chemical dumping, unauthorized debris and cut roots, etc.); 2. Require that sewers and connections be properly designed and constructed; 3. Ensure access for maintenance, inspection, or repairs for portions of the lateral owned or maintained by the Public Agency, and 4. Limit the discharge of Fats, Oils, and Grease (FOG) and other debris that may cause blockages. 3.2 Inspections and Maintenance In an effort to control infiltration and inflow the City maintains and inspects portions of the sewer system. All Staff conducting inspections and maintenance to the sewer system are trained, either through a formal or in-house training program. The work of all contractors performing work on the sewer system are monitored, reviewed and inspected by the Maintenance Services Staff. Specifically, the sections of the City's Municipal Code to prevent illicit discharges into the sewer system including 1/1 from laterals, storm water, unauthorized debris, etc. can be found in: ■ Chapter 13.12 Sewer Service System Section 13.12.400 — Prohibited discharges Section 13.12.410 —Commercial and industrial discharges Section 13.12.420 — Private Systems - Discharges The City also refers to the following ordinance: ■ 1994-1 SSLOCSD Pretreatment Ordinance and Requirements The City is a satellite wastewater collection system which discharges into the South San Luis Obispo County Sanitation District's (SSLOCSD) trunk line. In addition, the City participates in an active FOG Control and Inspection Program (FOG Program). As part of the FOG Program, the City authorizes and provides funding for City of Arroyo Grande SSMP Page 3-1 Sewer System Management Plan—Revision 01 Element 3—Legal Authority Environmental Compliance Inspectors to inspect Food Service Establishments (FSEs) and educate owners regarding Best Management Practices (BMPs) for FSEs. 3.3 Design and Construction The City's Municipal Code provides the Legal Authority to require the proper design and construction of the City's sewer system. Standards concerning design and construction ensure the sewer lines and connections are properly designed and constructed. The purpose of the Standards and Specifications is to provide minimum standards for the design, kinds and uses of materials, and the preparation of plans for construction, repair, or alteration of City sewer and water facilities. The City's standard plans and specifications can be found on the City's website. ■ Chapter 13.12 Sewer Service System Section 13.12.110 – Groups of houses of buildings on one lot–Connections to main sewers Section 13.12.120 –Sewer connections--Applications Section 13.12.130 – Private systems—Construction—Inspections Section 13.12.140 –Approval – Required Section 13.12.150 –Approval - Process Section 13.12.270 – Inspection required Section 13.12.370 –Sewer pumps– Backflow valves The sections, from the Municipal Code, above address the standards expected by the City for conducting repairs or new construction related to the sewer system. In particular, the City requires the use of the uniform plumbing code and permits be obtained prior to construction. All work must be completed based upon the uniform plumbing code and any alterations to this must be approved by the Director. If it is ever determined that the City's adopted Standards and Specifications are insufficient the standards and specifications used will be from "Standard Specifications for Public Works Construction" known as the "Green Book". 3.4 Ensure Access to Privately Owned Portions of the Lateral The City prides itself on its relationship with local residents. The City's primary goal in instances where access is requested is to determine if Sanitary Sewer Overflows are likely to occur or if damage to the treatment plant or sewer lines is probable, this helps protect the public and environmental health of the City. ■ Chapter 13.12 Sewer Service System of the City's Municipal Code Section 13.12.270 – Inspection required Section 13.12.500 – Right of entry The City's current Municipal Code permits City representatives to enter premises for inspection, sampling and testing. 3.5 FOG Control The City has developed a FOG Control and Inspection Program (FOG Program). The City uses the SSLOCSDs FOG Ordinance. The SSLOCSD FOG Ordinance and the City's FOG Program work in conjunction to include regulations governing the sewer system pertaining to FOG City of Arroyo Grande SSMP Page 3-2 Sewer System Management Plan—Revision 01 Element 3—Legal Authority discharges. The Ordinances along with the Municipal Code contain the regulations allowing the implementation of the FOG Program. The Sections governing this are as follows: ■ Chapter 13.12 Sewer Service System ■ Chapter 13.12.400 Prohibited Discharges ■ 1994-1 SSLOCSD Pretreatment Ordinance ■ 2008-01 SSLOCSD FOG Ordinance See Element 7 for detailed information pertaining to the FOG Program. 3.6 Enforce Violations of its Sewer Ordinance It is essential to protect the City from chronic illegal discharge violations or manipulations of the sewer system. In the event that a person fails to comply with the current regulations, violations will be issued. The right to do so is found in The City Municipal Code under: ■ Chapter 13.12 Sewer Service System • Sections 13.12.470 -13.12.490 allows the City to request the resident to pay overdue bills. • Chapter 1.16 – Penalty Provisions • Chapter 9.12 – Nuisances • SSLOCSD Resolution No. 2011-295 can be utilized to enforce violations of the SSLOCSD FOG Ordinance 3.7 Sewer Use Fees Sewer fees are periodically reviewed for proper fee structure and applicability. This is further discussed in the City Municipal Code under: ■ Chapter 13.12 Sewer Service System • Section 13.12-190 –Connections—Fees—Capacity • Section 13.12.210 Connections—Fees—Disposition • Section 13.12.220 Connections—Fees—Exceptions • Section 13.12.230 Charges for extraordinary services • Section 13.12.240 Connections—Fees—Credits Fees are reviewed and adopted by City Council periodically to determine if the current rates reflect the proper rate pricing. City of Arroyo Grande SSMP Page 3-3 Sewer System Management Plan—Revision 01 Element 3—Legal Authority APPENDIX 3 City of Arroyo Grande 3-1: City of Arroyo Grande Municipal Code Chapter 13.12 City of Arroyo Grande SSMP Sewer System Management Plan—Revision 01 Element 3—Legal Authority Appendix 3-1: City of Arroyo Grande Municipal Code Chapter 13.12 Title 13 PUBLIC WORKS Chapter 13.12 SEWER SERVICE SYSTEM 13.12.010 Definitions. 13.12.020 Purpose. 13.12.030 Availability defined. 13.12.040 Private sv2tems constituting public nuisances--Connections required. 13.12.050 Availability to buildings served by private systems--Connections required. 13.12.060 Availability to new buildings--Connections required. 13.12.070 Private sv2tems--Approval--Applications--Granting. 13.12.080 Private systems--Abandonment. 13.12.090 Private systems--Location restricted. 13.12.100 Swimming pool or spa water. 13.12.110 Groups of houses or buildings on one lot--Connections to main sewers. 13.12.120 Sewer connections--Applications. 13.12.130 Private systems--Construction—Inspections. 13.12.140 Approval--Required. 13.12.150 Approval--Process. 13.12.160 Approval--Exceptions. 13.12.170 Permittees--Liability. 13.12.180 South San Luis Obispo County Sanitation District fees. 13.12.190 Connections--Fees--Capacity. 13.12.200 Sewer connections outside the city limits. 13.12.210 Connections—Fees--Disposition. 13.12.220 Connections—Fees—Exceptions. 13.12.230 Charges far extraordinary services. 13.12.240 Connections--Fees--Credits. 13.12.250 Applications--Installations--Casts--Reimbursement. 13.12.260 Connections--Charges--Payment. 13.12.270 Inspection required. 13.12.300 Inspection notices--Preparation of work--Defects. 13.12.370 Sewer pumps--B ackflow valves. 13.12.380 Annexations--Capacity determinations. 13.12.390 Annexations--Casts and liability. 13.12.400 Prohibited discharges. 13.12.410 Commercial and industrial discharges. 13.12.420 Private sv2tems--Discharges. 13.12.430 City charges. 13.12.440 Sanitation district charges. City of Arroyo Grande SSMP ffid I'M 41'f,''40"A" Sewer System Management Plan—Revision 01 Element 3—Legal Authority 13.12.450 Computations.of rates. 13.12.460 Unclassified uses. 13.12.480 Dgjjng22p2[ga:-Liens. 13.12.490 Enforce me nt--De leaation of dut 13.12.500 RigLL2Lentry. 13.12.510 Interpretation of rovisions--AuthgLLty. 13.12.010 Definitions. For the purposes of this chapter, unless otherwise apparent from the context, certain words and phrases used in this chapter are defined os set forth in this section. "Assessment district" means a special district formed for the purpose of sewer line construction, operation and/or maintenance with costs and expenses distributed among benefited properties, as set forth by law. Available Sewer. A sewer shall become available only after it has been accepted by the city. "Backwater valve" means a device which purpose is to prevent flow in a sewer in a direction opposite to that ofthe intended drainage. "Benefit unit charge" means a charge to lots within the city having the benefit of a public sewer being located adjacent to such lots. "Building" means any structure used for human habitation or a place of business, recreation, or other activity and containing sanitary facilities. "Building sewer" means that portion of a sewer beginning two feet from any building and extending to, and including its connection to. o lateral sewer. "City" means that portion of the state ofCalifornia, county ofSan Luis Obispo, which is incorporated as the city of Arroyo Grande. "City council" means the city council for the city nf Arroyo Grande. "Cleanout" means a branch fitting installed in a sewer or other pipe for the purpose of providing access for cleaning. "Director" means the Director for the city, or his or her authorized agent or representative. ^Oistriot' means the Arroyo Grande sewer assessment district No. 1. ^E.N.R. Cost Index" means the Engineering News Record Construction Cost Index. "Fixture" means any sink, tub, shower, toilet, or other facility connected to be drained to the sewer. "Lateral sewer" means that portion of a sewer lying within a public right-of-way or easement which lateral connects, oris intended to connect, o building sewer too main sewer. "Lot" means any piece or parcel of land bounded, defined or shown upon a plot or deed recorded in the office of the county recorder and lawfully created; provided, however, in the event any structure is located upon more than one parcel of land, all under the ownership and as defined in this section, "lot"shall include all such parcels ofland. "Manhole" means a structure for the purpose of providing access by a man to a buried sewer. "Main sewer" means those sewers, excluding lateral sewers, whose main purpose is to accept wastewater from laterals and convey it to the wastewater treatment plant. "Permit" means any written authorization required by the city pursuant to the provisions of this chapter. ^pH^ means the logarithm ofthe naoipr000| of the weight of hydrogen ions in grams per liter ofsolution. "Public sewer" means that portion of a sewer lying within a public right-of-way or easement maintained by and subject to the jurisdiction of the city. "Sewer" means o pipe or conduit for carrying wastewater. City of Arroyo Grande 88MP Sewer System Management Plan—Revision 01 Element 3—Legal Authority "Shall"shall be mandatory. "May"shall be permissive. "Side sewer" means a sewer beginning at the plumbing or drainage outlet of any building, industrial facility, or preliminary treatment facility and terminating at a main sewer, and including the building sewer and lateral sewer together. (Ord. 576 § 10, 2005; prior code § 6-6.101--6-6.125) 13.12.020 Purpose. The purpose of this chapter is to provide for public use of the city's facilities through the adequate regulation of sewer construction, sewer use, and wastewater discharges; to provide for the equitable distribution of the city's costs, and to provide procedures for complying with the requirements placed upon the city by other regulatory agencies. (Ord. 576 § 11, 2005: prior code § 6-6.201) 13.12.030 Availability defined. For the purpose of this chapter, a public sewer shall be deemed to be available to a building if such sewer is within two hundred fifty (250)feet of the nearest property line of the lot upon which such building is located. (Prior code § 6-6.301) 13.12.040 Private systems constituting public nuisances--Connections required. Pursuant to the authority of Section 4762 of the Health and Safety Code of the state, the city finds and declares that the maintenance or use of private sewage disposal systems constitutes a public nuisance and finds it to be in the public interests that properties to which a public sewer is available be required to connect thereto. (Prior code § 6-6.302) 13.12.050 Availability to buildings served by private systems--Connections required. When a public sewer becomes available to a building served by a private sewage disposal system, such building shall be connected to the public sewer within twenty-four(24) months after such public sewer is available, and such private disposal system shall be abandoned as provided in Section 13.12.080, unless an approval is granted by the council for the continued use of such private sewage disposal system. (Prior code § 6-6.303) 13.12.060 Availability to new buildings--Connections required. Any newly construction building to which a public sewer is available shall be connected to such public sewer prior to its use for occupancy, unless approval is granted by the council for a private sewerage disposal system. (Ord. 576 § 12, 2005: prior code § 6-6.304) 13.12.070 Private systems--Approval--Applications--Granting. The approvals for private sewage disposal systems referred to in Sections 13.12.050 and 13.12.060 of this chapter may be granted upon a written application to the council by the applicant setting forth the basis for such a request.Approval may be granted only upon an affirmative showing that no health hazard, public nuisance, or inequity to other property owners will result therefrom. Approval may also be granted to allow a private sewage disposal system when it is shown to the satisfaction of the Director to be unfeasible to connect to the public sewer, and the lot in question is approved by the county health department as to suitability for such private sewage system. (Ord. 576 § 13, 2005: prior code § 6-6.305) 13.12.080 Private systems--Abandonment. Where septic tanks are abandoned as a result of connecting any building to the public sewer, the owner of the property to which such connection is made shall fill all abandoned septic tanks within ninety(90) days after the time of connecting to the public sewer in the following manner: A. All sewage shall be removed from the septic tank. B. Inlet and outlet pipes shall be disconnected from the tank. C. All wooden materials forming the top of the tank shall be removed. D. The tank shall be filled with sand, gravel or concrete, but such filling shall not extend above the vertical sidewalls until inspected by the city. E. Following inspection, the tank shall be filled and then covered to the level of the top of the ground. (Prior code § 6-6.306) City of Arroyo Grande SSMP AM 41,G,4 ,01, Sewer System Management Plan—Revision 01 Element 3—Legal Authority 13.12.090 Private systems--Location restricted. It is unlawful for any person, firm or corporation to construct or replace any cesspool, septic tank, or similar apparatus within a distance of two hundred fifty(250)feet from any public sewer without the approval of the council. (Prior code § 6-6.307) 13.12.100 Swimming pool or spa water. Swimming pool or spa water and wastewater shall be disposed of as set forth in the currently adopted Uniform Plumbing Code. (Ord. 576 § 13, 2005: prior code § 6-6.308) 13.12.110 Groups of houses or buildings on one lot--Connections to main sewers. No group of four or more houses or buildings on one lot shall be connected to a main sewer without first having the plan of the sewers to such houses approved by the Director. The size of the proposed building sewer and lateral serving such houses shall not be less than six inches diameter or of a size determined by the Director. A manhole shall be provided at its junction with the existing main sewer. The Director may permit more than one condominium or planned unit development unit to connect to a common building sewer subject to improvement standards adopted by the city. The director may require appropriate conditions to such an approval to become a part of the codes, covenants and restrictions for the subdivision. All maintenance of building sewers are the responsibility of the lot owners or appropriate owner's association exclusive of the city main line. (Ord. 576 § 15, 2005: prior code § 6-6.309) 13.12.120 Sewer connections--Applications. An applicant for sewer service shall sign an application and furnish a legal description of the property to be served. It shall be the applicant's responsibility to deliver sewage to the service point selected by the city. Service will be granted only where adequate collection lines have been installed. Lateral sewers shall be installed by a contractor licensed to do sewer work and shall be maintained by the property owner. (Ord. 576 § 16, 2005: prior code § 6-6.310) 13.12.130 Private systems--Construction--Inspections. Where a property is within two hundred fifty(250)feet of the public sewer, but pursuant to the provisions of Section 13.12.070 of this chapter a private sewage disposal system is approved, the property owner shall apply for and obtain all permits required by the city and supply all plans, specifications, or other information deemed necessary by the city building official before construction of such private sewage disposal system can begin. The construction and inspection of such system shall be in conformance with the currently adopted Uniform Plumbing Code and shall meet any other requirements of the council, the city building official, and the county health department. The owner shall operate and maintain such private sewage disposal facilities in a sanitary manner at all times at no expense to the city. (Ord. 576 § 17, 2005: prior code § 6-6.311) 13.12.140 Approval--Required. It is unlawful for any person, other than the city, to make any connection to any public or building sewer, or to construct, perform maintenance, or alter any public sewer main or building sewer within the city without first obtaining a permit from the city for such work. (Ord. 528§ 1 Exh. A (part), 2001: prior code § 6-6.401) 13.12.150 Approval--Process. Any person desiring to perform work involving sewers shall make a request in writing to the city, providing specific details of the proposed work and any other such information as the city may require. The work to be performed shall be done in accordance with city standards and codes. Approval of the proposed work will be issued in the form of an encroachment permit, a building permit, approved subdivision plans or other permit applicable to the overall project involved. The applicant shall pay all such permit and inspection fees associated with the approval. (Ord. 528§ 1 Exh. A (part), 2002: prior code § 6-6.402) 13.12.160 Approval--Exceptions. Nothing contained in Sections 13.12.140 through 13.12.240 of this chapter shall be deemed to require the application for, or the issuance of, a permit for the purpose of removing stoppages or repairing leaks in a City of Arroyo Grande SSMP AM 41,G,4 ,01, Sewer System Management Plan—Revision 01 Element 3—Legal Authority building or residential sewer, except when it is necessary to replace any part of such sewer. For the purpose of this chapter, building sewer is defined as all sewerage exclusive of city main line including, but not limited to, the wyes, tees, saddles, laterals and plumbing. (Ord. 576 § 18, 2005: Ord. 528 § 1 Exh. A (part), 2002: prior code § 6-6.403) 13.12.170 Permittees--Liability. The applicant to whom a permit for construction has been issued and the person performing the work under such permit shall be liable for all damages. Such applicant shall hold the city and its employees and agents harmless from all loss, including expenses incurred in defending any action against the city arising out of such construction work. The applicant shall be liable for defects in the work and for any failure which may develop in the facilities because of defective work or materials. (Ord. 576 § 19, 2005: Ord. 528§ 1 Exh. A(part), 2002: prior code § 6-6.404) 13.12.180 South San Luis Obispo County Sanitation District fees. Each connection to the sewer system shall be charged a fee as adopted by the Governing Board of the South San Luis Obispo County Sanitation District. (Ord. 576 § 20, 2005: Ord. 528§ 1 Exh. A (part), 2002: prior code § 6-6.405) 13.12.190 Connections--Fees--Capacity. For each connection of a building sewer to a public sewer, a connection fee is hereby established. The fee shall be collected by the city before the permit for the connection work is issued. The city council may, from time to time, by resolution, set forth the amount of the sewer connection fees. Such resolution shall provide for a method of adjusting the amount of the fees to account for changes in construction costs or other considerations affecting the reasonable relationship between the fees and the cost of the public sewer system. Every house and building requiring a sewer service shall have an independent connection to the public sewer, except that more than one building located on a lot under one ownership, or condominium, or planned unit development may be connected to the same building sewer in conformance with Section 13.12.110, with the exception of condominium and planned unit developments, in the event a lot with a house or building so connected is subdivided, an independent sewer connection with appropriate easements shall be provided for each differently owned premises. With the exception of condominium and planned unit developments, no two owners of adjacent lots fronting on the same street shall be permitted to join in the use of the same building sewer. (Ord. 528 § 1 Exh. A(part), 2002: prior code § 6- 6.406) 13.12.200 Sewer connections outside the city limits. Sewer connections to an area outside the city limits shall be subject to the following conditions: A. The applicant shall provide detailed calculations that demonstrate that the proposed sewage flow, plus the projected sewage flow from the areas within the city limits at buildout can be conveyed by the city sewer system. The analysis shall be reviewed and approved by the Director. B. The applicant shall provide a will serve letter demonstrating that the South San Luis Obispo County Sanitation District will accept the additional sewage. C. Pay connection fees as described in Sections 13.12.190 through 13.12.240 of this chapter, plus an additional amount established by the city for overhead and administration of the outside sewer connection. In addition, the applicant shall be responsible for all costs associated with connecting to the city's sewer system. D. For sewer connections of a single residence unit, the Director may approve the outside connection. For connections of more than a single residence unit, the outside connection shall be approved by the city council. E. Provide evidence of approval of all necessary government bodies, including, but not limited to, the local agency formation commission. (Ord. 576 § 21, 2005: Ord. 528 § 1 Exh. A (part), 2002: prior code § 6-6.407) City of Arroyo Grande SSMP AM 41,G,4 ,01, Sewer System Management Plan—Revision 01 Element 3—Legal Authority 13.12.210 Connections--Fees--Disposition. All moneys derived from sewer connection fees shall be deposited in a special fund known as the "sewer facility fund."The money in such fund shall be used to pay for sewer improvements and future sewer capacity as necessary to meet the needs of the city resulting from growth and expansion. (Ord. 576 § 22, 2005: Ord. 528 § 1 Exh. A(part), 2002: prior code § 6-6.408) 13.12.220 Connections--Fees--Exceptions. Whenever new development replaces existing development, the connection fees shall be as stated in Sections 13.12.140 through 13.12.240, less any credits determined in accordance with Section 13.12.240. For any sewer connection not included in the provision of Sections 13.12.140 through 13.12.240, the city shall determine the amount of the connection fee on such basis that such fee will be equivalent to that paid by other users. (Ord. 528§ 1 Exh. A (part), 2002: prior code § 6-6.409) 13.12.230 Charges for extraordinary services. It is the intent of the city to equalize the cost of sewer service throughout the area of the city by the application of the provisions of Sections 13.12.140 through 13.12.240, and, notwithstanding any provisions of Sections 13.12.140 through 13.12.240, the city may, in any instance, increase the service charges to be charged for any extraordinary service to achieve such objective. (Ord. 528 § 1 Exh. A (part), 2002: prior code § 6-6.410) 13.12.240 Connections--Fees--Credits. A person making a sewer connection may apply for credit against the fees due. Credit may be allowed for connection fees, a portion thereof, or an equivalent that has been previously paid. The Director shall determine that amount of credit allowed. No reductions in connection fees shall be transferable to another parcel of land. (Ord. 528 § 1 Exh. B (part), 2001: prior code § 6-6.411) 13.12.250 Applications--Installations--Costs--Reimbursement. Any person extending a public sewer to the benefit of other properties may request a reimbursement agreement to be approved by the city council. The city council shall approve or disapprove of any reimbursement agreement. The reimbursement agreement shall not reduce the connection fees to be paid to the city. The maximum term of a reimbursement agreement shall be ten (10)years. (Ord. 576 § 23, 2005: Ord. 528§ 1 Exh. B (part), 2001: prior code § 6-6.541) 13.12.260 Connections--Charges--Payment. No sewer service shall be provided until the sewer connection fees have been paid. (Ord. 528§ 1 Exh. B (part), 2001: prior code § 6-6.502) 13.12.270 Inspection required. All sewer construction work, including taps into sewer mains, within the city shall be done in strict compliance with the city's Community Services and Maintenance Department plans and specifications therefore and the Uniform Plumbing Code. Such work shall be inspected by the Director. (Ord. 576 § 25, 2005: prior code § 6-6.601) 13.12.300 Inspection notices--Preparation of work--Defects. All work done pursuant to the provisions of this chapter shall be subject to inspection by the city. Up to the time of the inspection all work shall remain uncovered and convenient for the inspector's examination. If any pipes are enclosed or covered in any way whatsoever so as to tend to obstruct a thorough inspection of the piping system, such obstruction shall be removed before an inspector shall be required to inspect the work. When, upon an examination by the inspector, the work is found to be defective, either in its construction or materials, such work shall be made to conform to the requirements of this chapter, in default of which the permit for such work shall be revoked by the city, and such work shall be discontinued immediately. (Ord. 576 §26, 2005: prior code § 6-6.602) City of Arroyo Grande SSMP Sewer System Management Plan—Revision 01 Element 3—Legal Authority 13.12.370 Sewer pumps--Backflow valves. In all buildings in which there are plumbing fixtures at an elevation too low to permit drainage by gravity from such fixtures to the public sewer, the sewage from such fixtures shall be pumped and discharged to the main sewer at the owner's expense. In all buildings where floor elevation is below the rim elevation of the nearest upgrade manhole, there shall be installed in the newer lateral an approved type of backflow valve. Backflow valves shall also be installed per the Uniform Plumbing Code. (Ord. 576 §28, 2005: prior code § 6-6.706) 13.12.380 Annexations--Capacity determinations. The sewer facilities within the city are sized to accommodate the sewer requirements of all developed and undeveloped property within the city. Before any annexation is made to the city, it shall be first determined that sufficient capacity has been reserved for all undeveloped acreage within the city. (Prior code § 6-6.801) 13.12.390 Annexations--Costs and liability. When the council approves an annexation to the city, all sewer costs and sewer line extensions shall be borne by the property being annexed if such property was not included in Arroyo Grande sewer assessment district No. 1. (Prior code § 6-6.802) 13.12.400 Prohibited discharges. A. Waters. No person shall discharge, or cause to be discharged, any storm water, surface water, groundwater, roof runoff, subsurface drainage, uncontaminated cooling water, or unpolluted industrial process waters to any sanitary sewer. B. Wastes. No person shall discharge or cause to be discharged any of the following described waters or wastes to any public sewer: 1. Any gasoline, benzene, naphtha, fuel oil, or other inflammable or explosive liquid, solid or gas; 2. Any waters or wastes containing toxic or poisonous solids, liquids or gases in sufficient quantity, either singly or by interaction with other wastes, to injure or interfere with any waste water treatment process, or constitute a hazard to humans or animals, or create any hazard in the receiving waters of the waste water treatment plant; 3. Solid or viscous substances in quantities or of such size capable of causing obstruction to the flow in sewers or other interference with the proper operation of the waste water treatment collection works, such as any materials retained on a screen having eight meshes per inch each way; 4. Any liquid or vapor having a temperature higher than one hundred fifty(150)degrees Fahrenheit; 5. Any water or wastes which may contain more than one hundred (100) parts per million, by weight, of fat, oil, grease or wax; 6. Any waters or wastes containing suspended solids of such character and quantity that unusual attention or expense is required to handle such materials at the wastewater treatment plant; 7. Any noxious or malodorous gas or substance capable of creating a public nuisance; and 8. Any waters or wastes having a pH lower than five and five-tenths or higher than nine or having any other corrosive property capable of causing damages or hazards to structures, equipment, or personnel of the sewage works. (Prior code §6-6.901, 6-6.902) 13.12.410 Commercial and industrial discharges. Commercial and industrial customers shall file with the city a notice showing the character of sewage effluent proposed. Effluents of any customer will be restricted to the strength and character of normal domestic wastes. The waste discharged shall be subject to inspection and sampling by the city. The acceptance of commercial and industrial wastes will be in accordance with set restrictions and subsequent amendments thereto. No pretreatment is anticipated or prescribed, but corrective procedures may be required for the removal of oil, grease, grit, acids, sulfides, toxics or industrial compounds. If the wastes do not conform to the waste discharge laws, service may be disconnected. (Prior code § 6-6.903) City of Arroyo Grande SSMP Sewer System Management Plan—Revision 01 Element 3—Legal Authority 13.12.420 Private systems--Discharges. All sludge and wastes from septic tanks and chemical toilets shall be disposed of at such places as designated by the county health department. (Prior code § 6-6.904) 13.12.430 City charges. All customers, upon connection to a public sewer line, shall be required to pay a sewer service charge for those pipelines and appurtenances constructed, maintained and operated by the city primarily for the collection of sewage and the conveyance thereof to the sewer plant owned and operated by the South San Luis Obispo County sanitation district. The city council shall, by resolution, establish the rates which will be charged for sewer service. (Prior code § 6-6.1001) 13.12.440 Sanitation district charges. All customers, upon connection to a public sewer line, shall be required to pay a bimonthly sewer service charge for having any sewer connection with the South San Luis Obispo County sanitation district, or otherwise discharging sewage that ultimately passes through the district's sewage system, in accordance with the fee schedule adopted by the South San Luis Obispo County sanitation district. (Prior code § 6- 6.1002) 13.12.450 Computations of rates. The computations of the rates shall be as follows: A. Sewer service charges computed on average daily attendance will be based upon the records of the entity charged with or having the responsibility of keeping such records, and such attendance figures shall be furnished to the city upon a written request by the city. B. Whenever required, sewer service charge rate computation information shall be furnished to the city, on forms furnished by the city, upon a written request therefor. C. In the event of failure to furnish rate computation information when requested and within the time allowed, the city may compute the rate based on such information as it finds reasonably available, and. such computation shall be conclusive and final. (Prior code § 6-6.1003) 13.12.460 Unclassified uses. For premises having a sewer connection but for which a specific classification for sewer service charges has not been set forth, the district shall charge such rate as in its sole discretion it deems most applicable for the type of use being made of the premises in relation to the uses made of classified premises and the rate fixed for such classified premises. (Prior code § 6-6.1004) 13.12.470 Delinquencies--Collection. A sewer service bill will become delinquent if, on the fifteenth day of the month following the month in which a sewer bill is mailed, the bill, or that portion thereof which is not in bona fide dispute, remains unpaid. The city shall notify the property owner of such delinquent charges. If a bill has been delinquent for two months on such property, the city shall post a notice on the property that sewer service will be discontinued unless the bills for sewer charges and all delinquencies are paid. If the occupant is not the property owner, the city shall also send a copy of the disconnection notice to the property owner by mail at his or her last address shown on the city's records. If all delinquent bills have not been paid within fifteen (15)days after the posting of such notice, the city may disconnect the sewer or discontinue the water service to the property. The costs of disconnecting the sewer and reconnecting it, together with all other amounts due, shall be paid by cash, cashier's check, or certified check at the time an application is made for reconnection. It is unlawful for any person to inhabit a disconnected property or produce any sewage thereon until the property has been reconnected. Service charges shall continue to accrue during the period of such disconnection. (Prior code § 6-6.1005) 13.12.480 Delinquencies--Liens. Charges of any kind more than sixty (60)days' delinquent, plus any penalties and interest thereon, when recorded as provided in Article 4 of Chapter 6 of Part 3 of Division 5 of the Health and Safety Code of the state, shall constitute a lien upon the real property served. Such lien shall continue until all charges are City of Arroyo Grande SSMP AM 41,G,4 ,01, Sewer System Management Plan—Revision 01 Element 3—Legal Authority fully paid, or until the property is sold therefor, or until otherwise extinguished by operation of law. (Prior code § 6-6.1006) 13.12.490 Enforcement--Delegation of duty. It shall be the duty of the Director to enforce all the provisions of this chapter. For such purpose he or she shall have the powers of a police officer. (Prior code § 6-6.1101) 13.12.500 Right of entry. The Director or his or her authorized representative shall, upon exhibition of proper credentials and identification, be permitted to enter in and upon all buildings and premises within the district at reasonable hours for the purposes of inspection, observation, measurement, sampling, testing or otherwise performing such duties as may be necessary in carrying out the provisions of this chapter. (Prior code § 6-6.1102) 13.12.510 Interpretation of provisions--Authority. Whenever it is deemed necessary, the council may, by resolution, further interpret the provisions and terms and conditions of this chapter. (Prior code § 6-6.1201) City of Arroyo Grande SSMP ffid I'M 41'f,''40"A" Sewer System Management Plan—Revision 01 Element 4—Sewer System Management Plan Operations and Maintenance Element 4 - Sewer System Management Plan Operations and Maintenance Operation and Maintenance of a sewer system extends beyond that of the Operations Staff. An efficient system involves the joint responsibility of agency engineers, management, field crews and the general public. The field crews can only function on the basis of available resources provided to them. It is the City's responsibility to make sure that the sanitary sewer collection system is kept in good working condition. To accomplish this, the City requires that the system be regularly maintained, so that the wastewater enters the treatment plant in an efficient way. As Operations Staff perform regular maintenance, they acquire practical experience regarding the operation of the sewer system making them an essential component for sewer system efficiency. Element 4: Operations and Maintenance Appendix Supporting information for Element 4 is included in Appendix 4 which contains the following documents: • Sewer System and Stormdrain Atlas • Capital Improvement Plan • Sanitary Sewer Cleaning Program Description & Schedule • Sanitary Sewer Cleaning Map (Example): Trouble Spots & Root Treatment Sheets • Critical Parts and Equipment List • Maintenance Work Order Form • Manhole Inspection Form • Service Request Form • City Standard Operating Procedure: Vactor PW 51 • Wastewater Master Plan 2012 • Draft Revenue Rate Study 4.1 Regulatory Requirements The SSMP must include those elements listed below that are appropriate and applicable to the Enrollee's system: a. Each wastewater collection system agency shall maintain up-to-date maps of its wastewater collection system facilities, showing all gravity line segments and manholes, pumping facilities, pressure pipes and valves, and applicable storm water pumping and piping facilities. b. Describe routine preventive operation and maintenance activities by staff and contractors, including a system for scheduling regular maintenance and cleaning of the sanitary sewer system with more frequent cleaning and maintenance targeted at known problem areas. The Preventive Maintenance (PM) program should have a system to document scheduled and conducted activities, such as work orders. City of Arroyo Grande SSMP Page 4-1 Sewer System Management Plan—Revision 01 Element 4—Sewer System Management Plan Operations and Maintenance C. Develop a rehabilitation and replacement plan to identify and prioritize system deficiencies and implement short-term and long-term rehabilitation actions to address each deficiency. The program should include regular visual and TV inspections of manholes and sewer pipes, and system for ranking the conditions of sewer pipes and scheduling rehabilitation. Rehabilitation and replacement should focus on sewer pipes that are at risk of collapse or prone to more frequent blockages due to pipe defects. Finally, the rehabilitation and replacement plan should include a capital improvement plan that addresses proper management and protection of the infrastructure assets. The plan shall include a time schedule for implementation of the short- and long-term plans plus a schedule for developing the funds needed for the capital improvement plan. d. Provide training on a regular basis for staff in sanitary sewer system operations and maintenance, and require contractors to be appropriately trained. e. Provide equipment and replacement part inventories, including identification of critical replacement parts. 4.2 Collection System Map The City of Arroyo Grande maintains a collection system map that outlines the following features: location of the sewer lines, manholes, cleanouts, pipe sizes and pipe materials, and the direction of flow. Pump stations and other special structures are also identified. The City also maintains a Stormdrain System Map for use in the event of a SSO so that staff may locate stormwater inlets and outlets that have the potential to impact surface waters. (See Collection System Atlas—Appendix 4). A Stormwater Atlas is maintained at the City Public Works Department and a general overview of the system can be found in the City's Stormwater Management Plan on the City Website at: LttL,Ilwww.arrovoclrande.oLgIdocu mentcenter/view/312 As-built plans and construction drawings are also maintained as the collection system is improved and new systems are added or altered. As-built drawings are required by the City as a condition of construction. 4.3 Preventative Operations & Maintenance The City educates its Staff to think of maintenance in two ways: preventive and corrective. Corrective maintenance -This can be an actual collapse of an existing sewer; stoppage due to roots, FOG, or other foreign materials; inflow or infiltration; or pump failure. These conditions require immediate action to correct the problem and are further discussed in Element 6— Overflow Emergency Response. Additionally, the City maintains a Service Request Form to assist staff in responding to regular and emergency requests for corrective maintenance. A copy of this form is found in Appendix 4. Preventive maintenance—This involves inspection of the sewer system and analysis of existing data to identify trouble areas. Inspection and analysis provides guidance in determining the type, degree, and frequency of preventive maintenance required. The City currently maintains a Utilities Calendar that is used to schedule the following preventative maintenance activities: • Annual Sewer Main Cleaning • Problem Area Sewer Main Cleaning (High Maintenance Areas) • Lift Station Cleaning & Maintenance • Manhole Maintenance City of Arroyo Grande SSMP Page 4-2 Sewer System Management Plan—Revision 01 Element 4—Sewer System Management Plan Operations and Maintenance o Air/Vacuum Valve Maintenance The City updates this calendar annually. A copy of this Calendar can be found in Appendix 4. The objectives of both are to improve service, reduce emergency occurrences, and to minimize the cost of the preventive maintenance program. In general, the greater the amount of preventive maintenance performed, the less the amount of corrective maintenance that will be required. However, there should be a reasonable balance between the cost of preventive maintenance and a corresponding benefit. 4.3a Pipeline Maintenance The City of Arroyo Grande has developed a year-round pipeline maintenance program with an emphasis on preventive maintenance, especially in historical trouble areas which are checked at more frequent intervals. The system is videoed in suspected trouble areas on an as needed basis. The City sets a goal to clean and flush the entire system annually. Based on cleaning, flow analysis and video, the city determines which area of the pipeline system would benefit the most by rehabilitation or replacement. Quarterly cleanings are performed at historical problem areas based (trouble spots) on field crew experience. The city also participates in an active FOG Program and Root treatment program. A n example of City sewer system trouble spots and root treatment sheets can be found in Appendix 4. 4.3b Manholes The City of Arroyo Grande uses visual manhole inspections, as part of day to day maintenance. Visual inspections are an inexpensive and quick method of detecting inflow/ infiltration sources, the general structural condition of the manhole, and the accuracy of previous system drawings. Formal manhole inspections are also conducted when staff observes potential problems during routine sewer line cleaning. A copy of the form used to report on manhole inspections is located in Appendix 4. Visual and video manhole inspections are used to determine the following: Exact location of the manhole; • Condition of cover and frame (defects that may allow inflow); • Is the cover subject to ponding or surface run off; • Potential area that drains to any defects; • Condition of benching, risers, grade rings and collar; and • Condition of sewer pipes. Manhole repairs are required to correct structural deficiencies, effects of corrosion on the internal surface, and to eliminate the inflow of surface or groundwater. The City of Arroyo Grande continues to install manhole inflow covers to minimize potential infiltration. 4.3c Lift Station Maintenance The City of Arroyo Grande maintains five (5) lift stations. Duplication of equipment and functions provides the flexibility necessary for continued operation during individual shutdowns due to scheduled maintenance or emergencies. Weekly inspections are performed on the lift stations that include the, electrical equipment, instrumentation, wet well condition, venting and housekeeping. Weekly lift station and wet well inspections are performed by field crews. Lift Station wet wells are cleaned quarterly. Staff follows the City's Facilities Inspection Program Guidelines when conducting weekly lift station inspections. A copy of this program is on file at the City's Public Works office. This program is planned to be updated into the City's Standard Operating Procedures for Operations and Maintenance Activities by the end of 2015. City of Arroyo Grande SSMP Page 4-3 Sewer System Management Plan—Revision 01 Element 4—Sewer System Management Plan Operations and Maintenance 4.3d Investigation (Complaints) The service request form is used to record complaints from the public or from another governmental agency. This report becomes a permanent record and is subject to review at a later time. The Operations Staff ensures all entries they are required to make are complete and accurate. The City makes every effort to respond immediately to all sewer-related complaints followed by prompt correction of the defective condition. (A sample Work Order is provided at the end of this section in Appendix 4). 4.3e Maintenance Records The City uses a paper based Work Order system to keep records of preventive maintenance and repair service. (See the sample Work Order provided at the end of this section in Appendix 4.) The Work Orders allow the City to maintain records concerning a location, reason for the work, materials used, who the crew leader was and the amount of time it took to complete the work. The City is currently in the process of selecting a Computerized Maintenance Management System (CMMS) to track and schedule Preventative Maintenance. This system is planned to be in place by the end of 2015. A description and examples demonstrating the selected CMMS will be included in the SSMP once it is implemented. 4.4 Rehabilitation and Replacement Program The City utilizes a number of measures to keep the existing sewer collection system functional. These range from local rehabilitation to complete replacement of the sewer section. There are several repair methods available. The choice of method or a combination of methods depends on the physical condition of the sewer system components (i.e., pipeline sections, manholes, and service connections) and the nature and magnitude of the problem. If the problem does not involve the structural integrity of the system's components or the need to increase the capacity of the existing system, rehabilitation can be an effective way of restoring the utility of the system component. Replacement involves the removal of the existing non-functioning pipes or manholes and replacing them with new ones. The cost of this method, however, is generally much higher than rehabilitation alternatives. Pipe replacement jobs also take longer than pipe rehabilitation jobs. Lift Station repairs are normally done in-house. Mechanical repairs are performed at the maintenance yard. Electrical repairs are undertaken at the lift stations by Operations Staff. In general, the City maintains in stock a recommended list of spare parts which can be found in Appendix 4. Repairs requiring outside job contracts are those considered major or complex in nature such as control systems, motors and variable speed drives. These jobs are subcontracted. The City recently conducted a Wastewater System Master Plan completed by Water Systems Consulting (WSC) in December of 2012. Several methods of analysis were used in this study for all system sewer assets, including hydraulic analysis of pipelines, lift station assessments, manhole assessments, and review of system wide CCTV investigations. A list of Capital Projects addressing Rehabilitation and Replacement of existing sewer assets were identified in this study, ranked by priority, and integrated into the City's Capital Improvement Program through Fiscal Year 2017/18. Future CCTV and other R&R related investigations will be integrated into updates to this Master Plan. The City will be conducting future CCTV investigations on an "as needed" basis, when problems are encountered. City of Arroyo Grande SSMP Page 4-4 Pwrd i4Q V�', Sewer System Management Plan—Revision 01 Element 4—Sewer System Management Plan Operations and Maintenance 4.5 Capital Improvement Program (CIP) Individual Rehabilitation and Replacement Projects are identified and described in the Capital Improvement Program (CIP). A CIP budget and plan is prepared annually and covers a 5 year period. This annual report contains a planned expenditure summary for identified projects, followed by a detailed project description along with a 5 year project expenditure plan. (See CIP —Appendix 4) The City is currently in the process of adopting a Water and Wastewater Rate Study Report. This draft report was issued in March 2014. Based on the findings in the draft report, the City's wastewater enterprise fund is currently financially solvent and is anticipated to be this way for the next five (+) years. Rehabilitation & Replacement projects are shown to have adequate funding for the next five (+) years. 4.6 Employee Training Training programs include formal classroom, informal on-the-job and hands-on training. Training is conducted by both City Staff and by outside training workshops. On-the-job cross training is pursued to ensure Staff has a proficient working knowledge of the sewer system. City Staff is also cross-trained so that critical tasks can be performed without interruption even when the crew members change. Task proficiency is a requirement for all job positions and promotions. Training records are maintained to monitor completed classes and for scheduling. Crews are initially trained in the proper operation and maintenance of all new major mobile equipment and facilities by the contractor or manufacturer. Written operation and maintenance manuals are used as resource material for initial start-up training as well as new Staff training. Safety training is an integral part of the City's program. Every Staff member receives formal training. Staff is trained in confined space entry and in hazardous materials management, as required. The City is in the process of developing a Request for Proposals for the development of an Operation and Maintenance Program which will provide Standard Operating Procedures (SOPs) for O&M activities conducted within the City. These SOPs will provide the City with materials to develop a formal training program to help implement these procedures. The following procedures have been identified for development and implementation: • Lift Station Operations and Maintenance • USA Requests • Sewer Connection Requests • Routine Traffic and Crowd Control • Annual Collections System Cleaning and Reporting • High Maintenance Area Cleaning • Manhole Inspection and Maintenance • Map Updates • Stand By Pump Operation • Stand By Generator Operation • Operation of Vactor and Service Trucks The RFP for the development of this program is planned for release in October 2014. The City plans to have these procedures in place and a formal training program started by the end of 2015. City of Arroyo Grande SSMP Page 4-5 Sewer System Management Plan—Revision 01 Element 4—Sewer System Management Plan Operations and Maintenance 4.7 Equipment and Replacement Inventory Operations Staff maintain the pump stations but do not perform larger projects to repair or replace underground pipelines. Repair and replacement of underground pipelines are contracted out to licensed contractors who have the equipment, materials and personnel to complete the work. The City maintains an electronic inventory of equipment, replacement parts, and supplies and follows a structured process to ensure an up-to-date accounting and complete inventory of equipment and replacement parts. Parts required for preventive maintenance are identified ahead of time for each specific maintenance task. Parts are secured prior to the start of preventive maintenance. The City maintains equipment such as sump pumps, portable generators, traffic control and night lighting systems for emergency response. These items are maintained in a ready state for immediate deployment. Three (3) lift stations are equipped with emergency generator connections that allow the use of portable generators to operate the stations in the event of a prolonged power outage. One lift station has a permanent generator with automatic switch over. The remaining lift stations have connections which allow the use of portable trash pumps. The following pieces of equipment are utilized as backup systems in the event of a lift station emergency: • One (1) Trailer Mounted Portable 6" Pump • Two (2) Portable 3" Pumps • One (1) Fairbanks Morse 60hp submersible pump In addition to the emergency lift station equipment listed above, the City also maintains four (4) Tesco-Liquitonic 3: Level Controllers for lift stations as a backup/replacement in the event these pump controllers fail. As a backup, managers have credit authority to purchase needed materials and supplies from local vendors of non-stock items when they are critically needed. In the event of an emergency, local retailers are available to supply additional needed equipment and parts on short notice. The City has a history of purchasing plumbing and wastewater related products from the distributers listed below. They were contacted in mid-2014 and confirmed that the majority of the items required for repair and replacement are currently stocked and available for purchase. Contact information for the four (4) retailer locations is provided below: • Ferguson Enterprises: San Luis Obispo, 4546 Broad Street (805) 594-5380 • Autosys Inc: Santa Margarita, 3945 Parkhill Road (805) 438-3935 • Flo-Systems: Burbank, 3010 Floyd Street (818) 562-5282 • Perry's Electric Motor & Control: Santa Maria, 414 S. Western Ave. (805) 925-8761 As stated in Element 4, the City is also enrolled in the Cal-Warn Mutual Aid Agreement which makes the eligible to receive equipment from surrounding agencies in the event of an emergency. Contact formation for enrolled members can be found at www.calwarn.ore�. IM I City of Arroyo Grande SSMP Page 4-6 Sewer System Management Plan—Revision 01 Element 4—Sewer System Management Plan Operations and Maintenance APPENDIX 4 City of Arroyo Grande 4-1: Sewer System and Stormdrain Atlas 4-2: Capital Improvement Plan 4-3: Sanitary Sewer Cleaning Program Description & Schedule 4-4: Sanitary Sewer Cleaning Map (Example): Trouble Spots & Root Treatment Sheets 4-5: Critical Parts and Equipment List 4-6: Maintenance Work Order Form 4-7: Manhole Inspection Form 4-8: Service Request Form 4-9: City Standard Operating Procedure: Vactor PW 51 4-10: Wastewater Master Plan 2012 4-11: Draft Revenue Rate Study City of Arroyo Grande SSMP 'WeI.P.4K;lF p;Jfkh"fdR', Appendix 4-1: City of Arroyo Grande Sewer System Atlas CITY GE AFl°IFk'i[Y1lO GRANOE. SEWER SYSTEM o A d c 4 3 °-4 Y r a a; w F 1 I t r 1 � x f( b. 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CL c _ v z N 1O v � v o U 6 U U o i m 'C S i � v 7z y r 71 O O O O O O --� n n Om ON N n � 0 3 y z G b G O +• a: U (� u (z � u� O N M m 0 v O O O O F+ p o Ul cJ H (:� U U U E U Q.9 m uG ?6.4 O � 0 41 G G1 G O °: d y o ° o 0 0 0 C�. uU) ;4 � W � NNN rp m 000 O 000 000 v 0O0 ° ° W m v cm m O v N N N m r> s p U U U o 00 00 C) C) W N NO N N O N O 0 N 0 0 0 O ol� o cl n O c O ch en cn O C 00 N N n N N b0 O Lr) rn w O cq N O LO m su ct ~ ~ O p p N N N 3 U c 'C m v a b& v m 7� cn -tz 3 0 o Cs N O , O v E� of d ma O v r N e• 00 cn n P: fY1 0 Cl O a•" N W N t✓. �u 3 Q, 0J X z W fs Nye cz cq O eV; •m r it +Q, cl 7z C 6 O N O 0Q1 O W 0' •C 'u Cl CD P1 N N cm U v O O 7Z 7.. C!� O Q lz z w U Q H' py cn cn H Q U U U H U o rn w o�' v GJ ±+ W v QJ +, U `n G G G cu ;z ' w 41 O > Pr U > 9 Q d� W N n N p O O O O O O O Lrj "V 0000 00 O 00 00 O 00 M 0 o v r o v o c" L r to cis 0 U 0 o W u p n n O n n N N N .o r H N O O N N N N Le) Ln 0 O O N N In Ln p N "rvar N f i N N 00 00 ri OJ 00 00 O [rJ ,� r-1 c� ,� ,o O O .� H H m' X 03 n 00 N N d 0 w x u. O O O O w vv U U cz - ,. z v ao 0 00 00 0 CD 00 w n n eel. c�C V 00 1 73 ° '5 z Q.w O o U Q Ct� v O a~ ty G V " r-4 O1 p N N p OJ O O O w p v V) U) H Q U U U U _ m .:: W ° � w v 0 v 0 cu p D O ono ° v v 1-1 oNO rn X" u 0 0 0 0 w �� , Q w !� nnnn Annendix 4-3: CITY OF w ARROYO GRANDE SEWER MAIN CLEANING PROGRAM APRIL 2012 ROUTE NO. 1 (YELLOW) LOCATION: Valley Gardens NO. OF SET UPS: 21 LINEAR FEET: 7,500 ESTIMATED TIME OF COMPLETION: 1 Day MAIN OBJECTIVE: Clean sewer mains to 27" trunk main at end of Leanna Drive (Ref. S.M.H. Y-3-22) SPECIAL INSTRUCTIONS: Lift Station No. 4 will be cleaned at end of route ROUTE ORDER: Per Sewer Atlas PAGES 3, 4 & 11: Starting with Y-4-1 ending with Y-11-38 NOTE: Notifications are noted in Sewer Atlas ROUTE NO. 3 (ORANGE) f LOCATION: Farroll Avenue NO. OF SET UPS: 26 LINEAR FEET: 8,175 ESTIMATED TIME OF COMPLETION: 1-1/2 Days MAIN OBJECTIVE: Clean main to 18" trunk main of Farroll Avenue SPECIAL INSTRUCTIONS: None ROUTE ORDER: Per Sewer Atlas PAGES 5, 6, 9: Starting with 0-5-1 and ending with 0-5-26 NOTE: Notifications are noted in Sewer Atlas ROUTE NO. 5 (RED) LOCATION: East Grand Avenue and Elm Street NO. OF SET UPS: 80 LINEAR FEET: 28,287 ESTIMATED TIME OF COMPLETION: 4-1/2 Days MAIN OBJECTIVE: Clean sewer mains to 18" V.C.P. trunk line of Fair Oaks Avenue SPECIAL INSTRUCTIONS: Clean Lift Station #7 after cleaning R-9-86 ROUTE ORDER: Per Sewer Atlas PAGES 9, 10, 14, 15, 20, 21: Starting with R-21-1 ending with R-9-80 NOTE: Notifications are noted in Sewer Atlas ROUTE NO. 7 (PINK) LOCATION: South Halcyon Road NO. OF SET UPS: 55 LINEAR FEET: 20,877 ESTIMATED TIME OF COMPLETION: 3 Days MAIN OBJECTIVE: Clean sewer mains to 14" V.C.P. SPECIAL INSTRUCTIONS: After route is completed, clean Lift Station No. 5 Notify 582 Newman, run at low pressure (500 psi) house subject to flooding ROUTE ORDER: Per Sewer Atlas PAGES 3, 6, 7, 10, 11, 15, 16, 21, 22: Starting with PK-21-1 ending with PK-3-55 NOTE: Notifications are noted in Sewer Atlas ROUTE NO. 9 (GREEN) LOCATION: Stagecoach Road NO. OF SET UPS: 61 LINEAR FEET: 16,443 ESTIMATED TIME OF COMPLETION: 3 Days MAIN OBJECTIVE: Clean sewer mains to 8" V.C.P. on Clarence SPECIAL INSTRUCTIONS: None ROUTE ORDER: Per Sewer Atlas PAGES 23, 24, 29, 30, 36: Starting with G-36-51 and ending with G-23- 112 NOTE: None ROUTE NO. 11 (ORANGE) LOCATION: Tally Ho and James Way NO. OF SET UPS: 75 LINEAR FEET: 16,067 ESTIMATED TIME OF COMPLETION: 3 Days MAIN OBJECTIVE: Clean sewer mains to 15" V.C.P. on Tally Ho Road SPECIAL INSTRUCTIONS: Flagman will be needed at 0-29-63 ROUTE ORDER: Per Sewer Atlas PAGES 23, 28, 29, 34, 35, 36, 42: Starting with 0-36-37 and ending with 0-23- 112 NOTE: Notifications are noted in Sewer Atlas SEWER.MAIN CLEANING PROGRAM ROUTE SKEET ROUTE DATE . ....... MANHOLE NO'S. 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FAX(315)475-4203 The Full-Service Root Control Experts LOG REPORT ON COMPLETED WORK DUKE'S SEWER-LINE CHEMICAL ROOT CONTROL SERVICE ATTENTION: Shane Taylor CLIENT: Arroyo Grande, City WORK PERFORMED: March 10, 2014 OPERATORS: H. Collins, Jr. , M. Murphy REPORT DATE: March 11, 2014 INSPECTOR: Tucker PURCHASE ORDER: N/A 14-0136-1. 00 SYRACUSE DALLAS • ATLANTA • COLUMBUS CHICAGO OAKLAND • PORTLAND • DENVER GUARANTEE We guarantee to kill all the roots in every sewer we treat and to eliminate the main line stoppages caused by live tree roots. If live roots are found in a sewer within six months after the application, or if a treated sewer plugs up and floods due to tree roots during the guarantee period (see below), we will re-treat that section, at our own expense, or remit to the customer 100% of the payment we received to treat that section of sewer. The decision of the customer as to the cause of the plug-up is binding. ' This guarantee applies only to sewer stoppages caused by live tree roots. It does not apply to stoppages caused by grease or other foreign matter; flat, collapsed or deformed pipe; or flooding caused by a surcharged or plugged sewer section downstream from a guaranteed sewer section. This guarantee applies to main line sewers only. Guarantee Period Any section of sanitary sewer we treat will not plug up and flood due to tree root obstructions fora period of two years. The guarantee period begins on the date of treatment, and ends two years after the date of treatment Extended Guarantee With Repeat Treatments Whenever we perform a repeat application to a section of sewer within six months of the expiration of the previous guarantee, the guarantee is extended for an additional three years. Re-treatments, performed at no charge in honor of the guarantee, do not extend the expiration date of the guarantee. r Liability Duke's is an insured, fully licensed pesticide application company, and is certified to apply EPA registered herbicides to sanitary sewers in compliance with Federal and State regulations. Duke's accepts responsibility for any damage to above-ground vegetation. Duke's is not responsible for damages caused by sewer stoppages. ft=VDUK1E'F5 WEER AL ROOT CONTROL,INC. The Full-Service Root Control Experts 1020 Hiawatha Blvd., West • Syracuse, NY 13204-1131 -' (315)472-4781 800-447-6687 • Fax (315)475-4203 Project Name: Arroyo Grande, City, CA Job# 14-0136 Treated Dates: 03/10/14 - 03/10/14 Report Date:03/11/14 '' Up Up Up Down Down Down Treated Street Type Loc MH Type Loc MH Size Feet Guar End 03/10/14 CLARENCE STREET C E TRAILER PARK M E G-30-50 8 170 03/10/17 03/10/14 FARROLL AVENUE H U 934 M S G-6-12 6 530 03/10/16 03/10/14 SANDLEWOOD AVEN M S G-6-11 M S G-6-13 6 600 03/10/16 03/10/14 THE PIKE STREET C S 926 M S B-6-0 6 287 03/10/17 03/10/14 THE PIKE STREET M S B-6-0 M S B-6-1 6 300 03/10/17 03/10/14 THE PIKE STREET M S B-6-1 M S GAYNFAIR TERR 6 294 03/10/17 03/10/14 THE PIKE STREET M S GAYNFAIR TERR M S B-6-2 6 100 03/10/17 Manhole Tyge Codes: Manhole Location Codes: Break Down: C Clean Out A Alley 6 2,111 H House Number B Backyard B 170 L Line Number E Easement (woods or no building) Total: 2,281 M Manhole Number F Front Yard L Left Side Yard(when facing front) R Right Side Yard(when facing front) S Street U Unknown 1020 Hiawatha Blvd.,West Syracuse, NY 13204-1131 WE DUKIEFS 1-800-44-ROOTS it ROOT CONTROL,INC. (315)472-4781 FAX(315)475-4203 The Full-Service Root Control Experts LOG REPORT ON COMPLETED WORK DUKE'S SEWER-LINE CHEMICAL ROOT CONTROL SERVICE ATTENTION: Shane Taylor CLIENT: Arroyo Grande, City WORK PERFORMED: October 28, 2013 OPERATORS: C. Burdick, T. Woods REPORT DATE: November 05, 2013 INSPECTOR: Jeremy PURCHASE ORDER: N/A 13-1057-2.00 SYRACUSE • DALLAS • ATLANTA • COLUMBUS • CHICAGO OAKLAND • PORTLAND • DENVER Appendix 4-5: J O 0000000000 0 0 0 0 0 0 0 00 00 O O O QLOOOOOOLn00 OOOOOOLn00 OO OO F- C6 00000 � Od Nm0 � 0N0N00 � 00d 1 0mr- OO 064 N d" mNN � M NN (hNN Ef? 6c> 6c>63 63 W 000 r- 00Ln0000000000Ln0000Ln0000 ULoLo0000LO NO000000 - 001� 0000N 00 TCDLnM0OLnN LnO � M � NN00m00I- 00r- 0 (N 'TLnO a � � � � � 64 64 64 64 64 64 � � � � � � � � � � � eq, � eq, o N O M W z D O w wW pa zi z U) C7 O � U) U) z o F- H CD (D Z C7 z U U OJ cn CD 0 C� J U Ln a Z Q Z_ Z_ Z_ Z wU WO O LU ? z � � � ELvLLLL0 0 � � U) U) OEWWJWQ 0 � F � CDCD LU � W � 00- 0U) � U) U � J J J U) O W Q J U W J W W Vz U U) U) Uaa Ja U) � Z: (D ) 0- 00Uw LU O 00 W W U U U a 0 Q W W U W Z 0 Z Z � a ~ � � Z) � w � aw2 � � O � Q � QQ � Q Qw d � 0 ZZwpw aL.LLUL.0 W2Q � � Qc� J J Cn U) Z J Q Q O J o Lu Cn O Cn u) Cn � J J L.L d V � � � � XXQU = = J � J >W -. Q � (VUOOd" UO 0 � ZWZZ� Z� WZ� W W � Q � > WCDd Jc,) - � d Nips XCn00 mXXUX � � UUc) U) XXUXXXXXXZ W d" d" d" d" Z� Z� Z� Z� Z� Z� OOZ� 0OOOONmNN0Nd 00 00 00" OOd" d" 000 W U H Z 0d' 0 N NNNOCN LnNN0 N � N0 r-- O � d' OO C, z m J 00000 O O 00 O O QoI- O0 � 0009 OLO F- 0ch1- 0 (N (N" 0001- (N,,) CDO (h Q E , O Ef) r- L ('7 O r- 64 64 64 W 0 0 00 L 0 Lo 0 0 O O O ugr-- m0 (h , 000O O d (h I� O m O (D Lo O d 64 64 69- 69- 69- 64 64 Eft Eft N N 63 63 63 U) W z O w O U LU F- z U Z F- RC) C/) 0- Q Q U U 00 W LU a V W Z D Z U U U U U) O LU LU W LU U > > a > mm > J (D00 W U0- 00- aa (Y) U) W WWW W W a W a a 00 X Q Q X W W W J J J F- (') � � w wwUU OQp � o XWW � WC/) C/) Z W z U)1c 1 cn X Q < >O IT (DIT ° 00 (D oo 2cnU C� H Z O O O O 0 0 b o m N � Lr) M z m MA v GUARANTEE We guarantee to kill all the roots in every sewer we treat and to eliminate the main line stoppages caused by live tree roots. If live roots are found in a sewer within six months after the application, or if a treated sewer plugs up and floods due to tree roots during the guarantee period (see below), we will re-treat that section, at our own expense, or remit to the customer 100% of the payment we received to treat that section of sewer. The decision of the customer as to the cause of the plug-up is binding. This guarantee applies only to sewer stoppages caused by live tree roots. It does not apply to stoppages caused by grease or other foreign matter; flat, collapsed or deformed pipe, or flooding caused by a surcharged or plugged sewer section downstream from a guaranteed sewer section. .� This guarantee applies to main line sewers only. , Guarantee Period Any section of sanitary sewer we treat will not plug up and flood due to tree root obstructions for a '"» period of two years. The guarantee period begins on the date of treatment, and ends two years after the date of treatment Extended Guarantee With Repeat Treatments Whenever we perform a repeat application to a section of sewer within six months of the expiration of the previous guarantee, the guarantee is extended for an additional three years. Re-treatments, performed at no charge in honor of the guarantee, do not extend the expiration date of the guarantee. �o Liability �. INS, Duke's is an insured, fully licensed pesticide application company, and is certified to apply EPA P registered herbicides to sanitary sewers in compliance with Federal and State regulations. Duke's accepts responsibility for any damage to above-ground vegetation. Duke's is not responsible for damages caused by sewer stoppages. ` W DUKES A ROOT CONTROL,INC. The Full-Service Root Control Experts 1020 Hiawatha Blvd., West - Syracuse, NY 13204-1131 (315)472-4781 • 800-447-6687 • Fax (315)475-4203 -. Project Name: Arroyo Grande, City, CA Job# 13-1057 Treated Dates: 10/28/13 - 10/28/13 Report Date:11/05/13 Up Up Up Down Down Down Treated Street Type Loc MH Type Loc MH Size Feet Guar End 10/28/13 BRANCH ROAD H E 528 H E 520 12 205 10/28/16 10/28/13 CERRO VISTA DRI H E 617 M F PK-11-40 12 140 10/28/15 10/28/13 CERRO VISTA DRI M E PK-11-37 M E 617 12' 400 10/28/15 10/28/13 DODSON WAY M PK-10-19 M PK-10-17 6 326 10/28/15 10/28/13 GARDEN STREET H' F 117 H S 117 12 50 10/28/16 10/28/13 GARDEN STREET H' E 117 H F 117 12 150 10/28/16 10/28/13 GARDEN STREET H S 117 H E 528 BRANCH RD 12 345 10/28/16 Manhole Type Codes: Manhole 'Location Codes: Break Down: C Clean Out A Alley 12 1,290 H House Number B Backyard 6 326 L Line Number E Easement (woods or no building) Total: 1,616 M Manhole Number F Front Yard L Left Side Yard(when facing front) R Right Side Yard(when facing front) S Street U Unknown Appendix 4-6: PUBLIC WORKS DEPT. WORK O'RD'ER "t4J,oft� � NORMI. OPERATING HOURS 7 : 30 A.M.-5:00 .,M., DATE CREW LEADER HOURS ACTIVITY CODE I .. LOCATION ACTIVITY CODE 5 LOCATION, 6 AC'T'IVITY TOTAL. CODE LOCATION ACTIVITY MATERIALS CODE LOCATION ACTIVITY *Supervisor's' 'Estimrw tie of Time Required to Complete the Assi Activity Supervisor's Signature E QU'N P14 HRS. EQUIP EQUIPI �HRS.. Crew Leader's Signature EQUIP# HNNE& PW— 6011'/91I .,1'.OV Apendix 4-7: M City of Arroyo Grande .6 Public Works Department (805) 473-5460 District Trunk Line Manhole Observation and Inspection Report MH No. Date: Time: Inspector: Elevation: Depth To Invert: Cleanliness: Type of Construction: Street Reference: Cover A Frame ...• ., Rim Channels Riser Rings `�, ....Cone Barrel B C ^ Shelf - „°�Invert r [N Defects Observed: (cover, frame, grout, riser rings, steps, shelf, pipes, channels, etc.) 1. 2. 3. 4. 5. 6. 7. 8. (Use Reverse Side For Additional Defects To Be Noted) From M H# Est. Type Depth of Velocity Pipe Size Length to MH# Flow of Flow of Flow of Flow A. B. C. D. c FFI FF1 FF1 0 0 U U N N C U)U U � U) (Q E O O L 7FD C:v C C � � U o c5 2 U O Cn � LL Q a) 70 Q 0 0 0 0 O Q Q �� N C L C U U •� •� L ~ 70 .� U L U) U N N X00 cna cncn U- QcnJ2 r co, N (hd' L6 W NCO O M N U) U) c c U) ap O N N 70 N 70 N 7 N 70 O 0 V � � U �U — O = •cn U C ccn m c� U a) �aL U L (o � a n O L (/) > 0 0 c - o � 0 -- a) � 0 •- 0 (1) C- 2-0 a n Z U n m U3 cn U) co cn m 0 m cn 0 o A N � � (N Cl) d � (N ('') d" L � N (hd" L6 � N (hd" L6 � N -- U cnI U m Q co U w ❑ El J he 0) r N C � N N 0 •cn � ca _ 070 70 -0 70 ca 0 _ v c� m a) a) �M U U 70 70 -0 0 0 M � c 0 E0- o oLn ac n (DaZ) w0 Cnoo U) U) C) 2zZ C) 0- N � Nco LO ( N (hd" Lo ( Ncod" Lo ( N � N _ O (Q N L > N O G w j E a I O N y _ O � O N O 0 U m N CY Q co U w 2 0- v Q a� Q v o c3a p E � (D = o E LL U- N � d O D � � 0 O "0 _0 O O C O U r' }' O a L L G O M= O y Umcna to o A L � c U = LU W L O N O Q � O .. U d � L C O O O L O O O O N V +3+ (Y) d a = a O N E N +O+ N p O O N O N O O O ' �- I — L cn o o a E E V, D s o ' E E 0 cn .2: y V Q V Lu L : 0 Appendix 4-8: DATE: REPORT TAKEN BY: SERVICE REQUEST SERVICE REQUESTED BY: ACTION TAKEN; NAME TELEPHONE LOCATION BY DESCRIPTION ACTION REPORTED TO REQUESTER BY DATE Pw—$ Apendix 4-9: CIS I ,,,: Public Works Department Standard Operating Document No: Procedures 4 �� I F u J Ag SOP 000001 Title. Vactor PW -51 Page 1 of 18 Prepared by: Tim Schmidt............._W.... ...........................m. ...,._ _ Date Issued: Signature ....._. ....... ....- _ Date: ._. ................. . ..wm 3/5/13...... Approved by: Shane Taylor Rev# 1 gn Date: Signature: . .. ...................... ......... ----------- 1, Background an(FUrpose The Vactor 21.00 this uses high pressure water and vacuum to clear sewer lines and remove blockages. The unit is self-contained with its own water supply tanks, debris body, vacuum system, rodder pump,hose reel, high pressure water hose, and hydraulic pump. 2. Summary of Procedure Do a daily driver check out. Let air pressure build then it's ready to drive. When at your destination for operation set parking brake every time you get out of truck,put truck in neutral for PTO operation chose jobs follow steps listed for hand gun, vacuuming,jet Roding,Body wash, and Debris tank operation below. 3. Definitions Jet Rodder is a 1"/600' hose that is on the front of the vactor works with high water pressure and a hydraulic motor. Vacuum is a set of 8" tubes that is driven by a diesel motor and fan in the middle of the truck. 4. Health and Safety Vactor is for cleaning sewer which could cause illness and is loud when running vacuum. The following protective equipment should be worn while operating the truck: Rubber gloves Rubber boots Hard hat(when near overhead equipment) Safety glasses or goggles Earplugs (when operating or near noise generating equipment) Leather gloves Coveralls 3/11/2013 5. EquipmenT rld Supplies Vactor - 1 Tubes Nozzles Pipe wrench Crescent wrench Ear plugs Water in tanks Fire hydrant meter 6. Personnel Qualifications This procedure will be performed by a commercial CDL A or B with tanker endorsement 7. Procedure Hand gun operation Step# 1 While motor is running select neutral. ilf��f f i' Step#2 Turn on PTO master switch,PTO will not engage unless all switches on the hose reel are in the home position . e a a uii�lilYilflf �r P ono � i i"i Step#3 Hose gun can be hooked up in the front of the Vactor, in the rear and on the side Behind the passenger side of the cab. C4, " va IIIIIIIIIIIIIIIIIV�III'iV"" °°°°°" Step#4 On the side of the truck turn the hand valve on .Turn body wash valve off. Both valves are located on the passenger side of the truck. Turn rodder valve Off on the front Hose reel .Take special note to plug off each point not being used. i iW,rori��gl I lU� hpi i r a 11 1 r ut IVI' `J a� Step#5 Turn pump switch on. Located on front hose reel , ..;, J/ Step#6 When done turn pump switch off. Step#7 Turn PTO master switch off 4. 8. Vacuum operation Step # 1 Select neutral on transmission, set parking brake, must be running. Q� !' S i Step# 2 Turn on PTO switch PTO will not engage unless all switches on the hose reel are in the home position. am /, IN %off i r li G1 Step #S Start en/nelet warm for five minutes .Engine controls are located on hose m¥ in the front o the truck. MM \ � < . \( >� Step #4Turn fan throttle to 6h . \ \ 2 \ \� . \ .: ? Step #5 To use pendant be switch on the hose reel needs to be in the disabled position d^ ~ » ( ° Step #6 When ready to vacuum turn switch to enable on pendant .. n, 1 Jl Od71� mJ; mn✓�I��Illlllw flu �r era W Step #7 When done vacuuming turn fan engine throttle to low and let engine idle for five` turn fan engine to stop. Turn all switches to home position. i Step #8 Turn PTO master switch off, 9. Jet Rvding operational sequence Step # 1 Engine must be running,select neutral on transmission and set parking Break. w � r i I 11 / Step#2 Turn PTO master switch on located on the center consol. � Ya I ,0 %ice j i rrt a D , Step#3 Put nozzle in to pipe using hose reel handle.Up is out and down is in.Set hose reel speed uuli ri i1 Step#4 Turn on rodder valve turn off body wash and hand gun valve. r ; I 1 i r;. X61 l �YNB➢q �( Step#5 Tamp mpsw!&Eo. Toi3Je k flow and pressure you can cho k low mid high : � \ . >W � � d / > . Step&6 When sal462m clean rest the footage cullcswitch m clear the footage mzero. , > \�>% ! : �\\ Step#7 When done turn pump mo ca dmalti o»m home psto Turn pumpo7 qp# S Tam PTO master switch off. 10 Body wash operation Step # 1 Select neutral 2 \ � � ;« . � l} � . �4. \ V »% \ �^ Step 42 Turn PTO mast switch on. OF » « + « � § / � 1 s Step#3 Turn body wash valve on. Step#4 Turn rodder and hand run valves off. v e. �l H� Step#5 Turn pump switch on .If you need more pressure turn pump mode switch to mid or high and adjust multiflo clockwise. 2\ a / : %\ . ? \ \ ?p#6 When done turn pump sw!&toa dalGh£Switchsto hmepsbm }\\ yr Step#7 Turn PTO master switch off. 11. Debris tank operation Step # 1 select neutralset parking brake r/fI� i r a ��ICjII'I i i , r e' Ste: #2 Turn on PTO master switch AM f,, J �I�Ml I� Step#3 Debris dump switches are located in the aluminum box on the passenger side of the truck. NVOW Y L !k r !N,,49� 1pfl17 /vl- �1 r" f ff'� Y lu i, iu MCI� Iii i,i 14• Step#4 Press debris button up for door to open and down to close Step#5 Press debris tank button up to dump and down to come down .Before lowering the tank make sure door locks are in the locked position Step#6 When done turn PTO master switch off. I Under normal operation the body wash is used only to remove material from the debris tank .Once all debris is dumped,the hand gun or garden hose should be used to clean the two filter canisters on the top of the debris tank. Also the sealing surface of the door should be washed clean prior to lowering the debris body and closing the debris door. Appendix 4-10: CITY OF ir r pr ' j, City Y of Arroyo Grande ,{II Wastewater System Master Plan December 2012 Ut C d1M"0te Grande Pavk ROOD � ntaaS�rY �wgry tPorc�r' . Vtg.�ra pFti �� �°,roNlayFai�y� n+ ��a�7Sa4Nd�N44prv. jrt Jdf� �� �?Nn c.. a bra rr ,, yn�h�x,4 Xe Grande Al � gyp �>�•� ��r3' ,,. - ail✓q.,� rrr v d Iidrry,YrtlF,uNY 4M v Hhgh k`;ait Onks Amu Fair � tl FOIEVYfIAft f lI The Arroyo Grande Wastewater Master Plan was prepared under the direction of the following registered Civil Engineers: FES H.WE Hydraulic Modeling and Technical Data prepared by: NO.65400 Oe EmG' �� Civi Prepared by: C58054 17(A �t " CNIL q OF OI~1 � �VES Reviewed and Approved by: E � •" N0,52510 S Exv —_L c l v o- , OF C t 1 � ' City of Arroyo Grande Wastewater System Master Plan Page i Table of Contents LISTOF TABLES................................................................................................................................vi LISTOF FIGURES ...........................................................................................................................viii EXECUTIVE SUMMARY.................................................................................................................... 1 Scopeof Study ............................................................................................................................ 1 Section 1 - Introduction and Overview....................................................................................... 3 1.1 Land Use and Population ................................................................................................. 3 1.2 Gravity Collection System ................................................................................................ 3 1.3 Wastewater Lift Stations.................................................................................................. 3 1.4 Wastewater Collection,Treatment, and Disposal by SSLOCSD....................................... 4 1.5 Operations and Control.................................................................................................... 4 1.6 Recommendations and Capital Improvements ............................................................... 4 Section 2 - Land Use and Population.......................................................................................... 5 2.1 Existing Land Use and Population.................................................................................... 5 2.2 Annexation ....................................................................................................................... 7 Section 3 - Wastewater Flow Data ............................................................................................. 9 3.1 Existing Wastewater Flows .............................................................................................. 9 3.2 Peaking Factor Analysis.................................................................................................. 11 3.3 Storm Water Infiltration and Inflow............................................................................... 13 3.4 Future Wastewater Flows.............................................................................................. 14 Section 4 - Wastewater Collection System Analysis................................................................. 17 4.1 Existing Collection Facilities ........................................................................................... 17 4.2 Collection System Modeling........................................................................................... 18 4.2.1 System Map Update................................................................................................ 19 4.2.2 Elevation Data Verification ..................................................................................... 19 4.2.3 Sewer Flow Rates.................................................................................................... 31 4.2.4 Land Use Sewer Duty Factors ................................................................................. 31 4.2.5 Model Skeletonization............................................................................................ 31 4.3 Lift Station Evaluation .................................................................................................... 32 City of Arroyo Grande Wastewater System Master Plan Page ii 4.3.1 Current Lift Station Capacity................................................................................... 33 4.3.2 Capacity Required at Build-out............................................................................... 33 4.3.3 Results..................................................................................................................... 34 Section 5 - South County Sanitation District Wastewater Collection....................................... 45 5.1 Wastewater Collection/Trunk Sewers.......................................................................... 45 5.2 Wastewater Treatment and Disposal ............................................................................ 45 Section 6 - Collection System Maintenance and Inspection .................................................... 47 6.1 Pipeline Maintenance .................................................................................................... 47 6.2 Manhole Maintenance................................................................................................... 47 6.2.1 Odor and Corrosion Control ................................................................................... 48 6.3 Lift Station Maintenance................................................................................................ 48 Section 7 - Recommendations and Capital Improvements...................................................... 49 7.1 Data Collection and Field Investigations........................................................................ 49 7.2 Mapping, Population, Land Use and Demand Projections ............................................ 49 7.3 Wastewater Collection System Capacity Evaluation ..................................................... 50 7.4 SCADA System Evaluation .............................................................................................. 50 7.5 Cost Preparation............................................................................................................. 50 7.6 Sewer System Program Summary.................................................................................. 52 7.7 Sewer System Project Descriptions................................................................................ 59 Project A-1 -Trenchless Sewer Rehabilitation with Point Repairs....................................... 61 Project A-2 -Trenchless Sewer Rehabilitation...................................................................... 69 Project A-3 - Lift Station 4 Rehabilitation (performed by City staff) .................................... 91 Project B-1 - Lift Station 1 Forcemain Replacement............................................................. 97 Project B-2 - Huasna Road Sewer Upgrade ........................................................................ 101 Project B-3 - Backyard Sewer Replacement........................................................................ 105 Project B-4 - El Camino Real Sewer Upgrade...................................................................... 113 Project C-1 - Manhole Rehabilitation ................................................................................. 119 ProjectC-2- 1/1 Study.......................................................................................................... 121 APPENDIX A—Collection System Modeling................................................................................ 125 City of Arroyo Grande Wastewater System Master Plan Page iii SystemMapping Update..................................................................................................... 125 ElevationData..................................................................................................................... 126 InvertElevations ................................................................................................................. 126 RimElevations..................................................................................................................... 126 SewerFlow Rates................................................................................................................ 127 Land Use Sewer Duty Factors ............................................................................................. 127 Spatially Allocated Flows .................................................................................................... 129 Model Skeletonization........................................................................................................ 130 Collection System Modeling ............................................................................................... 130 APPENDIX B— Lift Station Capacity Evaluation........................................................................... 131 Method ............................................................................................................................... 131 Results................................................................................................................................. 132 Lift Station Pump and System Curves................................................................................. 134 APPENDIX C— Lift Station Energy Considerations ...................................................................... 143 Data..................................................................................................................................... 143 Results and Recommendations .......................................................................................... 144 City of Arroyo Grande Wastewater System Master Plan Page iv City of Arroyo Grande Wastewater System Master Plan Page v LIS'T OF "'FABLES Table 2-1 - Land Use Designations.................................................................................................. 6 Table 2-2 - Existing and Projected Land Use Distribution............................................................... 7 Table 3-1 - Sewer Flow Factors..................................................................................................... 10 Table 3-2 - Existing Average Annual (Daily) Flows by Dwelling Unit Type.................................... 11 Table 3-3 - Existing and Projected Average Annual (Daily) Flows by Land Use............................ 13 Table 3-4- Summary of Peaking Factor Analysis.......................................................................... 14 Table 3-5 - Future Wastewater Flows........................................................................................... 15 Table 4-1 - Sewer Collection System Inventory............................................................................ 17 Table 4-2 - Existing Lift Station Summary..................................................................................... 18 Table 4-3 - Lift Station Capacity Evaluation Results...................................................................... 35 Table 7-1-Sewer System Project Summary.................................................................................. 53 Table 7-2 - Sewer main sections requiring trenchless rehabilitation and points repairs............. 61 Table 7-3 - Sewer main sections requiring trenchless rehabilitation........................................... 70 Table 7-4- Length of Proposed Sewers ...................................................................................... 106 Table 7-5 - El Camino Real Sewer Summary............................................................................... 114 City of Arroyo Grande Wastewater System Master Plan Page vi City of Arroyo Grande Wastewater System Master Plan Page vii LIS'T OF FIGURES Figure 4-1 - Lift Station Tributary Area ......................................................................................... 21 Figure 4-2 - Existing Wastewater Collection System .................................................................... 23 Figure 4-3 — Future Peak Flows and Capacity............................................................................... 23 Figure 4-4 - Lift Station No. 1 Service Pump and System Curve................................................... 37 Figure 4-5 - Lift Station No. 4 Service Pump and System Curve................................................... 39 Figure 4-6 - Lift Station No. 5 Service Pump and System Curve................................................... 41 Figure 4-7 - Lift Station No. 7 Service Pump and System Curve................................................... 43 Figure 7-1a - Wastewater Capital Improvement Projects............................................................ 54 Figure 7-3- Project A-1 (1,3):Trenchless Sewer Rehabilitation with Point Repairs..................... 63 Figure 7-4 - Project A-1(2):Trenchess Sewer Rehabilitation with Point Repairs......................... 64 Figure 7-5 -Trenchless Sewer Rehabilitation ............................................................................... 71 Figure 7-6 -Trenchless Sewer Rehabilitation ............................................................................... 72 Figure 7-7 -Trenchless Sewer Rehabilitation ............................................................................... 73 Figure 7-8 -Trenchless Sewer Rehabilitation ............................................................................... 74 Figure 7-9 -Trenchless Sewer Rehabilitation ............................................................................... 75 Figure 7-10 -Trenchless Sewer Rehabilitation ............................................................................. 76 Figure 7-11 - Lift Station #4 wet well............................................................................................ 92 Figure 7-12 - Lift Station #4 vault lid............................................................................................. 93 Figure 7-13 - Lift Station #4 piping................................................................................................ 94 Figure 7-14 - Lift Station 1 Forcemain Replacement .................................................................... 98 Figure 7-15 - Huasna Road Sewer Upgrade................................................................................ 102 Figure 7-16 - Sewer Relocation................................................................................................... 107 Figure 7-17 - El Camino Real Sewer Upgrade ............................................................................. 115 Figure 7-18 - SSLOCSD 1/1 study flow data by flow monitoring basinZ........................................ 122 City of Arroyo Grande Wastewater System Master Plan Page viii City of Arroyo Grande Wastewater System Master Plan Page ix EXECU"'FIVE SUMMARY The City of Arroyo Grande (City) provides a wastewater collection system for residential, commercial, and institutional buildings within the City. The City's collection system conveys raw wastewater to trunk mains owned and operated by the South San Luis Obispo Sanitation District (SSLOCSD). Wastewater treatment and ocean disposal is also provided by SSLOCSD. According to the State of California, Department of Finance, the 2011 population was approximately 17,291 is expected to increase to 20,000 at build-out of the existing city limit. As the City corrects current capacity and age-related problems with the system infrastructure, it is the City's intent to construct wastewater system improvements consistent with the ultimate needs of the system. In order to provide wastewater collection facilities for build-out and establish a capital improvements projects program, the City contracted with Water Systems Consultants, Inc. to update the hydraulic model of the wastewater collection system. The Wastewater Master Plan was prepared to be consistent with the City General Plan and General Plan Update. Land use and population data were examined in detail along with historical demand to establish future service requirements. A comprehensive computer model of the wastewater system was developed to establish and project the capabilities of the wastewater collection system. The model was also used to identify projects for the capital improvements projects (CIP) programs, which outlines necessary improvements and upgrades for existing and future expansion wastewater system needs. The recommendations contained in this report will be reviewed periodically to ensure they continue to be consistent with current code requirements and population projections. Scope of Study The Wastewater System Master Plan was prepared to evaluate the existing wastewater collection system and recommend a program of improvements in order to provide for a well- planned and comprehensive program. The scope of the study includes the following: 1. In coordination with the City Planning Department and planning consultants, review the Land Use Element of the City General Plan through build-out of the existing City limit. 2. Estimate the current and projected average and peak wastewater flows for the collection system based on flow monitoring and available records, and estimate future flows using a detailed breakdown of land use potential provided by the City Community Development Department. City of Arroyo Grande Wastewater System Master Plan Page 1 3. Install and monitor flow recording devices to confirm flow assumptions and peaking factors. In targeted areas, review the date for the occurrence of storm water intrusion into the system. 4. Using available as-built information, prepare a comprehensive computer model of the collection system, including both gravity and pressure systems. Confirm model assumptions through field testing and flow monitoring. Analyze the collection system in terms of existing and future deficiencies. 5. Analyze each sewer lift station and force main in terms of pump hydraulic performance, and recommend improvements to be performed within a 20 year planning horizon. 6. Recommend improvements to the gravity collection system to be performed within a 20 year planning horizon. 7. Describe the City's relationship with the SSLOCSD, and Identify sewers within the City limits owned and operated by the District. Include SSLOCSD trunk mains in the comprehensive computer model. 8. Estimate the budget cost of each recommended improvement to the collection system. 9. Prepare a prioritized capital improvement program for implementation of the recommended system modifications. City of Arroyo Grande Wastewater System Master Plan Page 2 Section 1. Introduction and Overview Chapter 1 summarizes the study that was performed, and briefly presents recommendations for a program of wastewater system improvements to accommodate the build-out needs of the City. The land use patterns utilized in this study are based on the 2010 Update of the Land Use Element contained within the Arroyo Grande General Plan and on current or pending changes to this plan associated with the General Plan Amendment process. The 2010 population of the City was 17,252 according to the 2010 U.S. Census Bureau. According to the 2010 Update of the Long Range Planning Report, the population of the City is expected to grow from its current level of approximately 17,252 residents to 20,000 residents at build-out. The infrastructure improvements recommended in this document provide for the ultimate build-out of the City. f 2 Giravity Collectioiiii-i S 1 iuit The City's wastewater collection system population includes all residents located with the City of Arroyo Grande city limit. A model of the water system was developed and calibrated as part of the update. The model was used to evaluate existing wastewater collection system performance and examine alternatives for future modifications. The model and field testing indicated that the existing wastewater collection system meets demand requirements in 97%of the cases. Improvement projects were identified and modeled to address the identified deficiencies. Recommendations are also provided to meet build-out demands to enhance the reliable of the system in the future. I. tewateir Lift S1 Chit lair The City operates five (5) wastewater lift stations within its collection system. In 2006, Capital improvements were performed at Lift Station No. 1, which consists of a wet well pump configuration and conveys approximately 17%of the total City wastewater flow. In 2012 Lift Station No. 3 underwent a renovation that addressed safety and reliability issues As part of the 2012 Water and Sewer Master Plan Updates, an evaluation was performed on the City's lift stations to determine if the current capacity of each lift station is adequate for estimated build-out flows. The analysis was performed for Lift Station Nos. 1, 4, 5, and 7. Lift Station No. 3 was excluded from this analysis due that the fact it was undergoing a major upgrade to meet build-out flows at the time of the analysis. The capacity evaluation showed that Lift Station No. 1, 4, 5, and 7 all have adequate capacity to meet build-out peak hour wet weather flows (PHWWF). City of Arroyo Grande Wastewater System Master Plan Page 3 f. d Wastewater Collectioini, Ilw area ii iuitf, aiiii-id Disposal by SSL CS The South San Luis Obispo Sanitation District (SSLOCSD) is made up of three member agencies including the City of Arroyo Grande, the City of Grover Beach, and the Oceano Community Services District (OCSD). Wastewater collection (trunk sewers only), treatment, and disposal services are provided to the City of Arroyo Grande. The collection, treatment, and disposal capacity available for each member agency is not established by contract. Instead, expansion-related upgrades are funded by development impact fees that are paid when development occurs within each of the agencies. As a result, the development impact fees are calculated on a proportional basis which is dependent on the proposed project. The SSLOCSD wastewater treatment plant is currently operating at approximately 58% (2.88 mgd) of its 5.0 million gallon per day capacity. f 5 Opeiraflainis eland oiiiitiirt 1. The City system operates automatically. Operations personnel can track lift station operation at a centralized location through the Supervisory Control and Data Acquisition (SCADA) system. f 6 II t t iuit iuit ie uu-i f iii t iuit s aiiii-id Capital Il uut l uu t iui iuit f The recommendations resulting from this study are summarized in Chapter 8. A prioritized capital improvement program was assembled, and project costs were estimated. The capital improvements are summarized below: Priority A- Current Projects $1,132,100 Priority B - Implement by 2020 $3,077,600 Priority C - Implement by 2030 $3,692,800 TOTAL $7,902,500 City of Arroyo Grande Wastewater System Master Plan Page 4 Section ,,,, Land Use and Population The City of Arroyo Grande (City) is located in the Southern portion of San Luis Obispo County along the banks of the Arroyo Grande Creek.The City, a general law entity, currently incorporates 5.45 square miles of land area with primarily residential and agricultural land uses. The City's distinctive character derives from its traditional ties to agriculture, physical diversity, unique village, small town atmosphere, and rural setting. The current (2010) population of the City is 17,252 according to the U.S. Census Bureau; however the City currently serves water to a population of 16,901 residents. Land Use zones within the City are established by the Land Use Element (LUE) of the General Plan. The City adopted an update to the LUE on October 9, 2001. During the LUE update process, a detailed Land Use Inventory (LUI) was prepared to quantify existing and future development (See Appendix A). The LUI was broken into 65 Traffic Analysis Zones (TAZ) within the current City limits and provided the following information for each zone. • Number of existing residential units segregated by single family, multi-family, and mobile home parks. • Existing commercial or institutional uses including additional detail on the intensity of use (building area, number of structures, etc.). • Estimated potential residential units segregated by single family or multi-family use • Estimated potential commercial or institutional uses. The Traffic Analysis Zones were small enough to be integrated and used for the tributary sewer analysis of the collection system. Wastewater flow factors for different types of development were based on metered data and type of use as described in Chapter 4 and Appendices A and B. Existing land use zones within the City are shown in Figure 3-1 and categorized in Table 3-1 City of Arroyo Grande Wastewater System Master Plan Page 5 1 a11 111e 2 ... laiid Use Ce igitatioii ullllll Vuuu I um um u�u um Gen or Exclusive 1 du/10ac. Agriculture/20 ac. 2.4 p/du 0.24 p/ac (currently 10 ac. In City) lcfuf2©�e (�12 f�� 1 du/10ac. OS & PF 2.4 p/du 0.24 p/ac r 1.,dufae, g ,3(,, , & t,, e, G.//5,,//p"/d „ uuul 1du/2 % ac. RE/2% ac. 2.4 p/du 1.0 p/ac liilull � ��;�III III. (IIII I I cfuJ1%r .....Rli , ( fu t r ....�, u.............1 (/ uuou , 1 du/lac. City RR/1 ac. 2.4 p/du 2.4 p/ac hull . ( ........................ ......... ........, .., IIIIIIIIII � I uuul 4.5 du/ac City SF 2.4 p/du 10.8 p/ac ul . III III III (IIII II I�(uill uuml a ul IIII IIIIIII III III IIII �I II III II II � I mlul Sul �. Ip IIIIUu I 9.0 du/ac City MF 2.0 p/du 18.0 p/ac IIIIIIV" " I`%IIII III. MMIII 111=:g cull m '! IL uuul a ,,,,1 du f �trl(F / u 2 uuul 25 du/ac Senior Residential 2.0 p/du 50.0 p/ac %�III III. IIIIII IIIII III III II il)luilu�u uuu uuml uul uul uuull I�� ��1 VlilllllllllllUuuluuuul ullllll 25 du/ac See Devt. Code 2.0 p/du 50.0 p/ac VIII II� s u�u 6 III. '' VIII ull' IIII III � s�111111 I III 111111 I See Devt. Code IIIIIII 111111111IIIIIIII�I�III��111 111)111(IIII IUU � I IIIIIII II� �e 6evt c��e u I�II�IIA'MIII111�111111611illlll� IIIIIII��` City of Arroyo Grande Wastewater System Master Plan Page 6 14l llle 2 ... Fxisthig aIiid Ill:)Irojected LaIiid Use Uistori utimi ullllllllllll 1 1111' � �'� ullllllllllll„ 1 1111' �. IIIIIN^� � m Ipuuu lull uuuiuulpuui�uuou�uouuu�uouuuuuuuu uuul ul u� ' � I . VIII°°°°°Illllllllllljjlllllljjllllllj Community Facilities 364 367 II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,I � r uiiiiililllll° Multa �al ,,, � Derr g .g VIII 1114`' Single Family Low Density 308 358 N IIII NA l lull 5�r� 1al Lauu Medium Drtty' 3g 68 �III��,���iiil" II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,II,I m Single Family Medium Density 516 535 D''1'11ty '} ., .......,, I Mixed-Use 160 195 uliiiii!!!!!!!!!uuuuuuuuuu uuuuuuuuuu!!!!!!!!!uuuuuuuuuuuuuul!!!!!!!!!uuuuuuuu ,. . pVmn uuuuuuuuuuuuuuuuuluiiiiiiiiiiiiiiuuuuuuluuuuuuuuuuuuuuuuuuuuuuuuuuui ( fffie1CSe �C}i1 � 2c , piiIIIV s Conservation/Open Space 320 320 Vuuuul mVuuuu 1111111 iiiiii ,,,,,. Ea5oa C© e� .......... 6{ mu�VIII uuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuu' Village Core 52 52 g muuuHmmiiilll MU1taa#Tl� /Ver1e111y 4 : �lllll° VIII Single Family Very Low Density 48 48 T1TL 2, 18 3c, C III IIIIiexafl IIIni Staff currently considers the wastewater collection needs of potential annexation projects on a case by case basis. As a result, annexations were not specifically considered in this study, with the exception that upgrades to existing infrastructure will enhance the overall level of service to annexed properties. City of Arroyo Grande Wastewater System Master Plan Page 7 This page intentionally left blank. City of Arroyo Grande Wastewater System Master Plan Page 8 Sectio Wastewater Flow Data. Existing wastewater flows were assessed by utilizing the following sources of data: • Flow monitoring data from wet and dry weather sources • Lift station flow data • SSLOCSD wastewater treatment plant influent flow records Given that flow monitoring efforts were limited to a short period of time, it was necessary to determine the approximate percentage of the total flow that the City contributes to the SSLOCSD treatment facility. SSLOCSD flow data, which includes continuous flow records and daily totals, was then used to confirm seasonal peaking factor characteristics. The South San Luis Obispo County Sanitation District encompasses a geographic area of 165 square miles. It is located within an area known as the Five Cities area in the southwestern portion of San Luis Obispo County and is located 15 miles south of the City of San Luis Obispo. The SSLOCSD provides its services for the residents of the City of Arroyo Grande, the City of Grover Beach and the Oceano Community Services District. In addition, there is a small County population of approximately 50 residences that are not incorporated within the communities listed above who also receive those services offered by the District. Flow estimates were developed of the City's collection system using data from a recently completed infiltration and inflow (I/I) study prepared by the South San Luis Obispo County Sanitation District (SSLOCSD) and effluent flow data from the SSLOCSD WWTP. Effluent flow data from September 2010 through August 2011 was averaged to develop an average annual flow (AAF) for the SSLOCSD WWTP of 2.85 million gallons per day (MGD).The portion of that flow that the attributed to City's system (42%), was then applied to the SSLOCSD WWTP's AAF to obtain the AAF for the City's collection system (1.20 MGD). Table 4-1 summarizes the estimated wastewater flows of various existing development types within the City.The flow estimates employed in Table 4-1 were derived from a variety of sources including water use information, industry-standard factors, and flow meter studies of selected areas. Residential wastewater flows represent approximately 80% of the total annual average flow, which is consistent with historical water information presented in the Water Master Plan. City of Arroyo Grande Wastewater System Master Plan Page 9 1`4We 3 1- Sewer How Factors [F 151 LID 256 W1D 773 MU 636 [/OS 3 V[ 360 VLD 160 Notes: 1. Sewer flow factors do not include areas where the City does not serve water orsewer, or unclassified land uses within City limits. 2. Per capita flow factors (gpd/oapita) are based on existing residential sewage flow divided by the city population. These factors are not used for flow projections. City of Arroyo Grande Wastewater System Master Plan Page 10 1 4llWe 3 ... 3xistit°mg Average At°it°ivalll (Dafll ) No s Il y D ellllllit°mg Dt°tit type IIII II � Iliiiiil II I UIU IIIIIIU. III IIII mm�mllumm I 9 1411,1 . ......,,,I„ II°IIII rIIIIIIIiI �uuull °IIIIIIII!!IIII 1,156 2,312 57 131,784 Ill�iiliill�����lll III�III�III II II PII�III � lllllluu III iiii gi27 5 g5 R 7 , ,,, ',, ,,,,,,,.: piullll �dllll�°IIII I����� n/a n/a n/a 238,400 II II I IIII IIII II III III II uidul�ul uumm I m m m uiiiim�u�m�m�u m I um�u��myI� ii uuuuuuuuuuuuuuuuuuuuuuuuuuuiuuuuuuuuuuuuuuulii uuuuuuuuuuuuuuuuuul�iuuliu m u IIIIU���� u u � I I IIIIV IIIIIII III IIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIII IIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIII III II (IIIIIII ILA ru 1,2 , 0 Notes: 1. This is an estimate based on dwelling units served. 2. Per capita flow factors (gpd/capita) are based on existing residential sewage flow divided by the city population. These factors are not used for flow projections. 3. This number is slightly higher than the flow number predicted using land use duty factors because a small number of dwelling units are being double counted in the mixed 4. Single Family number includes 104 secondary units since they fall within the same geographic land use designation; however, secondary unit population is calculated at 2.0 Peald inig Fastoir A inialys iis In order to appropriately design wastewater collection facilities, peak flow conditions must be quantified. The "peak conditions of interest for facility design are summarized below: Average Annual Flow (AAF) is obtained by dividing the total flow conveyed by the City system in one year by 365 days. Other peak conditions are derived by multiplying the AAF by a peaking factor (PF). The flow factors in Table 4-1 reflect average annual flows. Peak Day Dry Weather Flow (PDF) is the maximum flow occurring in one day during the dry season. This flow condition is often used for the biological design of treatment processes. PDF was based on data provided by the SSLOCSD. Peak Hour Wet Weather Flow(PHWWF) is the maximum flow rate that occurs in a single hour during wet weather. Within the City, this condition will govern the design of sewers and represents the maximum flow rate that the system must convey. City of Arroyo Grande Wastewater System Master Plan Page 11 Average Day Maximum Month Dry Weather Flow reflects the maximum flow rate during the peak month of summer.This condition reflects the seasonal variation in dry weather flow. City of Arroyo Grande Wastewater System Master Plan Page 12 The table below summarizes the historical and projected peaking factors for the City.The historical peaking factors were based on all analysis of SSLOCSD data as described below. Higher peaking factors are often appropriate for the analysis of sub-areas within the system and will be noted in the analysis where appropriate. 1 4llsllle 3... ... Lxisthig aIiid Ill:)Irojected Average AIi u ivalll (Daflly) News Illy LaIiid Use ' ^^^' lump IIIIIIIIII III, ^Illllw II U'a �" VIII1"'""" a �' u�_ I VIII u�l „ klll III °1 �I IIIIIIIIIIIIIIIIIIIIIIIII�IIIIIII��IIIIIII 11111IiIOl .....1* ( ........ ........347,,,,,1 1,6 1,50"a l lllllllljll�llllllllllllllllllllllllllii 55,100 367 151 55,500 52,900 ��II�IIIIIII m'7 i�u„^u,uuu ���pm�uu��uuuuuuuuuuuuuuuuuuuuuuuuuuuuu I „������������, uMiii I „� 78,800 358 256 91,600 87,300 307,2( 3 6r8 3f1 374 , V I u� 1111111111111 IIIIIIII^ �"��'��II IIIIIIIIII W,V 'II �,�uuuuuuu miu 1 �1 ii Y, .� 7uuuliiiil 398,600 535 773 413,300 393,500 717 112�4t �tY7�� �lll�ll�llllllllllllll �uiiilll 11111 100,300 195 626 122,200 116,300 uuuuuuuuuuuuuuuuulppppuuuuuuuuuuuuuggqqqqqqqi uIIliudllVu a ul iul a iu liul illlllliul uil uul a iul ul�uluu�ul 1 ,40 31 47 14 13,40 wul,,,juullllllimm 1p 1,000 320 3 1,000 1,000 lfllllllllll j ,,,,®,,,,,,111,81111 18,600 52 360 18,600 17,700 I�Ilmiu �u�lllllll ,7 �lu,w u�uu yumwmuuul 111 �"UIIIIIIIIII ,,,,,,,,,����� ,',I'�IIIIIIIIII �I 48 160 7,600 7,200 I�31111III�IIIIIIII�Ikll�lllllllll�llllllll Sft iul iulss 'a L iul i uus i if iul a L iil t iult a uus s i uus t The infiltration and inflow of storm water into a sewer system can result in peak flows that far exceed dry weather conditions. For the purposes of this report, these terms are defined as follows: Infiltration Infiltration is the water entering a sewer system and service connections from groundwater, through such means as defective pipes, pipe joints, connections, or manhole walls. Infiltration does not include inflow and is relatively constant over period of days,weeks, or even months as high groundwater conditions persist. Inflow Inflow is the water discharged into a sewer system and service City of Arroyo Grande Wastewater System Master Plan Page 13 connections from such sources as roof drains, cellar, yard and area drains, foundation drains, cooling water discharges, drains from springs and swampy areas, manhole covers, cross connections from storm sewers, catch basins, storm water, surface runoff, or drainage. Inflow does not include infiltration. Inflow varies rapidly with rainfall conditions, with flows rising and falling within minutes or hours of a severe storm event. d. Fulture Wastewater Flows The table below summarizes the future wastewater flows for the City at build-out using the peaking factors and land use analysis previously described. Appendix A presents a more detailed flow breakdown by Traffic Analysis Zone. 1 4lWe 3...4... Suununaory of Ill)eallkilimg Factor Ali 4a ysis �mVIII!I Jill IIIII!I N- m � III III ii IIII III I �"' IIII IIII IIII Illllliiiiiiii"'IIIIIIIII VI�VI�II li" """ uuu �, uuu 1.32 1.30 1.57 1111111111"'IIIIIIIII(VIII U" .......,, .........i ......... .............i Ill ° °°(IIIIIIIII1111�111191 II�IIIVIIII IV)I IIVIIIV�III umuu ° "'11111 (III VII liy!!!!i IIIIIIIII IV)I(II'r' 1.01 1.10 1.33 Notes: 1. Historical PDF was calculated using results from the 2011 SSLOCSD 1/1 Study, where 42%of the peak dry day flow (influent) is attributed to Arroyo Grande. The design PDF is maintained at 1.3, consistent with the past master plan. 2. Historical PHWWF is based on metered manhole data for SSLOCSD manholes C18 and B11a, for the period 3/15/11-4/17/11. Design PHWWF was calculated using the Babbitt equation. 1. 3. Historical Average Day Maximum Month Dry Weather Flow factor was estimated using 2010/2011 SSLOCSD effluent data. Design factor was maintained at 1.1, consistent with the previous master plan. City of Arroyo Grande Wastewater System Master Plan Page 14 1`4We 3... ... Future or Nows uiiii°� ��m pull!I °iiiil'. ullll m IIIIII 111111 uulil ui u� uuumuu��p���u u uuoi loom um uum a um � u u uum Vu�u um I�. m VVVVVVVVVVVVVVVVVVVVVVVVVVVVPU pm pu gppppuuuuuuuuuuuuuuuuuuuuuuuuuuugppppuuuuuuuuuuuuuuuuuuuuuuuuuuuqppppuuuuuuuuum iliiiii, °1lIIIIIIIVI III U° ,,,,,, o pu Ilu . uo "'11111 IIII pllllllluuuul I� h ^^�" 1.30 1.72 ' 2 � ................. ii ° °0 IIIIIIIII IIII�III I'!I II�III�IIII IIIIII Iuol"' "' "'11111 IIII III "!!!!!""IIIII�III IIII 1.10 1.46 City of Arroyo Grande Wastewater System Master Plan Page 15 City of Arroyo Grande Wastewater System Master Plan Page 16 Sectio Wa.stewater Collection System Ana.lysis d. :1 E iii e iiil lair oil s 1 iii t iult Facilities The Arroyo Grande wastewater collection system consists of approximately 73 miles of gravity sewer and five (5) wastewater lift stations. The table below provides an inventory of the current system pipeline infrastructure, and figures display the existing system. 14nise 4...1... Sewer 46lHlectimi lysMi'n for°iveoiitoory °ii���l 1°�. IIIIIIIIN II� - I� � � ° µ �y'°°Ipl � "UII IIIIIIIIIII�III IIIP"" IVY � �iiiiiiiiiiiiiiiiiiiii!i!!iiiiiU!iIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIpVl�lll u � "UII IIIIIIIIIII�III IIII°�" U III U� IIII � IIII 1111111 u uuilol Vm a uul. � � u�uu hill m uuu uulill u�uu oilol m u�u uu V �� 264 0.1 2,033 0.4 IIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIII 111111 229,909 43.5 3,068 0.6 I���I°"II�I IIIIIIIIIIIIIIIIII 2(."'S.......... 0 0 IIIIIRRIkIII 24,683 4.7 0 0 mlllIlul 2,87,,,,,,,, ,,,,,,, ,5,,,,,, © ©,',,,,,,.... IIII"I'll ll 7,748 1.5 0 0 IIII"III 4 t t or iIIIIII31M 2,620 0.5 0 0 IIIIIIIIIIIIIIIIII 368,669 69.9 6,482 1.2 pulIlllllullllllllllllllllllllllllllllllilllllll d um ... mllll 1.,75 MIIIIIIIIIIIIIIIIII III Ci ty of Arroyo Grande Wastewater System Master Plan Page 17 The table below summarizes the characteristics of the five (5) existing wastewater lift stations. 1 4lWe 4...2 ... Existhig Lift Statimi Suol°eol°eaory pIII II 11111pp mi ui uu a mi ii 0111IIIII � III tl �I II, . � 1111111 I plluu �� I III VIII 810 # 7 I e rrtar er Frbk 1 ` dt 3C M©use' 22 d6`6 U� TIDA Inst. Connection 305 gpm Wemco 4' dia. X 1973 @ 54'TDH Submersible 7.9 2 20' deep Up. for portable III 2012 generator 2,30"grrt /errtc 1,5 2 ; �III 9(,',27',S'TI1W Su r b e' 1 ',deeds 147 Inst. III 125 gpm Wemco 4' dia. X 1978 @ 30'TDH Submersible 14' deep Up. one VIII 2009 175 �III >,,,,,,,, @ `T154 56rrt6j bf e 2 16'deeds 2{J01 f o ab e ollectii1ts1111s S7e2 i111ss od fii111t In order to evaluate the performance of the existing and future collection systems, a computerized hydraulic model was developed using SewerGEMS Sewer Analysis Software. This powerful program is widely used in the wastewater industry. The modeling process involved the following. City of Arroyo Grande Wastewater System Master Plan Page 18 .2.1 SYst tit Kap IJpdate To update the system mapping, the existing GIS shapefiles were modified based on information obtained from as-built drawings for development and CIP projects, the City's Wastewater System Atlas and information provided by City Staff. For system components not currently contained within the GIS system mapping, individual shapefiles were developed for the following features: • Outfalls • Force Mains • Wet Wells • Sewer Nodes • Lift Stations .2.2 rilevatioti Data Ilet-ificatioti As elevation data is a critical component of a sewer system modeling. Accurate manhole invert elevation (elevation at the lowest portion of the sewer mains in the manhole) allows the existing slope of the sewer main to be calculated and is critical for determining the capacity of sewer mains. Rim elevations are also important for determining sewer depths and potential for overflows. To develop the updated sewer model, the following sources of elevation data: • sewer model developed for a 2001 Wastewater Master Plan • record drawings for recent system improvements • SSLOCSD trunk lines GIS shapefiles From these three sources, invert elevation data for 910 of the 1,701 manholes were able to be obtained within the City's collection system. To establish rim elevation data for the manhole features in the collection system, elevation data was obtained from the United States Geological Survey National Elevation Dataset (USGS NED). The USGS NED provides public domain raster elevation data for the conterminous United States, Alaska, Hawaii and territorial islands. The NED provides elevation data in the following resolutions: • 1 arc-second (approx. 30 meter grids) • 1/3 arc-second (approx. 10 meter grids) • 1/9 arc-second (approx. 3 meter grids) The best available resolution for the Arroyo Grande City Limits was 1/3 arc-second. Utilizing ArcMap, the NED raster dataset was overlaid and extracted land surface elevation data for each of the manholes in the collection system. For the City's sewer model it was assumed that the rim elevation was equal to the land surface elevation from the USGS NED. City of Arroyo Grande Wastewater System Master Plan Page 19 This page intentionally left blank. City of Arroyo Grande Wastewater System Master Plan Page 20 ct a ca 4-j N cn cn 0 cn ct z z 0 H a H H w o z a o � J r � a n r ti \I .. a z uuuu o a H z H z a 0 H a H H a ca '4'4 '4'4 ca .......... o a Y Y o o mom° � o OFO�F w ca wLL❑ a M E E E 3 e ow o zwz >W > O oyo¢ O F m �/1 o°ww Y �w O o O o¢O Z O W N w zo RLL CID O M ca O a J U v � w O zz o� H� _ O s ry r a ai . F ti ^r , r � VC h L z� f d w U e�� r tZ ShL9 W III obfi'CZ 111[ � o 0 0 0 =00 m 0 0 � P P P wWa0 a w�w,w o 3 �0 V] O .00 K O 9 F O II �Oaw w O N rrrTl �3 Y 00 g Z O w J J Z N w z < 'o o 0 zz L o ca v w d zz c+� z w d0 U �x �oo�o A"W w, ffiY d aT O � 4 �6 J d e 9e e t o Do �ae w 00 ti s s soul r�,.,,,,� tiza� �G m � o �4 'r�dJgsb. ... �w 4.2.3 Semiet-Flow Rates Estimates of flow were developed for the City's collection system using data from a recently completed infiltration and inflow (1/1) study prepared by the South San Luis Obispo County Sanitation District (SSLOCSD) and effluent flow data from the SSLOCSD WWTP. Effluent flow data from September 2010 through August 2011 was averaged to develop an average annual flow (AAF) for the SSLOCSD WWTP of 2.85 million gallons per day (MGD). The portion of that flow that the attributed to City's system (42%), was then applied to the SSLOCSDWWTP's AAF to obtain the AAF for the City's collection system (1.20 MGD). To develop the land use sewer duty factors for the City's collection system, the spatially allocated water demands were utilized, projected build-out water demands and sewer duty factors. WSC initiated the development of the land use sewer duty factors by intersecting the spatially allocated 2010 customer water use records with the land use polygon shapefile to obtain land use water demand factors (gpd/acre). City staff identified parcels within the City Limits that are not served by the City's collection system. For the purposes of developing the sewer duty factors and land use sewer duty factors, the parcels within the City limits not served by the sewer system and the parcels outside the City Limits were excluded. Sewer duty factors, which represent the percentage of potable water that is discharged to the collection system, were originally developed based on values obtained from reference textbooks and other local sewer master plans. These percentages were then manipulated until the projected flow to the collection system matched the measured AAF flow from the SSLOCSD 1/1 study. The sewer duty factors, by land use, used to correlate the current potable water demands and wastewater flow rates and to project build-out wastewater flow rates. 4.2.5 AfodelSlceletotiizatioti During the development of the sewer model, it was determined that a significant number of the manholes in the City's collection system did not have invert elevation data available. In order to simplify the collection system model and reduce the number of manholes that could potentially require field surveying, noncritical sewer mains and manholes were removed from the sewer model or "skeletonized" the model. Skeletonization of the sewer model was achieved by fully loading the model with build-out AAF flows using the spatial allocation methodology described above. Flow rates through the model were then evaluated and any pipes or manholes with a flow of less than 19,000 gpd were removed from the model.This flow equates to peak hour flow of 6,690 gpd and a peak hour flow depth pipe diameter ratio (d/D) of less than 0.5 at an assumed minimum slope of 0.001 in a 6in pipe and a d/D of 0.5 at a slope of 0.0002 in an Bin City of Arroyo Grande Wastewater System Master Plan Page 31 pipe, assuming a roughness coefficient of 0.014. Pipelines removed from the model using this methodology will have capacity to meet build-out flows as long as the installed slope is greater than the assumed minimum slope. For comparison the minimum slope assumed for an Bin pipe was 0.1%, the minimum recommend slope for installation of an Bin pipe is 0.35%, thus this is a conservative removal or skeletonization methodology. Once skeletonized the model did not require any field surveying to determine invert elevations. Any missing invert elevations in the skeletonized model were interpolated from the upstream and downstream manholes. Once the model was skeletonized, demands to the remaining nodes were redistributed within each sewershed. After the skeletonized model was re-loaded, the flow rates were compared along the remaining trunk lines to determine if the skeletonization altered the distribution of the wastewater flows. Adjustments were made to loading at several locations so that the distribution of wastewater flows in the skeletonized model would closely mimic the un- skeletonized model. The following design criteria are recommended for the analysis of gravity sewers: Flow Condition Allowable Flow Depth(d/D) Avg. Dry Weather Flow 0.5 Peak Dry Weather Flow 0.75 Peak Wet Weather Flow 0.9 • The flow depth was calculated based on the computer generated backwater curve. • A minimum pipeline velocity of 2.0 feet per second should be maintained. It should be noted that the computer model analyzes the gravity sewer system as an integrated unit through a backwater analysis. Another generally accepted method for determining sewer capacity and flow depth is the Manning's Equation, which was also checked to confirm sewer capacity.The ratio of flow depth to pipe diameter (d/D) predicted by the Manning's Equation is displayed for existing and future conditions. Sewers with a d/D of greater than 0.5 were selected for additional analysis and review. d. Lift Sf fiiit uu- Evalu fiiit lair An evaluation of the City's lift stations to determine if the current capacity of each lift station is adequate for estimated build-out flows. The analysis was performed for Lift Station Nos. 1, 4, 5, and 7. In 2011 Lift Station No. 3 underwent a major upgrade to meet build-out flows and thus was excluded from this analysis. The capacity evaluation showed that Lift Station Nos. 1, 4, 5, and 7 all have adequate capacity to meet build-out peak hour wet weather flows (PHWWF). City of Arroyo Grande Wastewater System Master Plan Page 32 This memorandum provides a brief summary of the lift station capacity evaluation method and results. The capacity evaluation required two primary steps: (1) determining the current lift station capacity, and (2) estimating build-out lift station capacity requirements. System curves were developed for each lift station based on record drawings. Key inputs to creating the system curves included the following: • Lift station high water level (HWL) • Lift station low water level (LWL) • Force main discharge invert elevation • Force main length and diameter • Size, number and type of fittings on pump manifold (impeller to pump manifold) • Size, number and type of fittings on force main (pump manifold to gravity invert) Using this data, the system curve was calculated for both the best case and the worst case. The best case is defined as the case with the lowest static head (water level at HWL) and the lowest friction losses (highest roughness factor, i.e. smooth pipe). The worst case is defined as the case with the highest static head (water level at LWL) and the highest friction losses (lowest roughness factor, i.e. rough pipe). Pump curves were obtained for each lift station and plotted these with the calculated system curves to determine the operating point for each lift station. Because both a best and worst case system curve were calculated, this analysis yielded a capacity range (gpm) for each lift station. The pump and system curves for Lift Station 1, 4, 5, and 7 are included below. Note that while Attachment 1 presents curves for both simplex operation (one pump operating) and duplex operation (two pumps operating), only simplex operation is used for the capacity analysis because the City only operates one pump at a time, with the second pump serving as backup. 4.3.2 Ctipacity Requit-ed'at Build'-out The lift station must have sufficient capacity to meet the build-out PHWWF. The build-out PHWWF was calculated by applying a peaking factor to the average annual daily flow (AAF) estimated for each sewershed at build-out. An analysis was performed for two different peaking factors: (1) a peaking factor of 2.84, which is the estimated to be the city-wide peaking factor (calculated using the Babbitt equation), and (2) a peaking factor of 3.5, which is more conservative as the individual lift stations may experience a peaking factor greater than the City of Arroyo Grande Wastewater System Master Plan Page 33 city-wide average peaking factor (because the lift stations serve a smaller subset of the overall city population). This yielded the capacity requirements of each lift station at build-out. 4.3.3 Results The build-out capacity requirements and the calculated current capacity for each lift station are shown in the table below. In addition, the table also presents the rated capacity and actual measured flow data for comparison. The rated, calculated and measured capacity of each lift station exceeds the build-out PHWWF for a 3.5 peaking factor. Based on this analysis, the current capacity of each lift station is adequate to meet build-out flows. City of Arroyo Grande Wastewater System Master Plan Page 34 1`4We 4 3- Lift Statim i Capacity Eva�Watim i ResWts 205,200 400 500 60 800 770'850 800, 707 Yes 5,900 10 10 1.5 100 125'160 101, 104 Yes 23,000 50 60 10 130 160'190 126, 144 Yes Notes: 1. Obtained from pump curves. 2. Calculated based on record drawings and pump curves. Capacity range shown reflects worst to best case flow, based on estimated worst to best case TDH. 3. Obtained from pump and flow study performed by Fluid Resource Management dated August ZZ, ZU11. Capacities listed in the following order: Pump 1, Pump Z. F|ovxratevxas measured by performing "draw down" test for each pump. Draw down tests are performed by timing how long it takes the pump to move a known volume ofwater. 4. Lift Station 3 was being upgraded at the time of this study and thus was excluded from the system curve analysis. S. Minimum HP from Lift Station 3specifications. Draw down and amperage testing were performed on Lift Station 1, 4, 5, and 7, in August 2011. The flowrate measured during the draw down test for each lift station is the measured capacity shown in the table. The amperage testing did not yield conclusive results because data for only this single data point in time is known. This does not allow for performance comparisons of the same winding overtime to determine how performance ischanging. Draw down and amperage testing is recommended to be performed in the future in order to provide the City three (3) data points for each pump/motor. With three (3) data points, the City can evaluate trends over time and determine if equipment replacement isnecessary. The calculated system curve displaying the operating regions for the lift stations follows. City of Arroyo Grande Wastewater System Master Plan Page 35 This page intentionally left blank City of Arroyo Grande Wastewater System Master Plan Page 36 N m v a CL 0 0 N - o cu - o - CCU) o E ¢ `+ O 4� - 4f - o CU - — O cC Q U O -- R -- Q - Q N C Lr1 Q O O C O 7 Q N rrll CL CC 7 C 00 on + + + + + _ -a + - + + a �.. 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The SSLOCSD is governed by a three member board of directors comprised of a representative from each of its member agencies. Member agencies include the City of Arroyo Grande, the City of Grover Beach, and the Oceano Community Services District. Wastewater collection (trunk sewers only), treatment, and disposal services are provided to each agency as described below: 1 Wastewateir ollectiiit iuit Puirwiitk Seweirs SSLOCSD owns and maintains a system of trunks within its member agencies, including the City of Arroyo Grande. The figure below shows the SSLOCSD trunks, which vary between18" and 27" in diameter. The majority of the system was constructed in 1966. The trunk capacity available for each member agency is not established by contract and no capacity allotment exists for each agency. However, the SSLOCSD collects impact fees from new development projects within each member agency, and the funds are used for expansion related improvements. As a result, those agencies which sustain the most new development contribute a greater share to SSLOCSD system expansion. Since the hydraulic characteristics of trunk sewers impact the City collection system, the SSLOCSD trunks were included in the computer model. However, the City is only responsible for constructing improvements to the City-owned portion of the system.The existing 30" and36" diameter SSLOCSD trunk mains downstream of the City are adequate to accommodate future City flows and currently anticipated SSLOCSD flows (7.5 mgd treatment plant capacity). Wastewateir Ilw ireatiuit iuitl uu Disposal SSLOCSD owns and operates a wastewater treatment and ocean disposal facility with an average annual flow capacity of 5.0 million gallons per day. The system consists of a secondary treatment facility including the following process elements: • Headworks-flow meter and raw wastewater pump station • Primary clarification • Secondary treatment in a biological trickling filter • Secondary clarification • Disinfection and dechlorination • Gravity ocean outfall (shared with the City of Pismo Beach) City of Arroyo Grande Wastewater System Master Plan Page 45 The treatment system is operating at approximately 58%of capacity (2.88 mgd). As with trunk capacity, wastewater treatment and disposal capacity is not established by contract and is therefore not apportioned among the member agencies. An update recycled water feasibility study was completed by the SSLOCSD in February 2010. The study addressed the feasibility of delivering secondary or tertiary recycled water to member agencies or other users, including the City of Arroyo Grande. One constraint to the efficient production of recycled water identified in the study was the elevated salt levels present in SSLOCSD treated effluent, which could require reverse osmosis treatment prior to reuse. Given that treated effluent is currently discharged to a highly concentrated salt environment (the ocean), the existing SSLOCSD discharge permit does not place a limitation on salts or require the implementation of salt management practices. The City is currently considering a recycled water program and plans to pursue recycled water in the future. The following recycled water studies have been completed with the goal of identifying potential recycled water projects, which would benefit the City: - Water Recycling Progress Report, Prepared for South San Luis Obispo County Sanitation District, Prepared by John L. Wallace&Associates, February 2001 - Recycled Water Distribution System Conceptual Plan-South San Luis Obispo County Sanitation District WWTP Technical Memorandum, Prepared by the Wallace Group,June 2010 - Recycled Water Distribution System Conceptual Plan- City of Pismo Beach WWTP Technical Memorandum, Prepared by the Wallace Group,June 2010 - Water Recycling Update report, Prepared for South San Luis Obispo Sanitation District, Prepared by the Wallace Group,January 2009 City of Arroyo Grande Wastewater System Master Plan Page 46 Sectio Collection y e p Ma.intena.nce and Inspection Initiated in 1990, the City's cleaning program has helped reduce line blockages, odor complaints, and lift station failures. Maintenance is approached in two ways: preventive and corrective. Corrective maintenance is considered to be a physical collapse of an existing sewer; stoppage due to roots, FOG, or other foreign materials; inflow or infiltration; or pump failure. These conditions require immediate action to correct the problem and are further discussed in Element 6 of the City of Arroyo Grande Sewer System Management Plan Preventive maintenance involves inspection of the sewer system and analysis of existing data to identify trouble areas. Inspection and analysis can provide guidance in determining the type, degree, and frequency of preventive maintenance required. The objectives of both are to improve service, reduce emergency occurrences, and to minimize the cost of the preventive maintenance program. In general, the greater the amount of preventive maintenance performed, the less the amount of corrective maintenance that will be required. :f Il ii p e iii ii-i ii ii-il iria iii-i The City of Arroyo Grande has developed a year-round pipeline maintenance program with an emphasis on preventive maintenance, especially in historical trouble areas which are checked at more frequent intervals. The system is videoed in suspected trouble areas and the entire system is cleaned and flushed annually. Based on cleaning, flow analysis and video, the city determines which area of the pipeline system would benefit the most by rehabilitation or replacement. Quarterly cleanings are performed at historical problem areas based on field crew experience.The city also participates in an active FOG Program. IIIIihol Mai,IIII-teIIri IIII-i ", The City of Arroyo Grande uses visual manhole inspections, as part of day to day maintenance. Visual inspections are an inexpensive and quick method of detecting inflow/infiltration sources, the general structural condition of the manhole, and the accuracy of previous system drawings. Visual and video manhole inspections are used to determine the following: • Exact location of the manhole; • Condition of cover and frame (defects that may allow inflow); • Is the cover subject to ponding or surface run off; • Potential area that drains to any defects; City of Arroyo Grande Wastewater System Master Plan Page 47 • Condition of benching, risers, grade rings and collar; and • Condition of sewer pipes. Manhole repairs are required to correct structural deficiencies, effects of corrosion on the internal surface, and to eliminate the inflow of surface or groundwater. The City of Arroyo Grande continues to install manhole inflow covers to minimize potential infiltration. In the absence of adequate oxygen, bacteria living in municipal wastewater begin to convert sulfate, a common sewer constituent, into a dissolved compound know as hydrogen sulfide (H,S). This compound subsequently escapes the wastewater, particularly in areas of high turbulence, and enters the air environment as a gas. Once the gas is present in a gravity collection system, it can escape through man-hole covers, roof vents, and lift stations, causing an offensive rotten-egg odor in areas of release. At higher concentrations, the gas can cause eye irritation, respiratory problems, and even death. In addition to its odorous properties, the gas can form sulfuric acid in the presence of air. This acid will corrode concrete and other materials often found in wastewater collection systems. Typically, oxygen levels in gravity wastewater systems remain adequately high to prevent the formation of excessive hydrogen sulfide. However, the gas forms readily in the following common components of a collection system: • Lift station wet wells where wastewater can be stored for more than 30 minutes during low flows. • Long wastewater force mains where the absence of an air-water interface contributes to anaerobic conditions. • Areas within a gravity collection system where solids have deposited due to inadequate velocities or lack of cleaning. The primary area of concern in the City is the force main discharge. Hydrogen sulfide-related corrosion is evident in downstream manholes. As gravity sewers are replaced downstream of lift Stations, it is recommended that all new manholes receive a corrosion-resistant coating. Lift SL fiiit uu-i Mai rout iuit uutt The City of Arroyo Grande maintains five (5) lift stations. Duplication of equipment and functions provides the flexibility necessary for continued operation during individual shutdowns due to scheduled maintenance or emergencies. Weekly inspections are performed on the lift stations that include the seal filters, electrical equipment, instrumentation, wet well, screening devices, venting and housekeeping. Weekly lift station and wet well inspections are performed by field crews and the wet wells are cleaned quarterly. City of Arroyo Grande Wastewater System Master Plan Page 48 Sectio Recommendations Capital Improvements The results of this study are presented in this chapter as the recommended Master Plan and Capital Improvements Project program for water system facilities in the City of Arroyo Grande. The Master Plan consists of staged improvements to correct existing deficiencies and provide for future system expansion. Cost estimates were prepared and used to develop a capital cost program. The proposed improvements are needed to connect existing wastewater system deficiencies and provide for the ultimate build out of the system within the existing City boundaries. The wastewater system was evaluated using the SewerGEMS water system modeling program which identified flow rates throughout the system for the specified conditions. These flow conditions are those expected to be experienced by the wastewater collection system. The collection system and sewer lift stations were evaluated for their ability to meet the build-out demands of the system under maximum use conditions. In addition to meeting flow requirements, the recommended collection improvements have been selected to provide system reliability. This chapter outlines the methodologies used to identify the projects recommended in this CIP and to develop project cost opinions. 7 :f Data t ll tliiit uu-i aiad Field Lavesti Liiioia Data collection included City reports, customer water usage and water production data, existing sewer models, and a GIS land use database. In addition, City staff interviewed to gain insight on current operation of the sewer systems and areas known to need improvement. Site visit were performed at all lift stations to review facility condition. Drawdown testing was performed at all lift stations (excluding Lift Station 3, which is currently being replaced).The drawdown testing included measurements of flow rate and motor amperage, for 3 cases: pump 1 running, pump 2 running, and both pumps running. This provided instantaneous capacity data for each lift station. Neither long term flow data nor run time information was available. 7 2 Mappiiiag, Popul liiioiia, Laii-id U se aiad Deii-naii-id Piuroje liiioiiit The sewer system maps were updated to reflect the current systems. An iterative process was used to create maps that are as accurate as possible based on the available information. The population served by the City's wastewater collection system was estimated using the 2010 Census data for the City of Arroyo Grande. Current and buildout acreage by land use category were estimated using City land use data and a 200913reliminary Housing Opportunity Sites City of Arroyo Grande Wastewater System Master Plan Page 49 Inventory (Inventory) provided by the City. The land use data provided the number of acres of each land use category at buildout. The Inventory provided a list of parcels with development potential including the parcel acreage, existing number of dwelling units, and estimates of the number of potential dwelling units that could fit within each parcel. WSC used the data provided in the Inventory to estimate the undeveloped acreage by land use. WSC estimated current developed acreage for each land use category by subtracting the estimated undeveloped acreage identified in the Inventory from the buildout acreage for each land use category. Metered flow data for two City sewer outfalls to the South San Luis Obispo County Sanitation District (SSLOCSD) trunk line was obtained. Using this data, along with SSLOCSD's Inflow and Infiltration Study (August 3, 2011) and water demand factors, WSC calculated buildout wastewater flow factors (gpd/acre) for each land use category. 7 sate Liam t ll tliiit iuit Systeii-n Capacity Evalu L oiiit A SewerGEMS® model was created of the City's wastewater collection system, including gravity sewer mains, force mains, and lift stations. The available sewer pipe invert and slope information is generally limited to large diameter mains modeled in the previous master plan, therefore much of the collection system does not have the required data readily available to analyze the pipeline capacity. In order to simplify the collection system and reduce the number of manholes that require a field survey, noncritical sewer mains were removed from the model. The simplification of a hydraulic model by removing pipelines that do not need analysis is known as skeletonizing. The Arroyo Grande sewer collection system was skeletonized by evaluating projected buildout pipeline flows and eliminating pipes from the model that had future average annual daily flows less than 19,000 gpd. The skeletonized model did not require field surveying to determine invert elevations and pipe slope, the previous model had slope information for the remaining pipelines. Loading was applied using sewer sheds. 7 d. SCADA. Systeiiiiii Evalu l oiiit An evaluation of the City's SCADA system was performed by conducting field visits to various SCADA sites to understand the City's current SCADA system and identify deficiencies. Based on data collected during the field visits and provided by the City, SCADA software and radio improvements were identified. The cost opinions (estimates) included in this CIP are based upon the Class 4 Conceptual Report Classification of Opinion of Probable Construction Cost as developed by the Association for the Advancement of Cost Engineering (AACE) Cost Estimate Classification System. The purpose of a Class 4 Estimate is to provide a conceptual level effort that has an expected accuracy range City of Arroyo Grande Wastewater System Master Plan Page 50 from -30%to +50% and the inclusion of an appropriate contingency for planning and feasibility studies. The conceptual nature of the design concepts and associated costs presented in this CIP are based upon limited design information available at this stage of the projects. These cost estimates have been developed using a combination of data from RS Means CostWorkso, recent bids, experience with similar projects, current and foreseeable regulatory requirements, specific City requirements, and an understanding of the necessary project components. As the projects progress, the design and associated costs could vary significantly from the project components identified in this CIP. The recommended projects and these cost opinions are based on the following assumptions: 1. For projects where applicable cost data is available in RS Means CostWorkso (e.g. pipeline replacement), cost data released in Quarter 4 of 2011, adjusted for San Luis Obispo, California, is used. Material prices were adjusted in some cases to provide estimates that align closer with actual local bid results. 2. For projects where RS Means CostWorks® data is not available, cost opinions are generally derived from bid prices from similar projects, vendor quotes, material prices, and labor estimates, with adjustments for inflation, size, complexity, and location. 3. Cost opinions are in 2011 dollars. When budgeting for future years, appropriate escalation factors should be applied (ENR Construction Cost Index of: 9171.73 for December 2011). 4. Cost opinions are "planning-level" and may not fully account for site-specific conditions that will affect the actual costs, such as soils conditions, and utility conflicts. 5. Per the City's standards, design services, which includes an allowance for alternatives analysis, design phase engineering, surveying, and permitting, are included at a rate of 15 percent of the estimated construction cost. 6. Per the City's standards, contract administration services during construction are included at a rate of 10 percent of the estimated construction cost. 7. Per the City's standards, a construction contingency of 10 percent of the estimated construction cost has been included. The opinions of probable cost prepared by WSC represent our judgment and are supplied for the general guidance of the City. Since WSC has no control over the cost of labor and material, or over competitive bidding or market conditions, WSC does not guarantee the accuracy of such opinions as compared to contractor bids or actual costs. City of Arroyo Grande Wastewater System Master Plan Page 51 The sewer system project recommendations address improvements to the sewer collection system. The projects have been divided into three groups, Priority A, B, and C, where Priority A projects have the highest priority. In general, Priority A projects are needed to ensure safe system operation, reduce I/I and prevent spill. Priority B projects address longer-term needs, often related to future growth or improvements that enhance system reliability or other low- level risks. Priority C projects include recommended long term annual or recurring projects. The table below provides a summary of the sewer system CIP projects. Detailed project descriptions, which include scope, purpose, alternatives, and estimated project duration and cost are provide below. City of Arroyo Grande Wastewater System Master Plan Page 52 i u " ...1... Sewer S y steoi°gym III: oroject Sm°m�°naory Opinion of Total Project Project Name Size Project Cost A-1 Trenchless Sewer Rehabilitation with Point Repairs 3,190-1-F $364,700 A-2 Trenchless Sewer Rehabilitation 7,120-1-F $719,900 A-3 Lift Station 4 Rehabilitation (performed by City staff) N/A $47,500 Priority A Subtotal $1,132,100 B-1 Lift Station 1 Forcemain Replacement 3,070-1-F $635,300 B-2 Huasna Road Sewer Upgrade 1,850-1-F $585,000 B-3 Backyard Sewer Replacement 2,820-1-F $945,500 B-4 El Camino Real Sewer Main Upgrade 2,890-1-F $911,800 Priority B Subtotal $3,077,600 C-1 Manhole Rehabilitation 500 $3,670,800 manholes C-2 1/1 Study N/A $22,000 Priority C Subtotal $3,692,800 Total $7,902,500 City of Arroyo Grande Wastewater System Master Plan Page 53 This page intentionally left blank City of Arroyo Grande Wastewater System Master Plan Page 54 ca til- ME Systeii-n P Iola This section contains detailed project descriptions for the recommended sewer system projects. The project descriptions include project scope, purpose, alternatives, and estimated project duration and cost. City of Arroyo Grande Wastewater System Master Plan Page 59 This page intentionally left blank City of Arroyo Grande Wastewater System Master Plan Page 60 Project A-1 - Trenchless Sewer Rehabilitation with Point Repairs Design and Permitting: 7 months Construction: 4 months Opinion of Total Project Cost: $ 364,700 Need for Project: Video inspection reports and information obtained from City Staff have identified that the following sections of sewer main require rehabilitation with point repairs: (1) Crown Terrace from Le Point St to Crown Hill St, (2) The Pike from Garfield to Gaynfair Terrace, and (3) 12-in sewer main parallel to the creek from Huasna Rd to north of Mason St. Supporting Information: Video inspection reports show that the sections of sewer main listed in the table and figures below have identified structural deficiencies. °i alllWe " ...2 ... Sewer i'naiii sections orequioriiig toreor°mclll"mllless orelll°malb lllitatioii acid poh''Its repairs Sewer Main Segment Length (ft) Diameter(in) Inspection Inspection Results Date (1) Crown Terrace 475 6 1981 8' dip identified (2)The Pike 779 6 1981 13', 23' & manhole dips identified (3) 12-in along creek 1,936 12 NA root intrusion, limited access Total 3,190 - - - Recommended Solution: City of Arroyo Grande Wastewater System Master Plan Page 61 It is recommended that the City employ point repairs to remedy the structural deficiencies identified in the sewer inspection reports and perform cured-in-place pipe rehabilitation along the entire length of the listed sections to reduce infiltration, root intrusion and maintenance requirements. City of Arroyo Grande Wastewater System Master Plan Page 62 227 r � " rt n ao u� 5' w�ma a s sarucae ' t.`Cy b A.�A+NMIU S7 11/, f� i Y �ro C-7 �. 6 Inch Sewer Main CIPP Rehabilitation siv Pik LIJ,INQ-Q0A1 uu�uu 6 Inch Sewer Main CIPP Rehabilitation IT ` Legend z Trenchless Rehabilitation Existing Pipe Manhole Qd CIPP-Cured In Place Pipe Trenchless Sewer Rehabilitation with Point Repairsd,�mum imuVmuumwrv „,. IFi Bore " ... ... Ill:)roject A 1 (1,3): °°1 Irei idl fless Sewer Relll°malb lllitatioii wif i Ill)oiiit Repairs City of Arroyo Grande Wastewater System Master Plan Page 63 C— F�6R Gr^rNg .w n����rr -StT,WRL-IGHMT-L A RO 0 GRFuMVE ii� 7ti �"' VtCT�rt�lA-WY i C L6 j MAGNOJ-1 L.4 Lk ' LPL THE PIKE m� 6 Inch Sewer Main CIPP Rehabilitation Legend emu! TrenchlessRehabilitation Existing Pipe Manhole CIPP-Cured In Place(Pipe OOXM Trenchless Sewer Rehabilitation WSC with Point Repairs �Le nia+,�uuvr„Irvc:. IFi Bore " ... ... Ill:)roject A 1(2): °°1 lreor°mclll"mess Sewer Relll°malb lllitatioii wif i Ill)oiiit Repairs City of Arroyo Grande Wastewater System Master Plan Page 64 Cost Estimate: Client: City of Arroyo Grande � Project: 2011 Wastewater Master Plan Updates ��A,T =r,I I I I,,„.I,I N G,� . Segment: A-1(1) Street: Trenchless Sewer Rehabilitation with Point Repairs-Crown Tr Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 1,000 2 Insurance and Bonds 1 LS - $ 1,000 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 5 Day $ 500 $ 2,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 40 SY $ 65 $ 2,600 7.2 Trenching/Compaction/Fill/Hauling 40 CY $ 50 $ 2,000 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 Gravity Sewer Point Repairs(Furnish and Install) 7.4.1 6”-PVC SDR35 60 LF $ 10 $ 600 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 475 LF $ 50 $ 23,800 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF $ - 7.6 Temporary Bypass Pumping 1 LS $ 400 $ 400 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 17 EA $ 200 $ 3,400 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 37,300 Construction Contingency(10%): $ 3,700 Design(15%): $ 5,600 Contract Administration(10%): $ 3,700 Total Project Cost: $ 50 300 City of Arroyo Grande Wastewater System Master Plan Page 65 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: A-1(2) Street: Trenchless Sewer Rehabilitation with Point Repairs-The Pike Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 1,500 2 Insurance and Bonds 1 LS - $ 1,500 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 8 Day $ 500 $ 4,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 53 SY $ 66 $ 3,500 7.2 Trenching/Compaction/Fill/Hauling 53 CY $ 51 $ 2,700 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 Gravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR35 80 LF $ 10 $ 800 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 779 LF $ 50 $ 39,000 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF $ - 7.6 Temporary Bypass Pumping 1 LS $ 800 $ 800 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 11 EA $ 200 $ 2,200 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 56,000 Construction Contingency(10%): $ 5,600 Design(15%): $ 8,400 Contract Administration(10%): $ 5,600 Total Project Cost: $ 75 600 City of Arroyo Grande Wastewater System Master Plan Page 66 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: A-1(3) Street: Trenchless Sewer Rehabilitation with Point Repairs-Parallel to Creek Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 4,700 2 Insurance and Bonds 1 LS - $ 4,700 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 20 Day $ 500 $ 10,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 267 SY $ 42 $ 11,100 7.2 Trenching/Compaction/Fill/Hauling 267 CY $ 39 $ 10,500 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 Gravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 200 LF $ 24 $ 4,800 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 0 LF $ - 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 1936 LF $ 65 $ 125,800 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF $ - 7.6 Temporary Bypass Pumping 1 LS $ 2,500 $ 2,500 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 14 EA $ 200 $ 2,800 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 176,900 Construction Contingency(10%): $ 17,700 Design(15%): $ 26,500 Contract Administration(10%): $ 17,700 Total Project Cost: $ 238 800 City of Arroyo Grande Wastewater System Master Plan Page 67 This page intentionally left blank City of Arroyo Grande Wastewater System Master Plan Page 68 Project A-2 - Trenchless Sewer Rehabilitation Design and Permitting: 8 months Construction: 5 months Opinion of Total Project Cost: $ 719,900 Need for Project: Video inspection reports have identified that the following sections of sewer main require rehabilitation: (1) Eman Ct to Newman Dr Easement, (2) Woodland Dr from Fair Oaks Ave to Olive St, (3) South Alpine from Eman Ct to Cerro Vista Ln, (4) From South Halcyon Rd to cleanout between Farroll Ave and Sandalwood Ave, (5) Alder St from Fair Oaks Ave to Farroll Ave, (6) Backyard sewer west of Wood PI, (7) Vernon St from Larchmont Dr to West Branch St, (8) Cameron Ct, (9) The Pike from South Elm St to Garfield PI, (10) Ash St from Alder St, (11) Le Point St from Crown Terrace to McKinley St, and (12)Tally Ho Creek Crossing. Supporting Information: Video inspection reports show that the sections of sewer main listed as segments (1) through (11) in the tables and figures below are impacted by root intrusion, minor cracks, offsets and minor structural defects. In addition, City staff reports that the steel sewer main crossing the Arroyo Grande Creek from Tally Ho Rd is in poor condition and has evidence of corrosion. City of Arroyo Grande Wastewater System Master Plan Page 69 i alllWe " ...g Sewer of°oaiii sections orequi riiig toreor°mclll°mllless orelll°malb lllitatioii .VV.!,�;.�JVL �ui� iii IIIIIIII IIII IVIII VIIII�VIII�Viill�ul uo m uu uuu a uuuul"o" a�.,' ouuuuuuuuuuuuuuuuuuuu IIII um uml�.^. miiil�'a"o" inns m I�I. muiuuin.iul�lluuinuu"'iimiMu um miii�n'I iouTmm°i um u � u 1903 ����� � IIIIII�IIIIIIIIIIII ICI. � uuul 636 14 2009 605-11111111111111 6 1,94 III 71,,,;Ip Vet i 526 6 1993 IIII � ������Ill�lmmllplllll�l°VIII„ulllllllllllllllllllllllllll IIIIIIIIIIII 734 �C3 194 �V I IM" 410 6 1984 g1 6 194 II u u uu u 1,185 14 1985 . ���� ��IIIIIUImmlllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllllll 7�0 6 1,9�� n. � RRRRRRR m IIII uuuuuuuuppuuuppppuuupppp 338 6 2009 m uuuu uuoouooi 3uu3o u3uuuuuuuuuu 954 plllllllllll Sul u,u; y�l IIIIIIIIII 270 15 a n/ u'u'uuu uuuulullullullulggquC�udliuuuuu ggqq ql�u llllllllllllllllllllllllllllllllllll uu” i `II`iIIIA'A'AI:- °°°°°VIII Viill VIII III 742 v ........ Recommended Solution: It is recommended that the City employ cured-in-place pipe rehabilitation along the entire length of the listed sections to reduce infiltration, root intrusion, and maintenance requirements, as well as reduce probability of failure. City of Arroyo Grande Wastewater System Master Plan Page 70 Z2r J X �FwR kM k =ARAO bu 0.4 JA 1, E °G V . 6 Inch Sewer Main CIPP Rehabilitation 8 Inch Sewer Main CIPP Rehabilitation LU QSON Wt. _Ii uo I 8 Inch Sewer Main CIPP Rehabilitation " ,a T' GER•RG-VISTA+N --- L 6 Inch Sewer Main CIPP Rehabilitation cEi R -V-LS,,r CREEKVIEw-C'T a Legend I , � Trenchless Rehabilitation cn ca Existing Pipe ui Manhole m T8135-Eiji CIPP-Cured In Place Pipe f� Trenchless Sewer Rehabilitation °," iw S C Figu r " ...4...... ....I r ii idl fless Sewer V III°tabUlt time City of Arroyo Grande Wastewater System Master Plan Page 71 r ,..g 217 yn n A,C0'N op 140 A'a a+W bN�1 r¢Y!lrX ri J ;� �Ih R 6Y,rud k 0. C M I 10 Inch Sewer Main CIPP Rehabilitation V) w< w m T 12 Inch Sewer Main CIPP Rehabilitation abilitation ^ � trwcrr t-AV-0 6 Inch Sewer Main CIPP Rehabilitation *.-XR E IEko S,i D,,E_C7_ 14 Inch Sewer Main CIPP Rehabilitatio 0v o�Ww, --4h vi Legend e, ffl— Trenchless Rehabilitation Existing Pipe 7YWC7YwY.p Manhole CIPP-Cured In,Place Pipe Trenchless Sewer Rehabilitation '"� Figu r " ...5 ... °°i°°or li m dl fless Sewer V III°lab 111 i i or°m City of Arroyo Grande Wastewater System Master Plan Page 72 R +� g�nrrlj �nR A4"Gt,rOn Am+ry RDr�ii�,�, IfM F16R.G,E4 k GRANDE f�uuir u w EG 6 Inch Sewer Main CIPP Rehabilitation Legend nom — Trenchless Rehabilitation Existing Pipe Manhole CIPP-Cured In Place Pipe N n Trenchless Sewer n Rehabilitation �w��w""""°,1111"Ww ���� Figu r " ...6 ...... ....I r lim dl fless Sewer V dl iabflitatioli i City of Arroyo Grande Wastewater System Master Plan Page 73 33 227 iM.fM Gr rxb .w 666 8�i� ARRO lk C,RANCNE °��y ,• PAC'IPIC"PO'INTE"rAr/"Y X72 ...,,...._..LAN.CA ST„PR-DR 1 Uc L1 n Q THE PIKE 6 Inch Sewer Main CIPP Rehabilitation Legend u� wo Trenchless Rehabilitation RUSS CT Existing Pipe Manhole CIPP-Cured In Place(Pipe Trenchless Sewer .. Rehabilitation C i,t�n�u'Sv.cutnn�Le a �uuur,,Irvc:. Figu r " ...° ... °°i°°or im dl fless Sewer V III°lab llli iou'l City of Arroyo Grande Wastewater System Master Plan Page 74 .4RIg � Yln I19 . �.1Mf Btl M„„r oral Ir,� Y/e 1�id d ;, `.ARRO M (RANI LAG 1 a�rbo A Y 6I rluVlu v>jyj IA 9U6;'� Jrro 1✓ EA+NR O,A IF Ilk", 4°- d C ,A P 6 Inch Sewer Main CIPP Rehabilitation Ppl � Legend 2 � ON— l`renchless Rehabilitation — Existing Pipe Manhole CIPP-Cured In Place Pipe Trenchless Sewer Rehabilitation ' Figu r " ...8 ... °°l°°or iidl fless Sewer V III°m 11 l 111 l l or°m City of Arroyo Grande Wastewater System Master Plan Page 75 '.. �k .W If9 Attpr t a� �u . Aa" rtpr win wf4 iom �„��alad& r B in GRANDE rar Pk 9'�i3'� �i Cfe agm S� �wp [s',N�. m dun � V" 1t L ,h e'er x 15 Inch Sewer Main CIPP Rehabilitation 4� TPA1�LjDINC C „4 Legend ' HHINam Trenchless Rehabilitation - Existing Pipe -F 0 its 6 0 0 Manhole o 0 Creeks OV CIPP-Cured In Place Pipe Trenchless Sewer M,1111�u Rehabilitation om w. Figu r " ...9 . ....I r tm dl fless Sewer V dl iabflitatiot I City of Arroyo Grande Wastewater System Master Plan Page 76 Cost Estimate Summary: Estimated costs for this project are as follows: Design (15%): $ 80,100 Contract Administration (10%): $ 53,300 Construction Contingency (10%): $ 53,300 Project Construction: $ 533,200 Opinion of Total Project Cost: $ 719,900 A detailed breakdown of the construction costs for this project is shown in below. City of Arroyo Grande Wastewater System Master Plan Page 77 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: A-2(1) Street: Trenchless Sewer Rehabilitation-Eman Ct Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 500 2 Insurance and Bonds 1 LS - $ 500 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 4 Day $ 500 $ 2,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 0 SY $ - 7.2 Trenching/Compaction/Fill/Hauling 0 CY $ - 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 Gravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 0 LF $ - 7.5.2 8"-Cured in Place Pipe 371 LF $ 45 $ 16,700 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF $ - 7.6 Temporary Bypass Pumping 1 LS $ 300 $ 300 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 5 EA $ 200 $ 1,000 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 21,000 Construction Contingency(10%): $ 2,100 Design(15%): $ 3,200 Contract Administration(10%): $ 2,100 Total Project Cost: $ 28 400 City of Arroyo Grande Wastewater System Master Plan Page 78 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: A-2(2) Street: Trenchless Sewer Rehabilitation-Woodland Dr Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 1,400 2 Insurance and Bonds 1 LS - $ 1,400 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 7 Day $ 500 $ 3,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 0 SY $ - 7.2 Trenching/Compaction/Fill/Hauling 0 CY $ - 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 Gravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 0 LF $ - 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 636 LF $ 65 $ 41,300 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF $ - 7.6 Temporary Bypass Pumping 1 LS $ 600 $ 600 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 16 EA $ 200 $ 3,200 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 51,400 Construction Contingency(10%): $ 5,100 Design(15%): $ 7,700 Contract Administration(10%): $ 5,100 Total Project Cost: $ 69 300 City of Arroyo Grande Wastewater System Master Plan Page 79 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: A-2(3) Street: Trenchless Sewer Rehabilitation-S Alpine St Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 900 2 Insurance and Bonds 1 LS - $ 900 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 7 Day $ 500 $ 3,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 0 SY $ - 7.2 Trenching/Compaction/Fill/Hauling 0 CY $ - 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 Gravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 0 LF $ - 7.5.2 8"-Cured in Place Pipe 605 LF $ 45 $ 27,200 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF $ - 7.6 Temporary Bypass Pumping 1 LS $ 600 $ 600 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 17 EA $ 200 $ 3,400 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 36,500 Construction Contingency(10%): $ 3,700 Design(15%): $ 5,500 Contract Administration(10%): $ 3,700 Total Project Cost: $ 49 400 City of Arroyo Grande Wastewater System Master Plan Page 80 Client: City of Arroyo Grande Project: 2011 Wastewater Master Plan Updates Segment: A-2(4) Street: Trenchless Sewer Rehabilitation-S Halcyon Rd Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 1,100 2 Insurance and Bonds 1 LS - $ 1,100 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 ISWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 6 Day $ 500 $ 3,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 40 SY $ 65 $ 2,600 7.2 Trenching/Compaction/Fill/Hauling 40 CY $ 50 $ 2,000 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 lGravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR351 60 LF $ 10 $ 600 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 526 LF $ 50 $ 26,300 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF 1 $ - 7.6 Temporary Bypass Pumping 1 LS $ 500 $ 500 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 17 EA $ 200 $ 3,400 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 40,600 Note 1:For 6-inch CIPP sewer projects,budget includes one(1) Construction Contingency(10%): $ 4,100 20-ft point repair per200-ft of pipe because any offsets must be Design(15%): $ 6,100 corrected so CIPP equipment can fit through 6-inch pipe. Contract Administration(10%): $ 4,100 Total Project Cost:1 $ 54,900 City of Arroyo Grande Wastewater System Master Plan Page 81 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: A-2(5) Street: Trenchless Sewer Rehabilitation-Alder St Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 1,300 2 Insurance and Bonds 1 LS - $ 1,300 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 8 Day $ 500 $ 4,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 0 SY $ - 7.2 Trenching/Compaction/Fill/Hauling 0 CY $ - 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 Gravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 0 LF $ - 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 714 LF $ 55 $ 39,300 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF $ - 7.6 Temporary Bypass Pumping 1 LS $ 700 $ 700 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 11 EA $ 200 $ 2,200 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 48,800 Construction Contingency(10%): $ 4,900 Design(15%): $ 7,300 Contract Administration(10%): $ 4,900 Total Project Cost: $ 65 900 City of Arroyo Grande Wastewater System Master Plan Page 82 Client: City of Arroyo Grande Project: 2011 Wastewater Master Plan Updates Segment: A-2(6) Street: Trenchless Sewer Rehabilitation-Wood PI Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 900 2 Insurance and Bonds 1 LS - $ 900 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 ISWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 5 Day $ 500 $ 2,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 40 SY $ 65 $ 2,600 7.2 Trenching/Compaction/Fill/Hauling 40 CY $ 50 $ 2,000 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 lGravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR351 60 LF $ 10 $ 600 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 410 LF $ 50 $ 20,500 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF 1 $ - 7.6 Temporary Bypass Pumping 1 LS $ 400 $ 400 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 23 EA $ 200 $ 4,600 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 35,000 Note 1:For 6-inch CIPP sewer projects,budget includes one(1) Construction Contingency(10%): $ 3,500 20-ft point repair per 200-ft of pipe because any offsets must be Design(15%): $ 5,300 corrected so CIPP equipment can fit through 6-inch pipe. Contract Administration(10%): $ 3,500 Total Project Cost:1 $ 47,300 City of Arroyo Grande Wastewater System Master Plan Page 83 Client: City of Arroyo Grande Project: 2011 Wastewater Master Plan Updates Segment: A-2(7) Street: Trenchless Sewer Rehabilitation-Vernon St Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 600 2 Insurance and Bonds 1 LS - $ 600 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 ISWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 4 Day $ 500 $ 2,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 27 SY $ 64 $ 1,700 7.2 Trenching/Compaction/Fill/Hauling 27 CY $ 49 $ 1,300 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 lGravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR351 40 LF $ 10 $ 400 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 331 LF $ 50 $ 16,600 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF 1 $ - 7.6 Temporary Bypass Pumping 1 LS $ 300 $ 300 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 4 EA $ 200 $ 800 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 24,300 Note 1:For 6-inch CIPP sewer projects,budget includes one(1) Construction Contingency(10%): $ 2,400 20-ft point repair per 200-ft of pipe because any offsets must be Design(15%): $ 3,600 corrected so CIPP equipment can fit through 6-inch pipe. Contract Administration(10%): $ 2,400 - - - - - Total Project Cost: $ 32,700 City of Arroyo Grande Wastewater System Master Plan Page 84 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: A-2(8) Street: Trenchless Sewer Rehabilitation-Cameron Ct Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 2,600 2 Insurance and Bonds 1 LS - $ 2,600 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 JSWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 12 Day $ 500 $ 6,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 0 SY $ - 7.2 Trenching/Compaction/Fill/Hauling 0 CY $ - 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 Gravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 0 LF $ - 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 1185 LF $ 70 $ 83,000 7.5.6 15"-Cured in Place Pipe 0 LF $ - 7.6 Temporary Bypass Pumping 1 LS $ 1,100 $ 1,100 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 18 EA $ 200 $ 3,600 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 98,900 Construction Contingency(10%): $ 9,900 Design(15%): $ 14,800 Contract Administration(10%): $ 9,900 Total Project Cost: $ 133 500 City of Arroyo Grande Wastewater System Master Plan Page 85 Client: City of Arroyo Grande Project: 2011 Wastewater Master Plan Updates Segment: A-2(9) Street: Trenchless Sewer Rehabilitation-The Pike Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 1,500 2 Insurance and Bonds 1 LS - $ 1,500 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 ISWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 8 Day $ 500 $ 4,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 53 SY $ 66 $ 3,500 7.2 Trenching/Compaction/Fill/Hauling 53 CY $ 51 $ 2,700 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 lGravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR351 80 LF $ 10 $ 800 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 780 LF $ 50 $ 39,000 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF 1 $ - 7.6 Temporary Bypass Pumping 1 LS $ 800 $ 800 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 10 EA $ 200 $ 2,000 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 55,800 Note 1:For 6-inch CIPP sewer projects,budget includes one(1) Construction Contingency(10%): $ 5,600 20-ft point repair per 200-ft of pipe because any offsets must be Design(15%): $ 8,400 corrected so CIPP equipment can fit through 6-inch pipe. Contract Administration(10%): $ 5,600 Total Project Cost:1 $ 75,400 City of Arroyo Grande Wastewater System Master Plan Page 86 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: A-2(10) Street: Trenchless Sewer Rehabilitation-Ash St Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 700 2 Insurance and Bonds 1 LS - $ 700 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 ISWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 4 Day $ 500 $ 2,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 27 SY $ 64 $ 1,700 7.2 Trenching/Compaction/Fill/Hauling 27 CY $ 49 $ 1,300 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 lGravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR351 40 LF $ 10 $ 400 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 338 LF $ 50 $ 16,900 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF 1 $ - 7.6 Temporary Bypass Pumping 1 LS $ 300 $ 300 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 6 EA $ 200 $ 1,200 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 25,200 Note 1:For 6-inch CIPP sewer projects,budget includes one(1) Construction Contingency(10%): $ 2,500 20-ft point repair per 200-ft of pipe because any offsets must be Design(15%): $ 3,800 corrected so CIPP equipment can fit through 6-inch pipe. Contract Administration(10%): $ 2,500 Total Project Cost:1 $ 34,000 City of Arroyo Grande Wastewater System Master Plan Page 87 Client: City of Arroyo Grande Project: 2011 Wastewater Master Plan Updates Segment: A-2(11) Street: Trenchless Sewer Rehabilitation-Le Point St Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 1,900 2 Insurance and Bonds 1 LS - $ 1,900 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 ISWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 10 Day $ 500 $ 5,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 67 SY $ 66 $ 4,400 7.2 Trenching/Compaction/Fill/Hauling 67 CY $ 50 $ 3,300 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 lGravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR351 100 LF $ 10 $ 1,000 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 954 LF $ 50 $ 47,700 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 0 LF 1 $ - 7.6 Temporary Bypass Pumping 1 LS $ 1,000 $ 1,000 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 31 EA $ 200 $ 6,200 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 72,400 Note 1:For 6-inch CIPP sewer projects,budget includes one(1) Construction Contingency(10%): $ 7,200 20-ft point repair per 200-ft of pipe because any offsets must be Design(15%): $ 10,900 corrected so CIPP equipment can fit through 6-inch pipe. Contract Administration(10%): $ 7,200 Total Project Cost:1 $ 97,700 City of Arroyo Grande Wastewater System Master Plan Page 88 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: A-2(12) Street: Trenchless Sewer Rehabilitation-Tally Ho Rd Creek Crossing Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 600 2 Insurance and Bonds 1 LS - $ 600 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 3 Day $ 500 $ 1,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 0 SY $ - 7.2 Trenching/Compaction/Fill/Hauling 0 CY $ - 7.3 Abandon Existing Gravity Sewer In Place 0 LF $ - 7.4 Gravity Sewer Point Repairs(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.5.1 6"-Cured in Place Pipe 0 LF $ - 7.5.2 8"-Cured in Place Pipe 0 LF $ - 7.5.3 10"-Cured in Place Pipe 0 LF $ - 7.5.4 12"-Cured in Place Pipe 0 LF $ - 7.5.5 14"-Cured in Place Pipe 0 LF $ - 7.5.6 15"-Cured in Place Pipe 270 LF $ 75 $ 20,300 7.6 Temporary Bypass Pumping 1 LS $ 300 $ 300 8 Service Laterals 8.1 Reinstate Sewer Service Laterals 0 EA $ - 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 0 EA $ - 9.2 Abandon Existing Manhole In Place 0 EA $ - Subtotal 1: $ 23,300 Construction Contingency(10%): $ 2,300 Design(15%): $ 3,500 Contract Administration(10%): $ 2,300 Total Project Cost: $ 31400 City of Arroyo Grande Wastewater System Master Plan Page 89 This page intentionally left blank City of Arroyo Grande Wastewater System Master Plan Page 90 Project A-3 - Lift Station 4 Rehabilitation (performed by City staff) Design and Permitting: 6 months Construction: 4 months Opinion of Total Project Cost: $47,500 Need for Project: The condition of Lift Station 4 has deteriorated to the point that it requires significant maintenance. Supporting Information: During the condition based assessment, Lift Station 4 was identified as requiring maintenance to prolong its operating life. Figure 7-10- Lift Station #4 wet well Through Figure 7-12 - Lift Station #4 piping show the current condition of the existing wet well, vault lids and lift station piping. Recommended Solution: It is recommended that the City install a new wet well coating to protect the integrity of the wet well, new lids on the valve vault and wet well to avoid a potential safety hazard, and new piping to prevent failure and improve reliability. The City plans to utilize City staff to perform this rehabilitation. City of Arroyo Grande Wastewater System Master Plan Page 91 r, �l /f r Figu r "7...10 ... Lift Statim 1 #4 wet we 111111 City of Arroyo Grande Wastewater System Master Plan Page 92 /��/� �//v ✓///W �r'N;h1/��l�i° li l�W/,a/ ✓r ;nv� ir/ r /1rr% i0 rWf 7rt'"'� 'iI 1� �f��i�li/j��U/'"�'i�� ��fN➢��///'Wi"�rr � y,lyoiy�/'/a r.FVr f// 1 r"'��/ �l�,�//ir l''y�Wr°'��/y�"f,rr/r/,,,- ip�1 �.� . xu �yJ N v< �r��`/ll ry r�K���r�9�'✓rrr J� r � /e rrr r j t s , rs I qll' II Figu r "7...11 ... Lift Statim 1 #4 vaWt I City of Arroyo Grande Wastewater System Master Plan Page 93 I r +pp9p 'u/�I pp II 9 i r Figu r "7...12 ... Lift Statim 1 #4 piphi City of Arroyo Grande Wastewater System Master Plan Page 94 Cost Estimate: Client: City of Arroyo Grande °�� � " Project: 2011 Wastewater Master Plan Updates ° Number: A-3 Description: Lift Station 4 Rehabilitation Prepared by: LSW Reviewed by: JHR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 1,000 2 Insurance and Bonds 1 LS - $ 1,000 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 1 LS - $ 200 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 0 Day $ - $ - 7 Lift Station Rehabilitation 7.1 Lids,Coating, Piping Upgrades 1 LS $ 33,000 $ 33,000 Subtotal 1: $ 35,200 Construction Contingency(10.1): $ 3,500 Design(15%): $ 5,300 Contract Administration(101/o): $ 3,500 Total Project Cost: $ 47 500 City of Arroyo Grande Wastewater System Master Plan Page 95 This page intentionally left blank City of Arroyo Grande Wastewater System Master Plan Page 96 Project 8-1 - Lift Station 1 Forcemain Replacement Design and Permitting: 12 months Construction: 8 months Opinion of Total Project Cost: $ 635,300 Need for Project: The Lift Station 1 forcemain is in poor condition. Supporting Information: The 8-inch cast iron forcemain carrying flow leaving Lift Station 1, was installed in about 1973, making the forcemain 41 years old. City staff report that there have been one major and one minor break in the forcemain in recent years, an indicator that the forcemain has exceeded its useful life. Recommended Solution: It is recommended that the City replace the existing 8-inch cast iron forcemain with an 8-inch PVC forcemain, as shown in the figure. The length of the forcemain is approximately 3,070-LF. City of Arroyo Grande Wastewater System Master Plan Page 97 "Olk nn 4wA&N rwR a r w +° 9 .. w r, f.iuuiva�gym%bg.» h6 � n� 4r C7 �✓ it k 0. u ww� 8 Inch PVC Forcemain Upgrade Legend Proposed Pipe Existing Pipe OBR4 T 0 �1'&� 0 Manhole � u�a Creeks .... US HIGHWAY Ni) uuuuuu�n�.... Lift Station 4 Rehabilitation (performed by City Staff) IFi or "7...13 ... Lift Statim 1 1 Forceunaiii i RepIl uneu'l City of Arroyo Grande Wastewater System Master Plan Page 98 Alternatives: An alternative to complete replacement is to line the existing pipe with a structural pipe liner. This would reduce the capacity of the main and increase energy costs relative to the construction of a new main. Construction would involve a lengthy bypass of the existing forcemain. Bypass is not only expensive, but carries risk of a sewage spill. WSC recommends the design engineer prepare a detailed analysis of lining versus a new forcemain because utility conflicts in W. Branch Street could mean temporary bypass pumping is required even to construct a new forcemain. This will not be known until detailed utility research is prepared for W. Branch Street during the design phase. City of Arroyo Grande Wastewater System Master Plan Page 99 Cost Estimate: Client: City of Arroyo Grande � Project: 2011 Wastewater Master Plan Updates ��A,T =r,I I I I,,„.I,I N G,� . Segment: B-1 Street: Lift Station 1 Forcemain Replacement Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 12,400 2 Insurance and Bonds 1 LS - $ 12,400 3 Construction Surveying 1 LS - $ 6,200 4 Site Clearing and Restoration 1 LS - $ 2,100 5 SWPPP Preparation&Implementation 1 LS - $ 8,100 6 Traffic Control 31 Day $ 500 $ 15,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 682 SY $ 214 $ 146,300 7.2 Trenching/Compaction/Fill/Hauling 682 CY $ 66 $ 45,100 7.3 Abandon Existing Gravity Sewer In Place 3070 LF $ 2 $ 6,100 7.4 Gravity Sewer(Furnish and Install) 7.4.1 6”-PVC Class 200 0 LF $ - 7.4.2 8"-PVC Class 200 3070 LF $ 20 $ 61,800 7.5 Fittings(Furnish and Install) 15 EA $ 347 $ 5,200 7.6 Temporary Bypass Pumping 1 LS $ 9,100 $ 9,100 7.7 Highway Crossing 7.7.1 24"Casing and Horizontal Boring 230 LF $ 500 $ 115,000 7.7.2 Heave and Settlement Monitoring 1 LS $ 20,000 $ 20,000 Subtotal 1: $ 470,500 Construction Contingency(10%): $ 47,100 Design(15%): $ 70,600 Contract Administration(10%): $ 47,100 Total Project Cost: $ 635,300 City of Arroyo Grande Wastewater System Master Plan Page 100 Project 8-2 - Huasna Road Sewer Upgrade Design and Permitting: 10 months Construction: 8 months Opinion of Total Project Cost: $ 585,000 Need for Project: Hydraulic analysis of the City's sewer collection system has determined that the sewer main along Huasna Road is undersized to meet projected buildout peak hour flows. Supporting Information: The hydraulic model indicates that the buildout peak flow along this section of sewer mains will reach 570,000 gpd. This leads to a d/D ratio ranging from 0.56 to 0.89 which exceeds the design criteria for an 8-in sewer main of 0.6 d/D. The 0.56 d/D occurs in a section of 8-in sewer in the middle of the alignment with a slightly steeper slope than the surrounding pipelines; however, it is not prudent to design a large diameter pipe feeding into a smaller pipe then expanding to a larger pipe on the other side. So although technically a small section of the alignment meets the design criteria of 0.6 d/D maximum, upgrading the adjacent pipes means all should be upgraded at the same time. This section of sewer also has a section with two parallel mains, WSC recommend consolidating the two mains into one 12-in main with this project. Recommended Solution: It is recommended that the City upgrade the existing 1,850-1-F section of 8-in clay sewer main to a 12-in PVC sewer main. Upgrading this section of sewer main will reduce the flow depth in the pipeline to a d/D ranging from 0.31 to 0.41 under buildout peak flow conditions. City of Arroyo Grande Wastewater System Master Plan Page 101 777 7 mn �v»uni ��trier pLj, ' �w, Ar ' { ��arerp b e�nzr. a i hr a •d� a ve ..... 0 T 12 Inch PVC Upgrade Legend! e'aainMNOa Existing Pipe to be Abandoned Manhole C,eel" Force Main MEMEEM Proposed Pipe 010 .. Existing Pipe US HIGHWAY N Huasna Road Sewer �� """""� Upgrade ' ,�u Figur "7 14 Was�i ta Road Sewer Upgrade City of Arroyo Grande Wastewater System Master Plan Page 102 Alternatives: A do-nothing alternative is not recommended as it could results in sanitary sewer overflows. Cost Estimate: Client: City of Arroyo Grande 0 ,1100 WSC, Project: 2011 Wastewater Master Plan Updates m, — , , Segment: B-2 Street: Huasna Road Sewer Upgrade Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 Ls - $ 11,600 2 Insurance and Bonds 1 Ls - $ 11,600 3 Construction Surveying 1 LS - $ 5,800 4 Site Clearing and Restoration 1 Ls - $ 1,900 5 JSWPPP Preparation&Implementation 1 Ls - $ 6,900 6 Traffic Control 19 Day $ 500 $ 9,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 2467 SY $ 46 $ 114,000 7.2 Trenching/Compaction/Fill/Hauling 2467 CY $ 39 $ 96,800 7.3 Abandon Existing Gravity Sewer In Place 1850 LF $ 2 $ 3,700 7.4 Gravity Sewer(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 1850 LF $ 24 $ 44,700 7.4.4 15"-PVC SDR35 0 LF $ - 7.5 CIPP Trenchless Sewer Rehabilitation 7.6 Temporary Bypass Pumping 1 Ls $ 4,700 $ 4,700 8 Service Laterals 8.1 4"Sewer Service Lateral (Furnish and Install) 8 EA $ 2,550 $ 20,400 8.2 Abandon Service Laterals 8 EA $ 100 $ 800 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 8 EA $ 12,000 $ 96,000 9.2 lAbanclon Existing Manhole In Place 2 EA $ 2,500 $ 5,000 Subtotal 1: $ 433,400 Construction Contingency(10%): $ 43,300 Design(15%): $ 65,000 Contract Administration(10%): $ 43,300 Total Project Cost: $ 585,000 City of Arroyo Grande Wastewater System Master Plan Page 103 This page intentionally left blank City of Arroyo Grande Wastewater System Master Plan Page 104 Project B-3 - Backyard Sewer Replacement Design and Permitting: 12 months Construction: 10 months Opinion of Total Project Cost: $ 945,500 Need for Project: There are three sections of sewer main that are located in City resident's backyards and not in the public right of way. These sewer sections are located at: (1) 216 Pilgrim Way to West Cherry Ave (2) West Cherry Ave to Fair Oaks Ave (east), and (3) West Cherry Ave to Fair Oaks Ave (west). Supporting Information: Due to their location, these sewer mains are difficult to access and could be damaged by the residents. Moving these sewer sections will improve the City's ability to access and maintain these sewers and reduce the impact on the residents. Recommended Solution: It is recommended that the City construct three (3) replacement sewer mains in the right-of- way of the adjacent streets and abandon the existing sewer mains located in the residential backyards. The lengths of the proposed mains are shown in the table below and figure below shows the locations of the existing and proposed sewers. City of Arroyo Grande Wastewater System Master Plan Page 105 1°`4W '7 4... L Ii igtl"i of l:)or p Sewers IIIIIIIIIIIY°liii rw m u ';m IIIIIIIIIIIIIIII 111111111111111111111ax uuulll, IIIIIIIIIIIII Y IIdll6 1111 !ulUU ulll IIII ullll 290 8 ..'IIII II IIUIIII�I U� " Illlullllluul Iiuuul 2'820 City of Arroyo Grande Wastewater System Master Plan Page 106 f A J� Ay�� pry fJy�./n .ABtl ^_ +fj �kd m win 64wm pgn r rYrry f AHPKQ M I?n FdANIU v 8 Inch PVC Upgradep -- - 8 Inch PVC Upgrade w V! 0 9 8 Inch PVC Upgrade Legend NOMIMM Proposed Pipe =OWNEN@ Existing Pipe to be Abandoned Existing Pipe Manhole U'S HIGHWAY Backyard Sewer cool a"A �.. Replacement �Iwwl � Y:41 i s ^uuw5£ '•a ruuwa;,lure, City of Arroyo Grande Wastewater System Master Plan Page 107 Alternatives: A do-nothing alternative is not recommended as it will lead to increase maintenance costs and could lead to potential damage to private property. Cost Estimate Summary: Estimated costs for this project are as follows: Design (15%): $ 105,100 Contract Administration (10%): $ 70,000 Construction Contingency (10%): $ 70,000 Project Construction: $ 700,400 Opinion of Total Project Cost: $ 945,500 A detailed breakdown of the construction costs for this project is shown in the Appendix. City of Arroyo Grande Wastewater System Master Plan Page 108 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: B-3 Street: Backyard Sewer Replacement-Pilgrim Wyand Orchard Ave Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 9,900 2 Insurance and Bonds 1 LS - $ 9,900 3 Construction Surveying 1 LS - $ 5,000 4 Site Clearing and Restoration 1 LS - $ 1,700 5 JSWPPP Preparation&Implementation 1 LS - $ 6,700 6 Traffic Control 17 Day $ 500 $ 8,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 1468 SY $ 70 $ 102,500 7.2 Trenching/Compaction/Fill/Hauling 1468 CY $ 44 $ 65,300 7.3 Abandon Existing Gravity Sewer In Place 1651 LF $ 2 $ 3,300 7.4 lGravity Sewer(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 1651 LF $ 15 $ 25,000 7.4.3 12"-PVC SDR35 0 LF $ - 7.4.4 15"-PVC SDR35 0 LF $ - 7.5 1CIPP Trenchless Sewer Rehabilitation 7.6 Temporary Bypass Pumping 1 LS $ 3,900 $ 3,900 8 Service Laterals 8.1 4"Sewer Service Lateral (Furnish and Install) 20 EA $ 2,300 $ 46,000 8.2 Abandon Service Laterals 20 EA $ 100 $ 2,000 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 5 EA $ 12,000 $ 60,000 9.2 Abandon Existing Manhole In Place 9 EA $ 2,500 $ 22,500 Subtotal 1: $ 372,200 Construction Contingency(10%): $ 37,200 Design(15%): $ 55,800 Contract Administration(10%): $ 37,200 Total Project Cost:1 $ 502,400 City of Arroyo Grande Wastewater System Master Plan Page 109 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: B-3 Street: Backyard Sewer Replacement-West Cherry Ave to freeway Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 3,700 2 Insurance and Bonds 1 LS - $ 3,700 3 Construction Surveying 1 LS - $ 1,900 4 Site Clearing and Restoration 1 LS - $ 600 5 JSWPPP Preparation&Implementation 1 LS - $ 5,300 6 Traffic Control 3 Day $ 500 $ 1,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 259 SY $ 136 $ 35,300 7.2 Trenching/Compaction/Fill/Hauling 259 CY $ 44 $ 11,500 7.3 Abandon Existing Gravity Sewer In Place 291 LF $ 2 $ 600 7.4 lGravity Sewer(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 291 LF $ 15 $ 4,400 7.4.3 12"-PVC SDR35 0 LF $ - 7.4.4 15"-PVC SDR35 0 LF $ - 7.5 1CIPP Trenchless Sewer Rehabilitation 7.6 Temporary Bypass Pumping 1 LS $ 500 $ 500 8 Service Laterals 8.1 4"Sewer Service Lateral (Furnish and Install) 18 EA $ 2,300 $ 41,400 8.2 Abandon Service Laterals 18 EA $ 100 $ 1,800 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 2 EA $ 12,000 $ 24,000 9.2 Abandon Existing Manhole In Place 2 EA $ 2,500 $ 5,000 Subtotal 1: $ 141,200 Construction Contingency(10%): $ 14,100 Design(15%): $ 21,200 Contract Administration(10%): $ 14,100 Total Project Cost:1 $ 190,600 City of Arroyo Grande Wastewater System Master Plan Page 110 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: B-3 Street: Backyard Sewer Replacement-California St and West Cherry Ave Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 4,900 2 Insurance and Bonds 1 LS - $ 4,900 3 Construction Surveying 1 LS - $ 2,500 4 Site Clearing and Restoration 1 LS - $ 800 5 JSWPPP Preparation&Implementation 1 LS - $ 5,900 6 Traffic Control 9 Day $ 500 $ 4,500 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 783 SY $ 66 $ 51,500 7.2 Trenching/Compaction/Fill/Hauling 783 CY $ 44 $ 34,800 7.3 Abandon Existing Gravity Sewer In Place 881 LF $ 2 $ 1,800 7.4 lGravity Sewer(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 881 LF $ 15 $ 13,400 7.4.3 12"-PVC SDR35 0 LF $ - 7.4.4 15"-PVC SDR35 0 LF $ - 7.5 1CIPP Trenchless Sewer Rehabilitation 7.6 Temporary Bypass Pumping 1 LS $ 1,800 $ 1,800 8 Service Laterals 8.1 4"Sewer Service Lateral (Furnish and Install) 8 EA $ 2,300 $ 18,400 8.2 Abandon Service Laterals 8 EA $ 100 $ 800 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 3 EA $ 12,000 $ 36,000 9.2 Abandon Existing Manhole In Place 2 EA $ 2,500 $ 5,000 Subtotal 1: $ 187,000 Construction Contingency(10%): $ 18,700 Design(15%): $ 28,100 Contract Administration(10%): $ 18,700 Total Project Cost:1 $ 252,500 City of Arroyo Grande Wastewater System Master Plan Page 111 This page intentionally left blank City of Arroyo Grande Wastewater System Master Plan Page 112 Project 8-4 - El Camino Real Sewer Upgrade Design and Permitting: 10 months Construction: 8 months Opinion of Total Project Cost: $ 911,800 Need for Project: The existing sewer mains downstream of Lift Station 1, along El Camino Real to Bennett Ave, have insufficient capacity for current and buildout peak flows. Supporting Information: Lift Station 1 was upgraded in 2006. With this upgrade, a peak flow of 800-gpm leaves the lift station using the previously constructed 8-in cast iron pipe forcemain. The primary gravity sewer that receives the flow from the Lift Station 1 forcemain is a 10-inch sewer, which runs along El Camino Real. At Brisco Rd, the sewer connects to a 12-inch sewer that runs to Bennett Ave. The length, diameter, estimated buildout flow and calculated segment capacity for each segment. The maximum capacity is based on the pipe material, existing slope, and the design criteria of a maximum d/D of 0.6 for 12-in diameter and less gravity sewer pipelines. Thus, the capacity of the sewer mains need to be increased to accommodate buildout peak flows. City of Arroyo Grande Wastewater System Master Plan Page 113 i aII IIIe "E...5... EIII Cat'nit°to ReaIII Sewer Eut,nt,naory pll�llu m � m� °IIIIIIIIIIII IIIIIIII IIIIIIIIIVI VIII Illlllllil III m - - °ullll a „m �I Iplm .°1llllllll�ll Il m �I IIII I VIII IIII � ........''... ....... ......... ................. , Illllllllla!II IIIIIIIIIIIIIIIIIIIIIIII I I ICI III II IIIIIIIIIIII°9111 Illlllllll ullllllllll Ilu Igili j 1,375 12 1.40 1.34 III�IIIIIIilllll6l I�Illlllllll�lllll�u. � ' II I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I I V I I I Recommended Solution: It is recommended that the City upgrade the sewers as follows: (1) Upgrade the 10-inch sewer along El Camino Real to 12-inch PVC. (2) Upgrade the 12-inch sewer from Brisco Rd through the cemetery to Bennett Ave to 15- inch PVC. The project locations are shown in the figure below. City of Arroyo Grande Wastewater System Master Plan Page 114 J(wn W 'AP4 y � + .G h"&N rrwuti Acv ��u w� ' '� w J X 0.RANI CSC 40 s k4�fU P9i Wa�U7 UI..,[A 5VIn tld,fIwi�9w 12 Inch PVC Upgrade 15 Inch PVC Upgrade 01� F NETTAV a z q Legend °. MENNNOM Proposed Pipe Existing Pipe Manhole VAS HIIGHWAY N El Camino Real Sewer Main Upgrade , Figur "7...16 ... Ca un i ii to ReaIII Sewer Upgrade City of Arroyo Grande Wastewater System Master Plan Page 115 Alternatives: A do-nothing alternative is not recommended as it could lead to sewer overflows. Cost Estimate Summary: Estimated costs for this project are as follows: Design (15%): $ 101,300 Contract Administration (10%): $ 67,600 Construction Contingency (10%): $ 67,600 Project Construction: $ 675,300 Opinion of Total Project Cost: $ 911,800 A detailed breakdown of the construction costs for this project is shown below. City of Arroyo Grande Wastewater System Master Plan Page 116 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: B-4 Street: El Camino Real Sewer Main Upgrade Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 9,200 2 Insurance and Bonds 1 LS - $ 9,200 3 Construction Surveying 1 LS - $ 4,600 4 Site Clearing and Restoration 1 LS - $ 1,500 5 JSWPPP Preparation&Implementation 1 LS - $ 6,500 6 Traffic Control 16 Day $ 500 $ 8,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 2020 SY $ 47 $ 94,000 7.2 Trenching/Compaction/Fill/Hauling 2020 CY $ 39 $ 79,300 7.3 Abandon Existing Gravity Sewer In Place 1515 LF $ 2 $ 3,000 7.4 lGravity Sewer(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 1515 LF $ 24 $ 36,600 7.4.4 15"-PVC SDR35 0 LF $ - 7.5 1CIPP Trenchless Sewer Rehabilitation 7.6 Temporary Bypass Pumping 1 LS $ 3,600 $ 3,600 8 Service Laterals 8.1 4"Sewer Service Lateral (Furnish and Install) 7 EA $ 2,543 $ 17,800 8.2 Abandon Service Laterals 7 EA $ 100 $ 700 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 5 EA $ 12,000 $ 60,000 9.2 Abandon Existing Manhole In Place 5 EA $ 2,500 $ 12,500 Subtotal 1: $ 346,500 Construction Contingency(10%): $ 34,700 Design(15%): $ 52,000 Contract Administration(10%): $ 34,700 Total Project Cost:1 $ 467,900 City of Arroyo Grande Wastewater System Master Plan Page 117 Client: City of Arroyo Grande �� Project: 2011 Wastewater Master Plan Updates Segment: B-4 Street: El Camino Real Sewer Main Upgrade Prepared by: LSW Reviewed by: 1HR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 8,800 2 Insurance and Bonds 1 LS - $ 8,800 3 Construction Surveying 1 LS - $ 4,400 4 Site Clearing and Restoration 1 LS - $ 1,500 5 JSWPPP Preparation&Implementation 1 LS - $ 6,400 6 Traffic Control 14 Day $ 500 $ 7,000 7 Gravity Sewer Construction 7.1 Pavement Removal&Repair for Trench 2292 SY $ 40 $ 90,800 7.2 Trenching/Compaction/Fill/Hauling 2292 CY $ 37 $ 85,700 7.3 Abandon Existing Gravity Sewer In Place 1375 LF $ 2 $ 2,800 7.4 lGravity Sewer(Furnish and Install) 7.4.1 6"-PVC SDR35 0 LF $ - 7.4.2 8"-PVC SDR35 0 LF $ - 7.4.3 12"-PVC SDR35 0 LF $ - 7.4.4 15"-PVC SDR35 1375 LF $ 28 $ 38,700 7.5 1CIPP Trenchless Sewer Rehabilitation 7.6 Temporary Bypass Pumping 1 LS $ 5,000 $ 5,000 8 Service Laterals 8.1 4"Sewer Service Lateral (Furnish and Install) 4 EA $ 2,625 $ 10,500 8.2 Abandon Service Laterals 4 EA $ 100 $ 400 9 Manholes New Manhole(Furnish and Install, includes pipe 9.1 connections) 4 EA $ 12,000 $ 48,000 9.2 Abandon Existing Manhole In Place 4 EA $ 2,500 $ 10,000 Subtotal 1: $ 328,800 Construction Contingency(10%): $ 32,900 Design(15%): $ 49,300 Contract Administration(10%): $ 32,900 Total Project Cost:1 $ 443,900 City of Arroyo Grande Wastewater System Master Plan Page 118 MMMMMMMMMMMMMMMMMMMMMMMM Project C-1 - Manhole Rehabilitation Design and Permitting: 6 months Construction: Ongoing Opinion of Total Project Cost: $ 3,670,800 Need for Project: A significant portion of the City's manholes have reached the end of their operating life and are in need of replacement or rehabilitation. Supporting Information: The City's collection system currently contains numerous manholes that have deteriorated and/or experienced structural fatigue. Various physical factors, such as subsidence from traffic loading, shifting and expanding soils, temperature variation and cyclic groundwater levels can lead to the weakening of manholes. Additionally, the environmental conditions within the collection system can cause microbial induced corrosion. Microbial induced corrosion can rapidly destroy concrete-based materials in the collections system. Structurally compromised or deteriorated manholes can lead to increased infiltration and/or leakage of wastewater into the ground. Recommended Solution: It is recommended that the City evaluate the condition of its manholes and prioritize the replacement or rehabilitation of the most deteriorated manholes. The project includes rehabilitation of up to 500 manholes using a cured in place epoxy lining system. Due to the number of manholes requiring rehabilitation, it is recommended that the City perform the manhole rehabilitation projects in phases, beginning with the highest priority areas. To determine the highest priority areas, it is recommended that the City perform a preliminary study to assess which manholes pose the highest risk. Additionally, the City should couple manhole rehabilitation projects with other larger projects in the same area when possible. Alternatives: City of Arroyo Grande Wastewater System Master Plan Page 119 A do-nothing alternative is not recommended as it could result in complete structural failure, increase infiltration and wastewater leakage. Coat Estimate: Client: City of Arroyo Grande °�� � " Project: 2011 Wastewater Master Plan Updates ° Number: C-1 Description: Manhole Rehabilitation Prepared by: LSW Reviewed by: JHR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 1 LS - $ 12,000 2 Insurance and Bonds 1 LS - $ 12,000 3 Construction Surveying 1 LS - $ 6,000 4 Site Clearing and Restoration 1 LS - $ 2,000 5 SWPPP Preparation&Implementation 1 LS - $ 8,000 6 Traffic Control 550 Day $ 500 $ 275,000 7 Manhole Structural Rehabilitation 7.1 Cured In Place Epoxy Liner up to 10-ft deep 350 EA $ 3,600 $ 1,260,000 7.2 Cured In Place Epoxy Liner up to 10-ft to 12-ft deep 50 EA $ 4,400 $ 220,000 8 Manhole Replacement 8.1 Temporary Bypass Pumping 100 Days $ 500 $ 50,000 8.2 Remove and Replace Manhole up to 10-ft deep 75 EA $ 13,000 $ 975,000 8.3 Remove and Replace Manhole 10-ft to 12-ft deep 25 EA $ 16,000 $ 400,000 Subtotal 1: $ 3,220,000 Construction Contingency(10.1): $ 322,000 Design(2%) $ 64,400 Contract Administration(2%) $ 64,400 Total Project Cost: $ 3,670,800 City of Arroyo Grande Wastewater System Master Plan Page 120 MMMMMMMMMMMMMMMMMMMMMMMM Project C-2- 0 Study Design and Permitting: 8 months Construction: N/A Opinion of Total Project Cost: $ 22,000 Need for Project: Flow monitoring data indicates that the City's sewer collection system may be vulnerable to Inflow and Infiltration (1/1). Supporting Information: SSLOCSD recently completed an 1/1 Study in August 2011. This study indicated that a large volume of 1/1 was detected at manholes downstream of the Arroyo Grande sewershed.1 The increased flows from the Arroyo Grande sewershed were indicative of both inflow and infiltration. The study also indicated that the siphon crossing under the Arroyo Grande Creek may be contributing to the 1/1 flow. The creek crossing pipeline is owned and maintained by SSLOCSD. The figure below shows the flow monitoring data from the SSLOCSD 1/1 study by flow monitoring basin. Flow from the Arroyo Grande monitoring basin peaked on March 20th, when rainfall exceeded over two inches. 1 South San Luis Obispo County Sanitation District(SSLOCSD),Inflow and Infiltration Study, Final Report.Prepared by Wallace Group.August 3,2011. City of Arroyo Grande Wastewater System Master Plan Page 121 SSLOCSD Flaw Monitoring: Summary by Flow Monitoring Basin NJIAYHIN,Rainfall ^ W^CruverBeach Grover Beach ReDWF Arroyo Grainde Art oyea Grande ADWF Vv,,,Ocedno -Orenano ADWF 2.0007 3.00 1.600 2.50 1.500 . .. I "yr MrG 2.00 v FSN, t�1Nw 1.200 r LL � JJ4 �L 1 6r, 1.400 ��� _ 1 50 � 1.00 0.500 . , 0.40 0 0.50 01.200 � u0.000 .... 0.00 9/16/2011 3/21/2011 312512011 3/31/2011 4/5/2011 411012011 4/15/2011 SSL.QCSD 1/n Study Exhibit 10 July 2041 Liguore "7...17 ... SSLOCSD l/l study flow data Iffy flow o°Door°mitoorhi,ig Ilbash However, due to limited flow monitoring the study could not isolate the direct source of the 1/1. Possible sources include the City's collections system, the SSLOCSD's interceptor and portions of the OCSD's collection system. Recommended Solution: It is recommended that the City budget for a future 1/1 study, but wait to perform any detailed 1/1 analysis on its sewer collection system until the SSLOCSD can eliminate its interceptor and the OCSD's collection system as the source of the 1/1. City of Arroyo Grande Wastewater System Master Plan Page 122 Cost Estimate: Client: City of Arroyo Grande °�� � " Project: 2011 Wastewater Master Plan Updates ° Number: C-2 Description: 1/1 Study Prepared by: LSW Reviewed by: JHR Opinion of Probable Construction Cost Date: 4/26/2012 Item No. Item Description Quantity Unit Unit Cost Total Item Cost 1 Mobilization 0 LS - $ - 2 Insurance and Bonds 0 LS - $ - 3 Construction Surveying 0 LS - $ - 4 Site Clearing and Restoration 0 LS - $ - 5 SWPPP Preparation&Implementation 0 LS - $ - 6 Traffic Control 0 Day $ - $ - 7 Inflow/Infiltration Study 7.1 Conduct 1/1 Study 1 LS $ 20,000 $ 20,000 Subtotal 1: $ 20,000 Construction Contingency(10.1): $ 2,000 Total Project Cost: $ 22 000 City of Arroyo Grande Wastewater System Master Plan Page 123 This page intentionally left blank City of Arroyo Grande Wastewater System Master Plan Page 124 "W Technical Memorandum %Illlolg� °' S C APPENDIX Collection System Modeling Date: 4/24/2012 To: Mike Linn, P.E. Phone: (805) 473-5444 City of Arroyo Grande 208 E. Branch Street Arroyo Grande, CA 93421 CC: Shane Taylor; Mike Linn, P.E.; Teresa McClish Prepared by: Joshua Reynolds, P.E.;Lianne Williams, P.E. Reviewed by: Jeffery Szytel, P.E. Project: City of Arroyo Grande 2011 Water and Sewer Master Plan Updates SUBJECT: APPENDIX C— LIFT STATION ENERGY CONSIDERATIONS The purpose of Collection System Modeling Technical Memorandum (TM) is to describe the development of the collection system model for the purposes of evaluating system capacity. This TM contains the following sections: (1) System Mapping Update (2) Elevation Data (3) Sewer Flow Rates (4) Land Use Sewer Duty Factors (5) Spatially Allocated Flows (6) Model Skeletonization (7) Collection System Modeling System Mapping Update The last major revision to the City's GIS mapping for the sewer system was completed in 2003. Developing an updated sewer model required updated sewer system GIS mapping. To update the system mapping, WSC modified the GIS shapefiles based on information obtained from as-built drawings for development and CIP projects, the City's Wastewater System Atlas and information provided by City Staff. For system components not currently contained within the GIS system mapping, WSC developed individual shapefiles for the following features: City of Arroyo Grande Wastewater System Master Plan Page 125 ?f/////a" Technical Memorandum """,/ S C ➢ Outfalls ➢ Wet Wells ➢ Lift Stations ➢ Force Mains ➢ Sewer Nodes ➢ Lift Stations Elevation Data Elevation data is a critical component of a sewer system model. Accurate manhole invert elevation (elevation at the lowest portion of the sewer mains in the manhole) allows the existing slope of the sewer main to be calculated and is critical for determining the capacity of sewer mains. Rim elevations are important for determining sewer depths and potential for overflows. Invert Elevations The City's existing GIS system does not currently contain invert elevation data. To develop the updated sewer model, WSC used the following sources of elevation data: ➢ sewer model developed for a 2001 Wastewater Master Plan ➢ record drawings for recent system improvements ➢ SSLOCSD trunk lines GIS shapefiles From these three sources, WSC was able to obtain invert elevation data for 910 of the 1,701 manholes within the City's collection system. Rim Elevations To establish rim elevation data for the manhole features in the collection system, WSC obtained elevation data from the United States Geological Survey National Elevation Dataset (USGS NED). The USGS NED provides public domain raster elevation data for the conterminous United States, Alaska, Hawaii and territorial islands. The NED provides elevation data in the following resolutions: ➢ 1 arc-second (approx. 30 meter grids) ➢ 1/3 arc-second (approx. 10 meter grids) ➢ 1/9 arc-second (approx. 3 meter grids) City of Arroyo Grande Wastewater System Master Plan Page 126 "W Technical Memorandum %Illlolg� °' S C The best available resolution for the Arroyo Grande City Limits was 1/3 arc-second. Utilizing ArcMap, WSC overlaid the NED raster dataset and extracted land surface elevation data for each of the manholes in the collection system. For the City's sewer model it was assumed that the rim elevation was equal to the land surface elevation from the USGS NED. Sewer Flow Rates WSC developed estimates of flow through the City's collection system using data from a recently completed infiltration and inflow (1/1) study prepared by the South San Luis Obispo County Sanitation District (SSLOCSD) and effluent flow data from the SSLOCSD WWTP. Effluent flow data from September 2010 through August 2011 was averaged to develop an average annual flow (AAF) for the SSLOCSD WWTP of 2.85 million gallons per day (MGD). The portion of that flow that the attributed to City's system (42%), was then applied to the SSLOCSD WWTP's AAF to obtain the AAF for the City's collection system (1.20 MGD). Land Use Sewer Duty Factors To develop the land use sewer duty factors for the City's collection system, WSC utilized the spatially allocated water demands, projected build-out water demands and sewer duty factors. WSC initiated the development of the land use sewer duty factors by intersecting the spatially allocated 2010 customer water use records (see Water Modeling TM) with the land use polygon shapefile to obtain land use water demand factors (gpd/acre). City staff identified parcels within the City Limits that are not served by the City's collection system. For the purposes of developing the sewer duty factors and land use sewer duty factors, the parcels within the City limits not served by the sewer system and the parcels outside the City Limits were excluded (see Water Modeling TM). Sewer duty factors, which represent the percentage of potable water that is discharged to the collection system, were originally developed based on values obtained from reference textbooks and other local sewer master plans. These percentages were then manipulated until the projected flow to the collection system matched the measured AAF flow from the SSLOCSD 1/1 study. Table 6 below shows the sewer duty factors, by land use, used to correlate the current potable water demands and wastewater flow rates and to project build-out wastewater flow rates. City of Arroyo Grande Wastewater System Master Plan Page 127 "W Technical Memorandum � °I ROl adrr� S C 1`4We 6 Cunrei i i id projected wateor deinai°i i id wastewater flows ' , VV U) 00 9t , Eli ul�l� �d I III yIIV uulllllllll � ' ' r,gt oI 0 ,, cri " 00„ III . ,,,CO, 0 Sul .. 8 rw I I"i III ! r r Vii; A en N P m �4 1111 " C, CO3 0 ; er ua L r qrw, tip:' ... ... .... .............. III Ill W;�, r� �":�"��' �pIIVIVI �IIIVIV ��% IIIVIV iiulll puulu pil l III'"01 III°"� p uiuiu° II�, i m� "uull III I plhl u�" uplll uu� dl IOII ! mp"�R N, Vu Vu Viu� IVIV'd0 piu m � °IIII l uuuu II ,Ir p�� lull °" Iluppm°� 7M lilW�"I III ° III��" IIII" ill III�� �� I wlr �` ill III ;°M III;, ij III IL........ City of Arroyo Grande Wastewater System Master Plan Page 128 "W Technical Memorandum r�� p1 la S C WSC then divided the build-out flow projections, by land use, by the area (acres) of each land use at build-out to develop land use sewer duty factors. Table 7 shows the build-out AAF and the land use areas used to calculate the land used sewer duty factors. 1 41IS111e "F LaIiid Use Sewer Duty Factors °III I�IIII °11111111110°1111111 Iluuum IIII 111111 IIII Ipllll � III 1 a IIII IIII II �uiiillll IIIIIII�I ullll II ugiil„. III VIII °11111111 II ullllll 1,56 0 3447 111 ululu puuul �IpuglUupuplll uu 52,900 367 151 IIII� �II�u1j11111111111 �uuuuuuuuuuuuuuuuuuuuuuuuuuuuuu III�IIII�III IIIIIIII III Illii 111111111 llllllll p II ul ul III�� ul uuuuuuuuuuu°°uuul II ulllll�llll UI ��m u1111�uuuuuuuuuuulouuuuuuulul II I," ,,,,,,,, 52 1,,46 ,II IVIIII I 87,300 358 256 00000000pp000000�llllllul�plllllll�ul Illlyjl�ll Illlllllullllllll IIFIII IIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIII °1111 111 III b, .Q l�l V� ��d� IV � ��l� Ij IIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIII 37C, {0 533;, IIIIP ""1111 lio�. %iiil ulll °11 II 111(IIII U11uj11111IIIIIIIUIII�U°11!1 393,500 535 773 dull 111�m6rm IIIIVpVVVVVVVVVVVVVVVVVVVVIIII'tll umuu u1111II111°111111 uuuu uuuuuuuuVllllVuuuuumlm ! u u� � uuuu°°uwlllll uuu ullllll111111 � uui�uuuuuuuuuuu a uuuuuuuuuuuuuuuum V ^°Ills liil. IIII Bmlll II Ilm III 116,300 195 626 1 1 I m I u ulullllllllll l l IIII u mlu mIII l llii II VIII 13,4,,0,,,©,,, 46........ 0 ,,,,,, ,,,,,,,,, , ,,,,,,,. ,,,,,,,,,.., ,a 320 3 I l m m du I m m uuu uuu IVm� „T Illllllulullll IIII T 2 ,2©© „ llllllllllllllpllllllllllllllll 43,000 52 875 liii a�iu 111111°1uuuu IIIIIull III � 1111 IIII�III uuuu III Ildl Illuuu Ildlllllllllillll III�III�III III III ''' � Pull 111111 � 9,34Q � 1111uuul 111 lll�lll, ul uuul ulllll�llll ululuuuuuuuuuluuul uuuuuul uu �uuuuuuuuuuuuuull!IIU!!!Illll u9111111(IIII 7,200 48 160 u,ll .. VIII, IIIIU � 'u„„ II Spatially Allocated Flows To develop the spatially allocated flows for the City's sewer collection system, WSC applied the land use sewer duty factors to the build-out land use area for each lift station's and outfall's tributary or sewershed area. The connections to the SSLOCSD were represented in the GIS system and sewer model as outfalls. The total projected flow for each lift station and outfall sewershed was then divided evenly across the nodes within that sewershed. Individually spatially allocated demands for the sewer system were not used because flow data for each customer connection is not known. Minor City of Arroyo Grande Wastewater System Master Plan Page 129 "W Technical Memorandum %Illlolg� °' S C adjustments to flows through the collection system were made to calibrate or allow the model to mimic the flow rates observed during the SSLOCSD's 1/1 study. Model Skeletonization During the development of the sewer model, WSC determined that a significant number of the manholes in the City's collection system did not have invert elevation data available. In order to simplify the collection system model and reduce the number of manholes that could potentially require field surveying, WSC removed non-critical sewer mains and manholes from the sewer model or "skeletonized" the model. Skeletonization of the sewer model was achieved by fully loading the model with build-out AAF flows using the spatial allocation methodology described above. Flow rates through the model were then evaluated and any pipes or manholes with a flow of less than 19,000 gpd were removed from the model. This flow equates to peak hour flow of 6,690 gpd and a peak hour flow depth pipe diameter ratio (d/D) of less than 0.5 at an assumed minimum slope of 0.001 in a 6in pipe and a d/D of 0.5 at a slope of 0.0002 in an Bin pipe, assuming a roughness coefficient of 0.014. Pipelines removed from the model using this methodology will have capacity to meet build-out flows as long as the installed slope is greater than the assumed minimum slope. For comparison the minimum slope assumed for an Bin pipe was 0.0010, the minimum recommend slope for installation of an Bin pipe is 0.0035, thus this is a conservative removal or skeletonization methodology. Once skeletonized the model did not require any field surveying to determine invert elevations. Any missing invert elevations in the skeletonized model were interpolated from the upstream and downstream manholes. Once the model was skeletonized, WSC redistributed the demands to the remaining nodes within each sewershed. After the skeletonized model was re-loaded, WSC compared the flow rates along the remaining trunk lines to determine if the skeletonization altered the distribution of the wastewater flows. Adjustments were made to loading at several locations so that the distribution of wastewater flows in the skeletonized model would closely mimic the un-skeletonized model. Collection System Modeling To evaluate the need for improvements to the City's sewer system, WSC used the calibrated model to analyze the collection system's ability to meet the minimum pipe velocity and d/D criteria. The specific evaluation criteria utilized for the collection system evaluation is contained in the Evaluation Criteria TM and where appropriate the Capital Improvement Program (CIP) projects were supported with sewer model runs. City of Arroyo Grande Wastewater System Master Plan Page 130 "W Technical Memorandum %Illlolg� °' S C APPENDIX B Lift Station Capacity Evaluation Date: 4/24/2012 To: Mike Linn, P.E. Phone: (805) 473-5433 City of Arroyo Grande 208 E. Branch Street Arroyo Grande, CA 93421 CC: Shane Taylor, Mike Linn, P.E., Teresa McClish Prepared by: Joshua Reynolds, P.E.;Lianne Williams, P.E. Reviewed by: Jeffery Szytel, P.E. Project: City of Arroyo Grande 2011 Water and Sewer Master Plan Updates SUBJECT: APPENDIX B— LIFT STATION CAPACITY EVALUATION As part of the 2011 Water and Sewer Master Plan Updates, WSC performed an evaluation of the City's lift stations to determine if the current capacity of each lift station is adequate for estimated build-out flows. The analysis was performed for Lift Station 1, 4, 5, and 7. Lift Station 3 is currently undergoing a major upgrade to meet build-out flows and thus was excluded from this analysis. The capacity evaluation showed that Lift Station 1, 4, 5, and 7 all have adequate capacity to meet build- out peak hour wet weather flows (PHWWF). This memorandum provides a brief summary of the lift station capacity evaluation method and results. The calculated system curves, which show operating regions for the lift stations, are included as Attachment 1. Method The capacity evaluation required two primary steps: (1) determining the current lift station capacity, and (2) estimating build-out lift station capacity requirements. These two steps of the analysis are described briefly here. Cut-t-ent Lift Station Ctipaci�y WSC developed system curves for each lift station based on record drawings. Key inputs to creating the system curves included the following: • Lift station high water level (HWL) • Lift station low water level (LWL) • Force main discharge invert elevation City of Arroyo Grande Wastewater System Master Plan Page 131 "W Technical Memorandum %Illlolg� °' S C • Force main length and diameter • Size, number and type of fittings on pump manifold (impeller to pump manifold) • Size, number and type of fittings on force main (pump manifold to gravity invert) Using this data, WSC calculated the system curve for both the best case and the worst case. The best case is defined as the case with the lowest static head (water level at HWL) and the lowest friction losses (highest roughness factor, i.e. smooth pipe). The worst case is defined as the case with the highest static head (water level at LWL) and the highest friction losses (lowest roughness factor, i.e. rough pipe). WSC obtained pump curves for each lift station and plotted these with the calculated system curves to determine the operating point for each lift station. Because both a best and worst case system curve were calculated, this analysis yielded a capacity range (gpm) for each lift station. The pump and system curves for Lift Station 1, 4, 5, and 7 are included as Attachment 1. Note that while Attachment 1 presents curves for both simplex operation (one pump operating) and duplex operation (two pumps operating), only simplex operation is used for the capacity analysis because the City only operates one pump at a time, with the second pump serving as backup. The lift station must have sufficient capacity to meet the build-out PHWWF. WSC calculated the build- out PHWWF by applying a peaking factor to the average annual daily flow (AAF) estimated for each sewershed at build-out. WSC performed the analysis for two different peaking factors: (1) a peaking factor of 2.84, which is the estimated to be the city-wide peaking factor (calculated using the Babbitt equation), and (2) a peaking factor of 3.5, which is more conservative as the individual lift stations may experience a peaking factor greater than the city-wide average peaking factor (because the lift stations serve a smaller subset of the overall city population). This yielded the capacity requirements of each lift station at build-out. Results The build-out capacity requirements and the calculated current capacity for each lift station are shown in Table 8. In addition, Table 8 also presents the rated capacity and actual measured flow data for comparison. The rated, calculated and measured capacity of each lift station exceeds the build-out PHWWF for a 3.5 peaking factor. Based on this analysis, the current capacity of each lift station is adequate to meet build-out flows. City of Arroyo Grande Wastewater System Master Plan Page 132 "W Technical Memorandum � °I ladrr� 1 4lWe 8 Lift Statimi Capacity LvallWatim1 f esWts 111111111111111111111 1 11111 11Q 1111 1111 I L IIII IIII IVI m Ili u m , I III hl mp Iii... IIIIIII m � m uuul............... 205,200 400 500 60 800 770-850 800,707 Yes liul�ll� 33,4030 7{3 80 �9� 30 h/� n/� Yep u�1191� 5,900 10 10 1.5 100 125- 101, 104 Yes 160 2,80© 103 1t3 10 11S 135 172, 15 Yep 23,000 50 60 10 130 160-190 126, 144 Yes VIII Illlillll Illlill iii liilll i ICI llllill lilill Vdl III:I�II�II Iii lill IIIIV(IIIIIII IIIIIIIIIIII Illill(IIII II IIII m IIIIIIIII II nsl �� u u� � u IIII IIIIV�� iii a u�u�u uuim uil uu a u�m uuu i um uu a um uum uuu uuu uu m uim iiiii uuu a uuu i u u m ( lug III Vuuoi�um mom i�uuu uum lll uuu '.mmmm duu uuu u�u�u uu m IIII Il�llllil�lll I�I�I IIIIIIII�II�II IIIIIIIV dll'll I I lilli I�I�I IIIIIIiVdI�Viil Illillllliillliilll liilllllllilll ICI Illll IIIIII�� �° � °" Fluid Resource Management performed draw down and amperage testing on Lift Station 1, 4, 5, and 7, in August 2011. The flowrate measured during the draw down test for each lift station is the measured capacity shown in Table 8. The amperage testing did not yield conclusive results because data for only this single data point in time is known. This does not allow for performance comparisons of the same winding over time to determine how performance is changing. WSC recommends performing the draw down and amperage testing in 2012 and 2013, which will give the City three (3) data points for each pump/motor. With three (3) data points, the City can evaluate trends over time and determine if equipment replacement is necessary. City of Arroyo Grande Wastewater System Master Plan Page 133 Technical Memorandum � drr� SC Lift Station Pump and System Curves City of Arroyo Grande Wastewater System Master Plan Page 134 m v C3 CL 0 0 N - cu n � O O _ O �cu +J cc P. N O O . -- - -- - -- - --- - -- -- -- U Q CL cu 0 CL �w•' O - cu CL cL p � [4M o 0 -- - c 00 r.. � c o o z in � °o - a� CL LL A Q ° Q � � E � �, 5 0z o ' o a o Q' _ CL CL CL 0 _ a °�° v � a in O V BF O o v O O O O O O O i a V o N o o Q GJ (11) P8GH a U m v a CL �a G.� co v J co v nn co Q E m L O E Sa G � rz a m v � U av ._ C) Cu t z i a Cu U Q Cu U N m o v o � a o � � CL c 4 o -- - --- .---- --- - -- --- ' '---- Q" M cu +J — Q C/1 Q u Q v cu O Q - - N O CL M (0 N i --- - --- - --- --- - --- --- -- - --- - Q N CL ,,. N li II'�_II Q N O a 0 In A' L Q �F•I WV -- - -- -- -- - - -- - - to - .� Q - a o O Qto f6 O to - - in LL uo a o D O G ' T � L V .� t +��} o c Cu •2p a cn fJ c� a •F _ Ln C� Qn 0 Cu S o 0 0 o Q 3 (� M N Cu A\ O (11) PY20H a U 00 m v a CL �a G.� co v J co v nn co Q E m L O E Sa G � rz a m v � U av ._ C) Cu t z i a Cu U Q Cu U rn m v a CL 0 0 M N cu CU cL •� O O � Q O +J '.. P. Q U cu N Q C%1 Q Q N E Li +J � Q CU l(j n H O N CL 0 p --------- a 'n LL C - O Q .. Im p •~ > CL C o c O Q °o U in L.L bb CL L L E'' E a a v L 2' 2 U 7 �Gq a Cu Qn O Cu A\ O (11) PY20H a U Q) v a CL �a U �l. G.� co v J co 0 o v lu nn co Q E L O E Sa G CL a v � U av t ov i a U Q 0 U 0 0 0 o cu � = v ai u O c cu a u o �. `° c cn } � — o Q CL -0 cu a C C Q U cu - CL cu CL CL CL LL i" o yV1 °� tOa G� + on a - -=--=- --- CU 0) 03 a _ fr o cu i.w A p. —ago on ci c L o •� o uo - E CL as U O _ � L2 0 --- -- - N CL C - ) --- - a N U O _ Q Q a tLo E E Cu BFU a S O O O O O O O O O O O tz .4 Cu O o l N 00 �c v') 't M -� L a oCu (11) PY20H a U N H N a �i CL t U �l' G.1 Y C6 _N ro O a--� N a--� lu tlA C6 Q N L E L O E A' � W a h CL _ Ca N C U a N t ov i a U Q 0 U "W Technical Memorandum ° SC drr� A�i 4N�h74 CON-Sl 11FING,NC APPENDIX C Lift Station Energy Considerations Date: 4/24/2012 To: Mr. Mike Linn, P.E. Phone: (805) 473-5444 City of Arroyo Grande 208 E. Branch Street Arroyo Grande, CA 93421 CC: Shane Taylor; Teresa McClish Prepared by: Joshua Reynolds, P.E.;Lianne Williams, P.E. Reviewed by: Jeffery Szytel, P.E. Project: City of Arroyo Grande 2011 Water and Sewer Master Plan Updates SUBJECT: APPENDIX C— LIFT STATION ENERGY CONSIDERATIONS The purpose of this analysis was to investigate the energy use of the City of Arroyo Grande's lift stations. These energy considerations will support the development of the Sewer System Master Plan Update. From the results of this analysis, WSC recommends the following two actions: (1) Perform a detailed energy investigation of Lift Station 1, including a pump efficiency test. (2) Consult with the City's PG&E account representative about changing the PG&E rate schedule for the electric meter serving Lift Station 5. Data WSC obtained energy billing data from Pacific Gas and Electric Company (PG&E) for Lift Stations 1, 3, 4, and 5, for approximately 2008 through 2010. WSC was not able to access energy usage for Lift Station 7 because the PG&E electricity bill for Lift Station 7 is paid by a private development, not the City. The compiled energy usage for the lift stations for 2008—2010 is shown in Figure 18. The tabulated energy usage and energy costs are shown in Table 9. Note that the PG&E billing cycles do not align exactly with the calendar month and calendar year; thus, the data shown for City of Arroyo Grande Wastewater System Master Plan Page 143 "W Technical Memorandum ° drr� SC each year represents an approximate value for that year, estimated using data for one year beginning with the first full billing cycle in each year(i.e. the 2008 total is tabulated from PG&E billing data from mid-January 2008, through mid-January 2009). The energy analysis was limited to a high-level investigation due to limited availability of data. Flow records for the lift stations were not available. In addition, pump efficiency test reports were not available. Results and Recommendations As illustrated by the energy billing data in Figure 18 and Table 9, Lift Station 1 is the dominant energy user in the City's wastewater system. From 2008— 2010, Lift Station 1 consumed between 87% and 89%of the total energy used by all the lift stations on an annual basis (excluding Lift Station 7). For the same time period, the energy costs to operate Lift Station 1 accounted for 85%to 87%of the annual energy costs for all the lift stations (excluding Lift Station 7; by agreement, the electricity bill at Lift Station 7 is paid by the homeowners association). City of Arroyo Grande Wastewater System Master Plan Page 144 Technical Memorandum ° drr� SC 100,000 i fC 80,000 s v 00 �a 60,000 Lift Station 5 io °J 111111 Lift Station 4 c w Lift Station 3 40,000 Q IIIIIIIIIIIIII Lift Station 1 .1 M 4.1 E X O Q 20,000 Q Q 2008 2009 2010 Figure tter 7 Cot isui,n ptioii of fll te City's Lift 5t tiot is for 2 2010 1`4We 5 Et ter 7 Use (Ills Im), Et ter 7 Cost ($), at i ver Cost per Ut tit Et ter 7 ( Ill Ii) for Lift 5t tioti � ............................................ 1111111 III uuuu`�fi�u� ui uuuui�i Illuuuu� uuuu`�fi�uui VIII III IIII IIII III iiillll i p ; III jliil II VIII II I iiillll IIII� � � �II 11111 III III iiillll! III�III IIII IIIIIIIIIIIIII (IIII II (IIII III (IIII II (IIII III (IIII II (IIII III ii A6X 85,520 12,926 0.15 86,320 14,035 0.16 84,480 14,803 0.18 AIR-- 1-,2&,3,- 1,777 0 17 x,614 1,611 0 19 x,632 1, 6 0 „ , , ................ ......... ...... ....... 1 Al 1,436 334 0.23 1,325 333 0.25 1,025 286 0.28 A1.P 5403 246 6."46 677 277 6."4 714 286 1 n/a n/a n/a n/a n/a n/a n/a n/a n/a n/a City of Arroyo Grande Wastewater System Master Plan Page 145 Technical Memorandumau �e SC Specific equipment recommendations cannot be made due to the limited availability of data. However, from the above energy data, WSC recommends the following: (1) Perform a detailed energy investigation of Lift Station 1, including performing a pump efficiency test. Because Lift Station 1 is the highest energy user, a more thorough investigation of the lift station's performance and overall plant efficiency is warranted. Implementing energy efficiency improvements at Lift Station 1 has the potential to yield the greatest energy bill savings because Lift Station 1 has the largest energy use, which results from it having the largest pump capacity and the greatest run time. WSC recommends seeking available energy efficiency incentives from PG&E to support the improvements. t w w_ Figure 15 Lift Statim1 1 (2) Consult with the City's PG&E account representative about changing the PG&E rate schedule for the electric meter serving Lift Station 5. Lift Station 5 is currently on an A1P rate schedule, with an average rate of$0.40/kWh is 2010, a significantly higher rate than Lift Station 4, which is of a comparable size and operating schedule. Although the cost savings of switching to a different rate schedule may be small (e.g. Al rate schedule), it is worth investigating as it could lead to essentially "free" cost savings. City of Arroyo Grande Wastewater System Master Plan Page 146 Technical Memorandumau � SC hN�apg 'v aaavuSQ':dlNSvrrn:T NG,NC' 1 r� Figure Lift Statim 1 City of Arroyo Grande Wastewater System Master Plan Page 147 ... ...................... .......... ........... Appendix 4-11: . .......... City of Arroyo Grande WATER AND WASTEWATER RATE STUDY REPORT March, 2014 DRAFT Prepared By: CITY OF R A F T E L I S FINANCIAL CONSULTANTS,INC ....... ...... .............................. .............. .............. .......... March 13, 2014 City Council City of Arroyo Grande 1375 Ash Street Arroyo Grande,CA 93420 Subject: Water and Wastewater Rate Study Report Dear Mr. Mayor and City Council, Raftelis Financial Consultants, Inc. (RFC) is pleased to provide this Water and Wastewater Rate Study Report(Report) for the City of Arroyo Grande (City) as a periodic comprehensive update and to establish utility rates that are equitable and in compliance with Proposition 218. The major objectives of the study include the following: 1. Develop financial plans for the water and wastewater enterprises to ensure financial sufficiency, meet operation and maintenance (O&M) costs, ensure sufficient funding for capital replacement and refurbishment(R&R) needs,and maintain a strong financial outlook for the enterprises; 2. Develop sound and sufficient reserve fund targets; 3. Review current rate structures for the water and wastewater enterprises; 4. Develop a cost-of-service analysis for the water and wastewater enterprises;and 5. Develop fair and equitable utility rates. The Report summarizes the key findings and recommendations related to the development of the financial plans for the water and wastewater enterprises and the development of the updated rates. It has been a pleasure working with you, and we thank you and the City staff for the support provided during the course of this study. Sincerely, Raftelis Financial Consultants, Inc. Habib Isaac Manager Table of Contents E. EXECUTIVE SUMMARY 4 WATER ENTERPRISE 4 WASTEWATER ENTERPRISE B 1 ASSUMPTIONS USED IN THE STUDY 1.1 INFLATION 9 1.2 GROWTH AND DEMAND FACTORS 9 2 WATER SYSTEM—FINANCIAL PLAN AND RATES 10 2.1 FINANCIAL PLAN 10 2.1.1 REVENUE REQUIREMENTS 10 2.1.2 RECOMMENDATIONS AND PROPOSED FINANCIAL PLAN 13 2.2 RATE DESIGN 16 2.2.1 RATE METHODOLOGY BACKGROUND 16 2.2.2 RATE METHODOLOGY 17 2.2.3 FUNCTIONAL COST COMPONENTS 17 2.2.4 PROPOSED RATE STRUCTURE 19 2.2.5 RESIDENTIAL RATE IMPACTS 25 3 WASTEWATER SYSTEM-FINANCIAL PLAN 27 FINANCIAL PLAN 27 3.3.1 REVENUE REQUIREMENTS 27 3.3.2 FINANCIAL PRO FORMA AT CURRENT RATES 29 3.3.3 RECOMMENDATIONS AND PROPOSED FINANCIAL PLAN 30 3.4 PROPOSED WW RATES 32 EXHIBIT A-SINGLE-FAMILY RESIDNETIAL WATER RATE COMPARISON 33 EXHIBIT B-SINGLE-FAMILY RESIDNETIAL WASTEWATER RATE COMPARISON 34 APPENDIX A-DETAILED FINANCIAL PLAN PRO FORMA AT CURRENT RATES 35 APPENDIX B-DETAILED FINANCIAL PLAN PRO FORMA AT PROPOSED RATES 36 APPENDIX C-PUBLIC HYDRANT/PRIVATE FIRE LINE COST ALLOCATION 37 APPENDIX D-WATER RATE SUMMARY 38 ® Page 3 E. Executive In 2013,the City of Arroyo Grande contracted with RFC to conduct a Water and Wastewater Rate Study (Study)to develop a financial plan as well as design rates for the water and wastewater systems. The City's Water and Wastewater Enterprises are operating in an environment where operational costs continue to increase while debt obligations and reserve funding must be satisfied to maintain a financially healthy utility. This is not a situation that is unique to the City of Arroyo Grande, as many agencies throughout the state are faced with the need to update capital infrastructure that is necessary to continue providing water and wastewater services, adhere to new regulations and mandates, and meet service demands with limited water supplies. Ater Enterprise The City provides water services to a population of approximately 17,000. The City's main source of water includes ground and surface water. The City may also purchase surplus surface water when available.The City's water supply is crucial to provide its residents with a reliable supply of water. The current rate structure of the City consists of three components: a monthly service charge, a Lopez monthly base charge (both of which vary by meter size), and a volume charge (which is tiered for residential customers and uniform for non-residential customers).The rates of all three components are also differentiated between accounts located within and outside City limits, as shown in Tables E-2 through E-4. Table E-1 provides a summary of water accounts by meter size, with the majority of residential customers served by 5/8" and 3/4" meters.Tables E-2 and E-3 identifies the monthly service charges by meter size and Table E-4 lists the volumetric charges (also commonly referred to as commodity charges). Table -1:Water Accounts by Meter Size 5/8-in or 3/4-in 5,792 1-in 372 1/2-in 101 �2- � m .,_ 5 . ... .. 3-in 11 „ ® ....., ... _..... ....,,,, 4-in 7 6-in 2 8-in 0 Total Water Accounts 6,340 Page4 Table ®2e Current Monthly Service Charges 5/8-in or 3/4-in $5 75 $7.19 „�_.. ffi..1 in E$6.90 $8.63 ...... ............ ......_.. 1 1/2-in $&55 $10.69 2-in $13.00 $16.25 __,............... n �. 3-in $45.65 $67.06 57.65 $72.19 6-in $85.95 $107.44 8-in $117.75 $147.19 Table Current Lopez Monthly Service Charges 5/8-in or 3/4-in $20.33 $25.41 a, . ... ... 1-in....... . ° $29.16 .. . �_.. $36...... .. _q, ...................1 1/2-in� -,.- ....�... .. ., ...0 .. .. 45 $37.89 $47.36 $46.83 $58.54 j 3-in.,.... .m....-. ......................n........ .... $55.56 $69.45 64.51 $80.64 6-in ,,........ $82.26 _,... ......,,. ...... $102.83 8-in 11.65$ 0 .__.,.... ...,,. ..,$127... .. .06 Table .Current of e Charges /cc ') PSFR[I) ier 1 1-12 $3.37 $4.21 SFR Tier 2 � 13-32 $3.74 $4.68 m,�.. .. , SFR Tier 3 33-64 $4.23 $5.29 _... ,., SFR Tier 4 64+ $5.12 $6.40 NFR[2]Tier 1 1-12 $3.37 $4.21 .,�... .�... .. -.... MFR Tier 2 13-18 $3.74 $4.68 MFR Tier 3„ 1.9-30 � $4.23 �.. $5.29�. MFR Tier 4 30+ $5.12 $6.40 Non-Residential Unifoo rm $374 $4,68 . .. ...- -.............. Uniform $4.11 $5.14 Other Uniform $3.74 $4.68 Water Wheeling Uniform $1.29 $1.29 29 _. Hydrant Uniform $23,35 $23.35 [1]Single-Family Residential [2]Multi-Family Residential 1 1 ccf= 100 cubic feet=748 gallons of water __�_, ...................... Page 5 Total reserves for Fiscal Year 2014-15 is estimated at approximately $6.1M, which accounts for an operating reserve equal to ninety (90) days of operating expenses, an appropriation of capital improvements equal to$500,000, and a recommended debt service reserve equal to one year of annual debt service. However, without future revenue adjustments, the Water Enterprise would need to draw on reserves to offset annual shortfalls. Commencing in Fiscal Year 2015-16, reserves would need to cover a shortfall of approximately $520,000. By Fiscal Year 2018-19, the draw on reserves would reach an amount slightly over $800,000. In addition, starting with Fiscal Year 2019-20, reserves would be $720,000 short of the recommended minimum target and would be fully depleted by Fiscal Year 2021- 22. The City also has debt obligations and corresponding bond covenants to fulfill on an annual basis. With current rate revenue,the City would not satisfy its 125% bond coverage ratio commencing in Fiscal Year 2018-19. After review of the Water Enterprise's revenue requirements, reserves, debt obligations, and current revenues, it is recommended that the City adjust revenue through a modest step up approach for Fiscal Year 2014-15 through Fiscal Year 2018-19 (1%, 2%, 3%, 3%, 3%). The proposed financial plan for the water system aims to strike a balance between the recognition of the current fiscal landscape with a multi-year measured approach. Under the proposed plan, the Water Enterprise will maintain reserves above the minimum target throughout Fiscal Year 2021-22. In order to mitigate long-term impacts to customers while maintaining the fund's finances, a "step-up" rate-adjustment approach is proposed (rather than imposing a 5%annual increase beginning in Fiscal Year 2016-17). Through our analysis, RFC reviewed the current rate structure and consumption files to determine the most appropriate rate structure to employ moving forward.As such, RFC is recommending the following proposed adjustments to the current rate structure: • RFC recommends that all accounts (whether or not they are located within City limits) be charged the same rates. Typically, differentiating rates between customers inside and outside the City is commonly employed when additional facilities are required to serve those customers, such as an additional pumping station, storage facilities, or transmission and distribution improvements. The costs associated with these facilities should then be accounted for separately to track the additional "cost of service" incurred to serve these accounts, which would justify the higher water rates in compliance with Proposition 218. The City currently only has ten (10) accounts that are outside City limits and keeping track of the facilities that serve these properties and associated costs would be tedious and require additional staff time that would not be cost effective. Therefore, it is recommended that all accounts are charged based on one rate schedule that differs by meter size and customer class. • RFC also recommends combining the monthly service charge and Lopez charge as one monthly fixed charge. Doing so would simplify the City's rate schedule for its customers and establish a fixed revenue stream that provides more flexibility to the City. Although the new recommended fixed charge still includes costs associated with the Lopez Water Supply, it is not a separate charge that appears to be solely designated for the Lopez Water Supply. The City should still maintain its separate fund for Lopez (Fund 641) and only transfer the amount necessary to meet the annual obligation each year. The remaining revenue from the monthly fixed charge would be used for other fixed charges and the build-up of reserves within the Water Operating Fund (Fund 640). .................... _, .,. , , . Page 6 • Lastly, RFC recommends changing the City's current water rate structure from a 4-tiered rate structure to a 3-tiered rate structure. In reviewing the consumption files and analyzing the amount of consumption by tier for residential customers, only 4% of total annual consumption falls within Tier 4 as shown on Table E-5 and E-6 for Single-Family Residential (SFR) and Multi-Family Residential (MFR), respectively. Table :Single-Family Resi a is rre nt Annual Usage by Tier(ccf) MMMW Tier 1 12 12 358,907 44% Tier 2 20 32 307,365 37% .Tier 3 .... 32 64 a,„ ..,w„��.� .... ,.,. . -M,....... 64 122,780 15% 4 Tier >64 N/A 32, 4% ,..m. .M......w.. 281 Table E-6: Multi-Family Residential i (ccf) a Tier 1 12 12 88 846 86% Tier 2 6 18 -. 8067 8% ... Tier 3 12 30 2 735 3% .. o. .o.oeomo.o.o � ..... o .... __?,7 Tier 4 _.... >30 ..__ _j,,,107 4%. ,. Setting water allotments for three tiers more closely reflects the water demand of residential customers for indoor needs (Tier 1), outdoor needs (Tier 2), and any additional usage above Tiers 1 and 2 (Tier 3). In analyzing the usage characteristics of residential customers, usage in the winter was used as a proxy to determine the indoor demand of customers as outdoor usage during the winter season is typically reduced to a negligible amount. As such, usage per account in January and February of 2012 equaled approximately 15 units of water, which reflects 75 gallons per capita per day. Similar to using winter usage to determine indoor water demand, peak residential usage in the summer can be used to determine the water demand for outdoor needs as peaking is primarily as result of increased irrigation. Summer usage averaged approximately 32 units of water per account. Because usage varies from month to month and between accounts, a buffer is recommended when setting allotments for each Tier. Consequently, it is recommended that for SFR, Tier 1 be set at 18 units to capture residential indoor water demand and Tier 2 be set at an additional 18 units of water for a total allotment of 36 units, which captures the average usage in summer of 32 units. MFR customers would be a similar structure; however, MFR customers typically do not have the same amount of outdoor water demand when compared to SFR properties. As a result, it is recommended Tier 1 would be the same allotment, but Tier 2 would be 9 units instead of 18 units. These allotments are on a per unit basis.As such, a three-unit complex would have a tier 1 allotment equal to 54 units and an additional Tier 2 allotment of 27 units of water. Non-residential and irrigation accounts would still be charged a uniform rate consistent with the current rate structure. �,... a ®. W Page 7 Wastewater Enterprise The current wastewater(WW) rate structure consists of monthly base service charges (by dwelling unit) for all customer classes and a discharge or commodity rate per hundred cubic feet (CCF). Current WW rates are shown in Tables E-7 and E-8. Table ® ®Current se Charges Inside City $2.40 Outside City I $3.00 Table ®Current Discharge Rates /cc f) Location Inside City Outside City ....,.., SF.R . ....., MFR ... .$... ..... ..... 0 94.....�. $.1..1.8.... Business..., ...... ..,. ---- ,,,..w.. $132 $165 ..m...., ............................ ......... Church $1.32 $1.65 .,. ,,. .._u_,,,, ......._u. School .,.. ., ,..,... �„$1.32� $1 65 sp Hospital $1.32 $1.65 Motel _ $1.32 �w ..,,..$,1..8.8-. .., .. , ,........ �,,, .. �..... .... .......... .... ...... Convalesce ... nt Home $1 32 $1.65 Other $132 $1.65 Based on current rates and an analysis of revenue requirements for the Wastewater Enterprise, the current wastewater rates will continue to generate positive net income for at least the next five years. As a result, the City has been able to build healthy fund balance for operations and capital repair & replacement expenditures. Therefore, it is recommended that the City maintain its current wastewater rate schedule, as increases are not necessary at this time. We recommend that the City periodically review the Wastewater Enterprise to determine if adjustments are needed at a later date, but at this point, and based on the current revenue requirements, revenue adjustments are not necessary. �n,n _................. _ — Page 8 1 Assumptions Used in the Study The period for the Water and Wastewater Financial Plan Study is for Fiscal Year 2013-14 through Fiscal Year 2022-23.z Various types of assumptions and inputs were incorporated into the Study. These assumptions were based on discussion with and/or direction from City management. Assumptions include growth rates for customer accounts, annual consumption for different customer classes, reduced water demand factors for recent conservation goals of the City, inflation factors, and other miscellaneous assumptions.These assumptions are presented in Tables 1-1 and 1-2. 1.1 Inflation Table - : Inflation act Assumptions General 3% 3% 3% 3% 3% _.......................... ...... .........,..Salar..., , . 3,. ... �,. �.m... ,.,...... ...,., -.,,_...,. .., ............. .,.� Salary % 3% 3% 3% 3% ..............v . Benefits ........ ...... ................. �..... ..................�............... .... ........ 3% 3% 3% 3% 3% Capital 3% 3/ 3/ 3/° ..............,... Energy 5/ 5% 5/0 % ° ° 5% 5 ......._.m Factors 1.2 Growth and Demand Table 1-2:Account i Factor GROWTH RATE[1] All Customer._ .. � �- ....wa,e.e. .. .�......, ........... ..... s omer Classes <1% <1% <1% <1% <1% VENUES PROJECTIONS ....... ....Interest Earning.. .........0 .�. .... �u ,..�...., ow... �,,� .................. 1% 1% 1% 1% 1% Property Leas..... 1-1 ........ -......._.... ,......- ................................-....... ..........................................�.w.._...­­- Property 1% 1% 1% 1% 1% .. �.............. .�wow. ...... ...W.. ........ o. .....,.... ...�....�.......................................�.._........-_...- ..... .� ...........,,,,....w .... General 1% 1% 1% 1% 1% �o......w. m ............ - —................ .. ...__. ._....... .....w .. ..m...��. Non-Inflated 1% 0% 0% 0% 0% WATER DEMAND FACTOR/of .�.............. ..........., ...�.,,., ..- _.. .. �. �. .. ° prior year consumption Water o....,. ......... ..............�. .,... �� _ Reduction Factor 2% 2% 1% 1% 1% [1]The growth rate for the Cit ...................ess than 1%;therefore y is l , rates were calculated based on a m....... conservative growth rate equal to zero. z For brevity of presentation,certain tables in this report show the five-year period for FYE 2015 through FYE 2019. ... Page 9 2 Water System - Financial Plan and Rates 2.1 Financial Plan 2.1.1 Revenue Requirements A review of a utility's revenue requirements is a key step in the rate design process. The review involves analyses of annual operating revenues under the current rates, operation and maintenance (O&M) expenses, capital expenditures, transfers between funds, and reserve requirements.This section of the report provides a discussion on projected revenues, O&M and capital expenditures, the capital improvement financing plan, debt service requirements, and revenue adjustments required to ensure the fiscal sustainability of the Water Enterprise. 2.1.1.1 Revenuesfrom Current ores The current water rate structure consists of three components: a monthly service charge, a Lopez monthly base charge (both of which vary by meter size), and a volume charge (which is tiered for residential customers and uniform for non-residential customers).The projected water revenues for the Water Enterprise derived from current rates are shown in Table 2-1. Table - : Projected r Revenues at current HE 2013-14 s a a a a a Fixed Revenue $2,399,760 $2,399,760 $2,399,760 $2,399,760 $2,399,760 Variable Rate Revenue[1] $4,098,428 $4,016,460 $.3,97... .................. ..3 w,ww....,532 ..., , m..... ...7 6,295 $3,936,532 $3,897,167 Total Water Revenues $6,498,188 $6,416,220 $6,376,055 $6,336,292 mm$6,296,927 [1] An annual reduction in revenue is shown as water demand is assumed to reduce each year by the Water Demand Factor (listed in Table 1-2) to account for the continued need for customer to conserve water to meet SB7x-7 requirements of 20%reduction per capita by 2020. 2.1.1.2 O&M Expenses The City's Fiscal Year 2013-14 budget values and the assumed inflation factors for the study period were used as the basis for projecting 0&M costs.Table 2-2 shows total budgeted and projected C&M expenses, including debt, for Fiscal Year 2014-15 and subsequent four years of the study period. Table 2-2: Projected Water O&M Expenses a a a a a Total Operating Expenses $6,222,197 $6,337,049 $6,494,449 $6,626,335 $6,787,210 2.1.1.3 Capital Improvement Flan and Asset It R The City has adopted a long-term capital improvement plan (CIP) to address future Water Enterprise needs. Table 2-3 shows the most recent 5-year CIP from the City. The Water Enterprise's future CIP needs will be funded through proposed rates on a Pay-As-You-Go basis (PAYGO), as the City currently does not anticipate the use of debt-financing. Therefore, no debt is proposed to fund CIP for the Water Enterprise. -.. ._ Page 10 Table ter Capital Expenditures a. Leanna Drive Creek Crossing Upgrade $36,300 $290,400 SCADA Radio Upgrades $41,400 Reservoir 3 and 4 Coating and Seismic Evaluation $79,900 $638,800 Phased Mains Replacement-Fair Oaks $134,700 Reservoir 7 $509,200 Galvanized Service Replacement $35,000 $35,000 $35,000 $35,000 $35,000 Corporation Yard Upgrade $150,000 $15,000 Le Point Area Main Upgrade $38,000 $304,050 $397,400 $420,300 $711,800 $339,050 $544,200 [1]Please note that the costs presented in Table 2-3 only includes those costs related to the water portion of the project and not the entire cost. 2.1.1.4 Reserve Requirements To ensure a strong financial outlook and credit rating, RFC recommends a few adjustments to the City's current reserve policy. Currently,the City has an Operating Reserve equal to 60 days of the Water Enterprise's annual 0&M expenses plus$500,000 for ongoing capital.The following is the recommended reserves to maintain for the Water Enterprise Fund. Operating Reserve — The operating reserve is used primarily to meet ongoing cash flow requirements. Given that a majority of the City's water revenue is through its commodity charge (63% of revenue), RFC recommends increasing the operating reserve target from 60 days to 90-days of O&M expenses. As the potential of revenue volatility increases, reserves should be set at an amount to offset this revenue reliability. A 90-day reserve ensures working capital to support the operation, maintenance and administration of the utility. Maintaining this level of reserves also provides liquid funds for the continued ongoing operations of the utility in the event of unforeseen costs or interruption with the utility or the bi-monthly billing system. Capital Reserve — Based on the expected cost of the City's future CIP expenditure, RFC recommends maintaining a minimum capital reserve at the current amount of$500,000. Debt Service Reserve— Based on the outstanding debt obligation of the City for the Lopez Water Supply, it is recommended that the City establish a debt serve reserve equal to 1-year of annual debt (approximately $1.4M). This debt is not only an ongoing obligation, but it also funds the primary water source of the City. As such,the Lopez Water Supply is a critical asset of the City and establishing a reserve as security will ensure sufficient bond coverage and potentially mitigate future revenue increases caused by new projects associated with the Lopez Dam. The reserve can also be drawn upon during times of reduced consumption without affecting operations or scheduled capital improvement projects. Collectively, total minimum reserve target of the Water Utility would equal approximately $3.2M,which reflects approximately 220 days of liquid equity. __ — _ -- Page 11 2.1.1.5 Financial Pro Forma at Current Rates Table 2-4 displays a summary pro forma of the Water Enterprise's funds under current rates over the forecast period (Appendix "A" provides a detailed summary of Table 2-4). All projections shown in the table are based on the current rate structure and do not include any revenue adjustments. Under this scenario, revenues generated from rates and other miscellaneous revenues are slightly less than operating expenses of the Water Enterprise for Fiscal Year 2014-15; however, as 0&M costs increase through annual inflationary adjustments, current revenues cannot fully fund C&M, capital, and debt obligations without drawing down reserves each year. Commencing in Fiscal Year 2015-16, reserves would need to cover a shortfall of approximately $520,000. By Fiscal Year 2018-19, the draw on reserves would reach an amount slightly over$800,000. In addition, starting with Fiscal Year 2019-20, reserves would be $720,000 short of the recommended minimum target and would be fully depleted by Fiscal Year 2021-22. In addition, the City currently has debt obligations and corresponding bond covenants to fulfill on an annual basis. With current rate revenue, the City would not satisfy its 125% bond coverage ratio commencing in Fiscal Year 2018-19. In conclusion, the City will likely be unable to maintain fiscal sustainability and solvency under the current rates. Table 2-4:Financial Plan Pro-forma at r Rates Beginning Balances $5,867,131 $6,263,866 $6,232,158 $5,712,128 $5,367,283 $4,645„840 $3,830,757 $2,586,M S1„339,548 ($169,566( TOTAL REVENUES(FUND 640 and 641) $ 6,694/129 $ 6,610,788 $ 6,528,820 $ 6,488,655 $ 6,448,892 $ 6,409,527 $ 6,370,555 $ 6,331,973 $ 6,293,777 $ 6,255,963 TOTAL EXPENDITURES(FUND 640 and 641) $ (6,297,694) $ (6,642,497) $ (7,048,849) $ (6,833,499($ (7,170,535( $ (7,224,410) $ (7,614,767( $ (7,578,970) $ (7,802,891( $ (8,086,905( Total Water Enterprise Ending Fund Balance $ 6,263,866 $ 6,232,158 $ 5,712,128 $ 5,367,283 $ 4,645,640 $ 3,830,757 $ 2,586,545 $ 1,339,548 $ (169,566) $ (2,000,509) Total Water Enterprise Reserve Target $ 3,044,366 $ 3,124,841 $ 3,153,554 $ 3,192,904 $ 3,225,876 $ 3,,266,095 $ 3.,307,584 $ 3,,350,385 5 3,394,540 $ 3,440,093 Alert-Revenues<Desired Target N/A N/A N/A N/A N/A N/A $ (721,039) $(2,010,836) $ (3,564,105) $(5,440,601) Debt Coverage For COPS 366% 280% 1B2% 217% 1429'n'r ®.-. Page 12 2.1.2 Recommendations and Proposed Financial a 201,2.1 Proposed Revenue Adjustments To ensure that the Water Enterprise will have adequate revenues to fund operating expenses, capital expenditures, and comply with its bond covenants, it is recommended that the City implement revenue adjustments equal to 1%, 2%, 3%, 3%, and 3% for Fiscal Year 2014-15 through Fiscal Year 2018-19, respectively. These proposed revenue adjustments would occur on July 1st for each year of the five years, commencing on July 1, 2014. The proposed revenue adjustments would enable the Enterprise to complete the planned capital projects for the Study period while maintain reserves above the Enterprise's recommended minimum reserve levels. The proposed adjustments also allow the City to maintain compliance with its bond covenant of 125 percent coverage through the planning horizon. ®1,282 Proposed Financial A pro forma of the proposed revenue requirements is shown in Table 2-5 below (Appendix "B" provides a detailed summary of Table 2-5). The proposed revenue requirements account for the City's financial needs, meeting target reserve balances and achieving positive net revenues through the study period while addressing the City's O&M and CIP needs. Additionally, the Water Enterprise will satisfy its debt reserve requirement of 125% in future years. Table Ten-Year Water Enterprise Proposed Financial I an-Pro-for Beglnning Balances $5,867,131 $6,263,866 $6,297,139 $5,970,879 $6,015,650 $5,862,897 $5,859,709 $5,613,636 $5,584„96'6 $5,489,21,8 TOTAL REVENUES(FUND 600 and 641) $ 6,694,429 $ 6,675,770 $ 6,722,589 $ 6,878,270 $ 7,037,782 $ 7,201,223 $ 7,368,694 $ 7,540,299 $ 7,716,144 $ 7,896,339 TOTAL EXPENDITURES(FUND 690 and 643J $ 16,297,694)$ 16,642,497) $ (7,048,849) $ (6,833,4991 $ (7,170,535)$ 17,224,410)$ 17,614,767) $ 17,578,970)$ 17,802,891)$ (8,086,905) Total Water Enterprise Ending Fund Balance $ 6,263,866 $ 6,297,139 $ 5,970,879 $ 6,015,650 $ 5,882,897 $ 5,859,709 $ 5,613,636 $ 5,574,965 $ 5,488,218 $ 5,297,653 Total Water Enterprise Reserve Target $ 3,044,366 $ 3,124,841 $ 3,153,554 $ 3,192,904 $ 3,225,876 $ 3,266,095 $ 3,307,584 $ 3,350,385 $ 3,394,540 $ 3,440,093 Alert-Revenues,Desired Target N/A N/A N/A N/A N/A N/A N/A N/A N/A N/A Debt Coverage for COPS 366% 293% 221% 295% 260% 282% 237% 279% 269% 248% 2.1.2.3 ®Ye r r ose Financial Outlook Although the pro forma reflect a ten-year planning horizon, recommended revenue adjustments are only for the next five years and the figures below reflect Fiscal Year 2014-15 through Fiscal Year 2018-19. Figures 2-1, 2-2, 2-3 and 2-4 illustrate the projected five-year financial plan for the Water Enterprise. Figure 2-1 displays the proposed and expected revenue adjustments through Fiscal Year 2018-19 (3% annual adjustments). Figure 2-2 illustrates the operating position of the Water Enterprise, where the expenses, inclusive of reserve funding, are shown by stacked bars and total revenues at current rates and proposed rates are shown by the horizontal trend lines, where proposed revenue is above the bars. Figure 2-3 summarizes the projected CIP and its funding sources, which is 100% PAYGO funding. There is no debt shown because the proposed financial plan does not Propose any new debt. The ending total fund balance for the water utility — inclusive of both the operating and capital funds — is projected and shown in Figure 2-4, where the horizontal trend line indicates the target reserve balance as recommended by the reserve requirements discussed in Section 2.1.1.4. ------ -- ---- ..m.,w Page 13 Figure ® a Proposed and ec a Revenue Adjustments Rev Adjustment Revenue Adjustments & Debt Coverage 4% 350% 3% 300% 3% �m i iiiim i�i i 1 250% 2% 200% 2% 150% 1% 100% 1% 50% f 0% ,_..... .,,.� �.,..,. .... „ .,,...... �,..... 0% FY 2015 FY 2016 FY 2017 FY 2018 FY 2019 j° ll�llllllllllllllllllllllllllllllli Revenue Adjustment Debt Coverage Alert balances Debt Coverage Req. Figure 2®2e Proposed Operating i ci I Plan Ope�rating Financial Plan $8.0 $7.0 o �.. $6.0 $5.0 $4.0 r 3.0 $2.0 " $1.0 $0.0 FY 2015 FY 2016 FY 2017 FY 2018 FY 2019 f`; �—, -------- 04UI Expenses am Debt Service swaim,Other Transfers Revenues to Fund Balance Current Revenues —fro osed Revenue _,,,.. .. Page 14 Figure ® o Projected CIP and Funding o rces for Water Enterprise Funds Expenditure CIP $0.s $0.7 $0.7 r $0.6 1� o $0.5 04 g $0.4 $0.3 r $0.3 ! $0.2 i $0.1 FY 2015 FY 2016 FY 2017 FY 2018 FY 2019 Debt Funded uuu PAYGO Annual CIP Figure 2®4a Projected Ending Balances for Water Enterprise Funds Total Reserve Balance e $7.0 ' o '= $6.0 $5.0 � J $4.0 9 r $3.0 J, $2.0 $1.0 $0.0 FY 2015 FY 2016 FY 2017 FY 2018 FY 2019 ......Ending Balance m wMinimum Balance �`'� Alert Balance ➢lYli�r GLJJJiv riu� iv�rn.vrrrvrrrnrnm,,�rri;rurmmrd au^,nnry nnr, rr,...,,�,, Page 15 m..... �. ... _................. .2 Rate Design 2.2.1 Rate Methodology Background Proposition 218 (California Constitution Article 13D)states that: 1. A property-related charge (such as water rates) imposed by a public agency on a parcel shall not exceed the funds required to provide the property related service. 2. Revenues derived by the charge shall not be used for any other purpose other than that for which the charge was imposed. 3. The amount of the charge imposed upon any parcel shall not exceed the proportional cost of service attributable to the parcel. 4. No charge may be imposed for a service unless that service is actually used or immediately available to the owner of property. 5. A written notice of the proposed charge shall be mailed to the record owner of each parcel at least 45 days prior to the public hearing,when the agency considers all written protests against the charge. Prop 218 ensures that Water Rates cannot be "arbitrary and capricious," meaning that the rate- setting methodology must be sound and that there must be a nexus between costs and the rate charge. In the Rate Methodology, RFC ensures that all aspects of Proposition 218 are followed and that it creates rates that charge customers equitably. In addition, as stated in the American Water Works Association (AWWA) Manual M1, "the costs of water rates and charges should be recovered from classes of customers in proportion to the cost of serving those customers." In conjunction with Proposition 218, Article X (2) of the State Constitution established the need to preserve the State's water supplies and to discourage the wasteful or unreasonable use of water by encouraging conservation. In addition,Section 106 of the Water Code declares that the highest use of water is for domestic purposes, and irrigation is secondary. In connection with meeting the objectives of Article X, Water Code Sections 370 (AB2882) and 375 authorize a water purveyor to utilize its water rate design to incentivize the efficient use of water. Although incentives to conserve water could be provided by implementing a higher rate for water as consumption increases, a nexus between rates and cost incurred to provide water at those rates must be developed to achieve compliance with Proposition 218. For this analysis, consumption and peaking characteristics of customers as well as available water supplies of the City were analyzed to appropriately allocate costs between customer classes. Variable costs were separated into two discrete components (base and peak costs) to reflect the cost incurred by the Water Utility. Furthermore, for residential customers, costs were further apportioned between defined tiers to determine the proportional share of cost incurred by such tier. This approach synchronizes the objectives of Article X (2) and Proposition 218 in developing a cost of service tiered rate structure. ®,�.e ...__ .___,. ___,. _ e Page 16 2.2.2 Rate Methodology The enterprise's revenue requirements are, by definition,the cost of providing service. This cost is then used as the basis to develop unit costs for the water components and to allocate costs to the various customer classes in proportion to the water services rendered. The concept of proportionate allocation to customer classes requires that allocations should consider not only the average quantity of water used but also the peak rate at which it is consumed. This is because the water system is designed to handle peak demands, and the additional costs associated with design, construction and maintenance of facilities specified to meet these peak demands need to be allocated to those incurring such costs so that the costs can be recovered appropriately. This study calculated water rates based on Fiscal Year 2013-14 as the base year for the new rates to be proposed. The annual revenue requirements or costs of service to be recovered from rates include C&M expenses, debt service and coverage, water supply, capital costs, and funding of reserves. O&M expenses include costs directly related to the supply, treatment, and distribution of water as well as routine maintenance of system facilities. The total Fiscal Year 2014-15 cost of service to be recovered through rates from the water enterprise's customers, shown in Table 2-6 on the following page, is estimated at approximately $65M. The cost of service analysis is based upon the premise that the utility must generate annual revenues adequate to meet the estimated annual revenue requirements. To allocate the cost of service among the different customer classes, costs first need to be allocated to the appropriate water cost components. The following section describes the allocation of the operating and capital costs of service to the appropriate parameters of the water system. .2.3 Functional Cost Components The total cost of water service is analyzed by system function in order to equitably distribute costs of service to the various classes of customers. For this analysis, water utility costs of service are assigned under the Base-Extra Capacity method to three basic functional cost components: base costs, extra capacity or peaking costs, and customer service-related costs. This method is consistent with the American Water Works Association M1 Manual, and is widely used in the water industry to design rates for retail customers. Table 2-6 shows a summary by function for each year of the five-year study period, and Table 2-7 provides a breakdown of the City's revenue requirements by functional cost components, using a ten-year annual average to account for how costs are incurred overtime. me �.. Page 17 Table Revenue Requirements by Function-HE 2014 HE 2 IMPRIMIS • 100.0% 44.1% 16.1% . % 11.4% 15.7% 10.5% Fiscal Year Ending HE 2015 $6,563,170 $2,891,533 $1,056,757 $149,939 $747,887 $1,027,856 $689,199 HE 2016 $6,609,989 $2,912,160 $1,064,295 $151,008 $753,222 $1,035,188 $694,115 HE 2017 $6,765,670 $2,980,749 $1,089,362 $154,565 $770,962 $1,059,569 $710,463 HE 2018 $6,925,182 $3,051,025 $1,115,045 $158,209 $789,139 $1,084,550 $727,213 HE 2019 $7,088,623 $3,123,032 $1,141,362 $161,943 $807,763 $1,110,147 $744,376 Table -7® Detailed Revenue Requirements by Function 10-Year Average Total Water Expenses Custorner Meters& Fire Description (30-Yr Average) •. Service Services Protectio %A11-tion 100.0% r Total Allocation 8,809,020 4Warile.µ&goo•AAm In, 21"C6 p824 - •. 118,412 118,412 = Salaries&Ben-Prod, 115,751 28,938 28,938 28,938 28,938 SatAri,n A Ren.Qistc 361,869 90,467 90,467 - 90,467 90,467 - Office Expense 6,169 - - 5,159 Postage/Mailing 22,928 - - 22,928 Advertising 688 » - 688 - Contractual Services 139,974 139,974 - - - Wa ter Treatment Services 17,196 17,196 Pre-Employment Physicals 229 - - 229 - - Telephone 917 917 - Travel/Conference/Tmining 2,293 - - - 2,293 - - Memberships&Subscriptions 1,261 - - 1,261 Bank Charges 43,391 » - - 43,391 - Insurance Claims/Settlements 31,445 - 31,445 - Insurance-Underground Tanks 503 - - 503 - Maintenance-Office Equipment 1,146 - - 1,146 .. Contractual Services 174,710 174,710 Power(Production) 125,779 - 125,779 - - Maintenance-Machinery&Equip 22,928 22,928 - - - - Water Meters 40,124 - - - - 40,124 Special Dept..Supplies 4,586 4,686 Small Tools 2,866 2,866 Chemicals 27,513 27,513 Contractual Services 22,928 22,928 » Pre-Employment Physicals 344 344 Power(Distribution) 76,467 - - 75,467 - - Travel/Conference/Training 3,439 - - - 3,439 - Rent-Equipment 1,146 1,146 - - - Maintenance-Vehicles 8,163 8,163 - - Maintenance-Machinery&Equipment 6,997 6,997 - - Maintenance-Buildings 2,332 2,332 Gas&Oil 20,125 10,705 9,420 - - Maintenance-Reservoirs 5,831 2,047 1,801 - 1,982 Maintenance-Wells/Lines/Pumps 58,306 20,469 18,013 - - - 19,824 Maintenance-Meters 4,664 • - 4,664 .. Conservation Programs 50,796 - 50,796 - Existing Debt Service 8,800 a - 8,800 - Direct Personnel Transfers 628,659 - 314,330 314,330 Direct Operating Transfers 257,855 64,464 64,464 128,928 - Cost Allocation Transfers 396,402 - - 198,201 198,201 - Lopez Maintenance&Operations-Routine 1,649,489 1,649,489 » w - LopezMaintenance&Operations-Non-Routine 74,621 39,692 34,929 - LopezMaintenance&Operations-Pigging 101,062 53,757 47,306 - - - LopezMaintenance&Operations-Capital Overlay 254,653 135,464 119,199 - - - LopezCostAllocationTransfer 352,858 352,858 - - »- - - Lopez Debt Service 498,827 109,742 109,742 - 109,742 169,601 SRF Debt Service 929,829 204,562 204,562 - 204,562 316,142 Leanna Drive Creek Crossing Upgrade ' 290,400 154,468 135,932 » Reservoir 3 and 4 Coating and Seismic Evaluation 718,700 158,114 158,114 » 158,114 244,358 Reservoir 509,200 112,024 112,024 112,024 173,128 Galvanized Service Replacement ' 140,000 74,468 65,532 - - - CorporationYardUpgrade r 15,000 7,979 7,021 - - - - LePoiniAxeaMainlUpamde+ 342,050 181,941 160,109 - - em ............ ...m Page 18 Revenue requirements for monthly fixed charges include customer service costs, a portion of peaking costs, and fire protection through the servicing of public hydrants (private fire line connections have a separate monthly fixed charge schedule). Customer costs include such costs as meter reading, billing, collecting, and accounting. Meter service costs include maintenance and capital costs associated with meters and a portion of the capacity related costs. Proposition 218 requires a nexus between the rates and costs of providing service. To meet this requirement, RFC has conducted cost of service analysis and has identified two different rate components of the commodity rates which include delivery and peaking costs. DELIVERY COSTS Delivery costs, also commonly referred to as Base costs, are those operating and capital costs of the water system associated with delivering water to all customers at a constant average rate of use. Therefore, delivery costs are spread over all units of water, irrespective of customer classes or tiers,to calculate a uniform rate. Ex-rRA CAPACITY COSTS Extra capacity or peaking costs represent those costs incurred to meet customer peak demands for water in excess of a baseline usage. Total extra capacity costs are apportioned between maximum day and maximum hour demands based on the type of expense. The maximum day demand is the maximum amount of water used in a single day in a year. The maximum hour demand is the maximum usage in an hour on the maximum usage day. Different facilities are designed to meet different peaking characteristics. Therefore, extra capacity costs include capital improvements and power related costs, and have been apportioned between base, maximum day, and maximum hour. Costs allocated to base are part of the delivery costs as defined above. 2.2.4 Proposed Rate Structure FIXED CHARGES Customer service costs include customer-related and meter-related costs. Customer costs are uniform for all customers and include such costs as meter reading, billing, collecting and accounting, and fire protection for 840 public fire hydrants (reference is made to Appendix "C" for cost allocation between hydrant and private fire lines). Currently, the City's fixed monthly water charge generates approximately 37% of total revenue and as part of the new rate structure; RFC maintained a similar percentage of revenue from the fixed monthly charge to maintain the current level of revenue stability (37% Fixed/63%Variable). --- --- Page 19 Meter service costs include maintenance and capital costs associated with meters and a portion of the capacity related costs. RFC utilized the American Water Works Association meter service cost ratios in calculating the meter component of the fixed charge. These costs are assigned based on meter size. Based on these ratios, the City's 6,340 accounts have a meter equivalency of 6,937. Table 2-8 shows the fixed charge separated between costs apportioned evenly over all units and meter equivalencies. Table 2-9 shows the proposed Fiscal Year 2014-15 monthly charge by meter size, and Table 2-10A shows the proposed five-year monthly service charges. The total proposed meter charge includes both the billing and customer service charge and the meter component charge. Table 2-10B shows the proposed five-year monthly service charges for Private Fire Lines by size of connection. Table Fixed are Calculation-5/8"Meter MINa- INONNIN Customer Service $747,887 $753,222 $770,962 $789,139 $807,763 Total Units 8,423 8,423 8,423 8,423 8,423 Customer Service per Unit $7.40 $7.45 $7.63 $7.81 $7.99 h IIO I I q. IIII. Meter&Services $1,027,856 $1,035,188 $1,059,569 $1,084,550 $1,110,147 Fire Protection(Public Hydrants) $628,373 $632,856 $647,761 $663,033 $678,681 Meter Service Equivalency 6,926 6,926 6,926 6,926 6,926 Meter&Services per ME $19.93 $20.07 $20.54 $21.03 $21.52 Base Fix Charge 5/8" Meter $27.33 $27.52 $28.17 $28.83 $29.51 Table 2-9:Proposed FYE Service Charges M$26.08 1.00 W $7.40 $27.33 i U $1.25 5/8" 3/4" 1.10 i $7.40 $21.92 $29.32 $26.08 i $3.24 1" 1.40 a. $7.40 $27.90 $35.30 $36.06 ! ($0.76) 11/2" 1.80 i $7.40 $35.87 $43.27 $46.44 i ($3.17) 2" 2.90 i $7.40 $57.79 $65.19 $59.83 i $5.36 3" 11.00 $7.40 $219.20 $226.60 $101.21 ! $125.39 4" 14.00 $7.40 $278.98 $286.38 $122.26 i $164.12 6" 21.00 i $7.40 $418.47 $425.87 $168.21 i $257.66 8" 29.00 ! $7.40 $577.89 $585.29 $219.40 ! $365.89 _, ..... Page 20 Table 2-10A: Proposed Five-Year Monthly Service Charges 5/8" $27.33 $27.52 $28.17 $28.83 $29.51 3/4" $29.32 $29.53 $30.22 $30.94 $31.67 1" $35.30 $35.55 $36.39 $37.24 $38.12 11/2" $43.27 $43.58 $44.60 $45.65 $46.73 2" $65.19 $65.65 $67.20 $68.78 $70.41 3" $226.60 $228.21 $233.59 $239.10 $244.74 4" $286.38 $288.42 $295.21 $302.17 $309.31 6" $425.87 $428.91 $439.01 $449.36 $459.96 8" $585.29 $589.46 $603.34 $617.57 $632.14 Table Proposed Five-Year Monthly Private Fire Line Service Charges m 2" $3.47 $3.49 $3.57 $3.66 $3.74 3" $10.07 $10.14 $10.38 $10.63 $10.88 4" $21.46 $21.61 $22.12 $22.64 $23.18 6" $62.34 $62.78 $64.26 $65.78 $67.33 8" $132.85 $133.79 $136.94 $140.17 $143.48 10" $238.90 $240.61 $246.27 $252.08 $258.03 VARIABLE CHARGES Similar to the City's current rate structure, approximately 63 percent of the City's utility revenue requirements are proposed to be recovered from a variable charge, or based on the amount of water used. Variable costs include base and peaking. Base costs are apportioned over total applicable billable units regardless of customer class, which include costs such as water treatment services and chemicals. As such, base costs are divided by all units of water. Doing so derives a base cost per unit of water. Costs associated with peaking, which primarily includes capital improvements and power, are first apportioned to each defined customer class based on their total demand (total water used weighted by peak factor). Peaking was calculated for each customer class based on the consumption files,which ensures that accounts within each customer class will only recover the costs allocated to their respective customer class and no account is subsidizing any other account. Table 2-11 takes the variable costs for Fiscal Year 2014-15 associated with base costs to calculate a rate per unit of water and Table 2-12 shows Fiscal Year 2014-15 peak costs allocated between residential and non-residential customers. Table 2-13 is the sum of cost in Tables 2-11 and 2-12 for each distinct customer class. _� ro...... ...., m, r...... ...... .. �. Page 21 Table - Base Variable Cost—FYE 2015 Rate per Unit ccf HIMME m id m m m Residential 907,705 78.55% $2,271,249 $ 2.55 Non-Residential 142,535 12.33% $356,650 $ 2.55 Irrigation 105,362 9.12% $263,635 $ 2.55 1,155,602 100.00% $2,891,533 Table - Allocation of ea Costs between Customer Classes 01; Residential 1.50 3,742 79.43% $958,440 Non-Residenti 1.29 503 10.67% $128,736 9.90 $119, 19 Irrigation 1.62 467 % 5 4,711 100% $1,206,696 Table 2-13:Total Variable Costs by Customer Class 0111MIRM, Residential $ 2,271,249 $ 958,440 $ 3,229,689 Non-Residential $ 356,650 $ 128,736 $ 485,386 Irrigation $ 2.63,635 $ 119,519 $ 383,154 $ 2,891,533 $ 1,206,696 $ 4,098,229 Once base costs are calculated and peak costs are allocated to each customer class, the next step is to design the most equitable and appropriate rate structure to recover such costs from the corresponding customer class. Similar to the existing rate structure, the proposed variable rates for residential customers are tiered and,for non-residential customers the rate is uniform. RESIDENTIAL RATE STRUCTURE For residential customers, the variable charges (base and peaking) are further apportioned between three distinct tiers. The goal of the first tier is to provide for basic indoor water use; the second tier to provide for outdoor irrigation; and the third tier for excessive use or to encourage conservation. This is consistent with State laws regarding the highest and most efficient use of water. Tier 1 is calculated by the base winter quarter average, equal to approximately 75 gallons per day per capita (with a city density factor of 2.45), which is used as a proxy for determining indoor usage. However, based on the analysis of usage patterns and the fluctuations in usage during the winter quarter, RFC recommends that the allotment for Tier 1 be slighted adjusted from 12 to 18 CCF per SFR & MFR unit. Tier 2 is designed to account for an additional allotment for outdoor irrigation needs of 18 CCF per SFR unit and 9 CCF per MFR unit Page 22 (which typically have less outdoor landscape area when compared to SFR). Therefore, in reviewing the consumption patterns and peak use during the summer quarter average, Tier 2 captures the average bi-monthly summer use of single family residential customers equal to approximately 32 CCF and approximately 24 CCF for a multi-family unit. Tier 3 captures any additional usage above the amount budgeted in Tiers 1 and 2. With these defined tiers and allotments, the functional variable costs are then applied to each tier. Similar to how maximum day and maximum hour costs were apportioned between customer classes, the total residential annualized variable costs (base & peak costs) in Fiscal Year 2014-15, equal to $3,229,689 for residential customers, are further apportioned between the defined tiers based on the peaking characteristics generated by customers within each tier, where Tier 1 is considered the base level (no peak; equal to 1.0). Table 2-14 calculate the rate per unit(CCF)of each Residential Tier for Fiscal Year 2014-15. Table -1 4:Residential Pea s s by Tier Description Base Max Day Tier 1 Tier 2 Tier 3 Residential Base%Share 78.55% 79.43% 63.2% 22.8% 14.0% FYE 2015 Projected Consumption 562,009 203,007 124,535 Peaking Factor by Tier 1,00 1.44 3,,01 Weighted Peak Factor 562,009 292,839 374,982 Peak%Share 46% 24% 30% TOTAL ALLOCATION $ 2,891,533 $ 1,206,696 Allocation to Residential 2,271,249 958,440 1,872,939 746,547 610,203 Unit Cost $ 3.33 $ 3.67 $ 4.89 Page 23 Table 2-15 and Table 2-16 show the proposed allotments and five-year residential tiered rates. Table -1a Proposed Allotments and Five-Year Single-Family Residential Tiered Rates( /ccf) Tier 1 18 $ 3.33 $ 3.42 $ 3.54 $ 3.66 $ 3.78 Tier 2 36 $ 3.67 $ 3.76 $ 3.90 $ 4.03 $ 4.16 Tier 3 >36 $ 4.89 $ 5.02 $ 5.19 $ 5.37 $ 5.55 Table - Proposed Allotments and Five-Year Multi-Family esi a is l Unit Tiered Rates /cc ) p I Tier 1 18 $ 3.33 $ 3.42 $ 3.54 $ 3.66 $ 3.78 Tier 2 9 $ 3.67 $ 3.76 $ 3.90 $ 4.03 $ 4.16 Tier 3 >27 $ 4.89 $ 5.02 $ 5.19 $ 5.37 $ 5.55 NON-RESIDENTIAL RATE STRUCTURE For non-residential customers and irrigation customers, all variable charges including peak costs are summed to derive a uniform rate per CCF rather than a tiered rate structure. Customers other than residential vary considerably in size, use profile and needs, which makes it impractical and inequitable to place them in a "one size fits all" tiered rate structure without additional detailed data and analysis on type of business and related water demand for such business to determine appropriate allotments for efficient use. For example, a bookstore and a coffee shop exhibit drastically different water needs. However, despite not being tiered, the uniform rate structure is built on the same cost components, and the amount of Peak costs allocated to Non-residential and Irrigation is fully recovered by the customer class. Therefore, Non-Residential customers are paying their fair share of incurred costs. Table 2-18 identifies the rate per unit for Fiscal Year 2014-15 through Fiscal Year 2018-19. Table 2-18: Proposed Five-Year Non-Residential Rates($/ccf Variable Costs $485,386 $488,848 $500,362 $512,159 $524,246 Consumption 139,684 136,891 135,522 134,167 132,825 Uniform Rate $3.47 $3.57 $3.69 $3.82 $3.95 Variable Costs $383,154 $385,887 $394,976 $404,288 $413,830 Consumption 103,255 101,189 100,178 99,176 98,184 Uniform Rate $3.71 $3.81 $3.94 $4.08 $4.21 Page 24 a ...._. ..... .-. 2.2.5 Residential hate Impacts Bill distribution and customer impact analyses reflect the City's policies in terms of promoting the meeting of SB x7-7 targets and the principle of affordability for essential use. Figure 2-5 shows total usage by tier and number of bills that fall within such tier. Figure 2-6A shows the single-family customer impact of the new proposed rates versus current rates at 18 ccf for the next five-years and Figure 2-6B (on the following page) reflects a single-family residential customer at 31 ccf. Figure 2-5:Customer s a and Bill Distribution %Usage or %Bills 70.0% 59.3`36 60.0% 50.0% 45.8% 40.0% 34.6% 30.0% 25.4% 19.7% P 20.0% 15.2% 10.0% 0.0% .�...... , Tier i Tier 2 Tier 3 Tier 4 of Residential Usage �%of Residential Bills t Figure 2-6Ae Single-Family Residential Customer Impacts @ 18 ccf $140 ..... $1.27.07 $1 15.04 $114.59 $116.60 $120.06 $1 23,55' $120 _. $100 - $80 $60 $40 $20 $0 Current 2015 2016 2017 2018 2019 ■Fixed Charge M Commodity Charges MMMOzM:1=M1z=M=M=W=M=M= Fixed Charge $ 52.16 $ 54,65 $" 55.04 $ 5634 $ . 57„67 $ 59.03 Additional Unit Charge $ $ $ $ $ $ Commodity Charges $ 62„88 $ 5934 $ 61.56 $ 63.72 $ 65,88 '$ 68.04 Total Charges $ 115.04 $ 114.59 $ 116.60 $ 120.06 $ 123.55 $ 127.07 $Change N/A $ (0.45) $ 2.01 $ 3.46 $ 3.49 $ 3.52 %Change N/A -0.4% 1.8% 3.0% 2.9% 2.8% Page 25 Figure -7Ao Single—Fancily Residential Customer Impacts @ 31 ccf $200 _ _ __ _. •. ,$ $175.9 $'1`81.28 $180 m $163.66 ,,...$162s30� . . $165.6�.�,. 4 $160 .. $140 . $120 . 100 �..... $80 _ $60 m...., •_ ®� v.. _ __ $40 „a $20 $0 Current 2015 2016 2017 2018 2019 ■Fixed Charge hill,Commodity Charges Rued har$e 5246 $ k" ' $ $5,0 ,$ 5",67 '54,03> Additional Unit Charge $ $ $ $ $ - $ -- mrnotll pChar'g s, $ 107,$ 1,`M57 $ 11 ', 118„21” 1212$ Total Charges $ 163.66 $ 162.30 $ 165.61 $ 170.76 $ 175.94 $ 181.28 $Change N/A $ (1.36) $ '331 $ 5.15 $ 5.18 $ 5.34 %Change N/A -0.8% 2.0% 3.1% 3.0% 3.0% ®.., ®• __ Page 26 � � 3 Wastewater System — Financial Plan 3.3 Financial Plan 3.3.1 Revenue Requirements A review ofa utility's revenue requirements is a key step in the rote design process. The review involves on analysis of annual operating revenues under the current rates, O&M expenses' capital expenditures, transfers between funds, and reserve requirements. This section of the report provides a discussion on projected revenues' O&M and capital expenditures, the capital improvement financing plan, debt service requirements, and revenue adjustments required to ensure the fiscal sustainability and solvency of the Wastewater Enterprise. 3.3.1.1 Revenuesfrom Current Rates The current wastewater (VVVV) rate structure consists of monthly base service charges (by dwelling unit) for all customer classes and a discharge or commodity rate per hundred cubic feet([CF). Current WW rates are shown in Tables 3'1 and 3'2. Table 3-1:Current WW Monthly Base Charges IN Is Inside City $2.40 Outside City $3.00 Table 3-2:Current VVUV Volume Charges[$ ccf Mil n.....-A.Wri., Location Inside City Outside City Business $1.32 $1.65 Church $1.32 $1.65 School $1.32 $1.65 Hospital $1.32 $1.65 Convalescent Home $1.32 $1.65 Table 3-] provides a summary ofVVVVEDUs for Fiscal Year JO13'l4. Similar to the analysis in � the Water Fund, a zero percent growth rate was assumed. � | � Page 27 Table 3-3:QyWK Accounts/Units Summary in le-Family Residential Customers 5,852 Iti-Family Residential–each unit 1,682 Business 596 Church 15 School 14 Hospital 83 Motel 300 Convalescent Home 183 Other 0 Total WW Customers 8,725 The WIN revenues are derived from current rates and accounts, and are shown in Table 3-4. Table 3-4:WW Revenues Sewer Base Charges: $1,092,478 $1,092,478 $1,092,478 $1,092,478 $1,092,478 3.3.1.2 O&M Expenses O&M expenses include the costs of operating and maintaining the wastewater collection as well os other administrative costs such as customer service and billing. The City's Fiscal Year 2013-14 budget values and the assumed inflation factors for the study period (as shown in Table 2-1)were used as the basis for projecting O&M costs.Table 3-5 summarizes projected O&M expenses for the wastewater enterprise. The VVVV O&M expenses are projected to increase at approximately three percent per year. Table 3-5: Projected WW O&M Expenses l,',T!otal Operating Expenditures: $960,280 $907,880 $922,137 $936,822 $951,947 $967,525 Page 28 — 3.3.1.3 Capital Improvement Plan The City has adopted a long-term capital improvement plan (CIP) to address the WW Enterprise's future needs. Table 4-5 shows the total expected CIP construction cost by year for the first five years of the ten-year study period. The figures are per the Sewer Master Plan and are adjusted for inflation. These projects will be funded through proposed rate revenues(PAYGO).There is no debt proposed to fund CIP for the WW enterprise. Table 3-6:WW CIP Adjusted For inflation m MEOW 101,111 111 Total CIP Plan: $352,290 $190,500 $246,900 $201,512 $219,427 $562,000 3.3.1.4 Reserve Requirements To ensure fiscal sustainability and the continued operation of the WW enterprise, RFC recommends that the following reserve level targets be met. Operating Reserve —The operating reserve is used primarily to meet ongoing cash flow requirements. Given that a majority of the City's wastewater revenue is through its discharge rates (75% of revenue), RFC recommends that the City increase its operating reserve target from 60 days to 90-days of O&M expenses. As the potential of revenue volatility increases, reserves should be set at an amount to offset this revenue reliability. A 90-day reserve ensures working capital to support the operation, maintenance and administration of the utility. Maintaining this level of reserves also provides liquid funds for the continued ongoing operations of the utility in the event of unforeseen costs or interruption with the utility or the bi-monthly billing system. Capital Reserve — Based on the relatively low expected cost of the City's future CIP expenditure, RFC recommends that the City continues to maintain a target capital reserve level equal to 100 percent of the enterprise's expected annual CIP expenses. 3.2 Fii cf al Pro Forma Current es Table 4-6 displays the pro forma of the WW Enterprise's funds under current rates over the forecast period. All projections shown in the table are based on the current rate structure and do not include any rate adjustments or proceeds from additional debt issuances. Under this scenario, revenues generated from current rates and other miscellaneous revenues are sufficient to recover all operating expenses of the WW Enterprise.As a result, it is projected that the City will be able to maintain fiscal sustainability and solvency under their current Fiscal Year 2012-13 rates and; therefore, rate adjustments are not necessary at this point in time.As capital costs fluctuate from year-to-year, reserves are used when necessary. ____ --------- _____ Page 29 Table 3-7: Detailed Fi ial Plan Pro-forma at Current a es Revenues from Current pates Budgeted Revenue $0 Service Charges $252,324 $252,324 $252,324 $252,324 $252,324 $252,324 $252,324 $252,324 $252,324 $252,324 qdm xhop C.A. g;'6 Ytp'Pi7„N°i4 '484RDo4"nd '$8A'4$VA $844,'d94 5840&.,r4 s84'0;8144 $iG1YY„154 984D3» "y8A4,y94 51 1'51 Total Revenues from Current pates: p $1,091}478 54,092,4719 $4„092,478 $3,092,478 $%,RM%'k„+478 $1',09'4.4I8 SY UNA'.,ayp $4.01,470 $Y,p42.+tP'$p��� $1,011,144 Revenues Total Revenue from Rates $1,092,478 $1,092,478 $1,092,478 $1,092,478 $1,092,478 $1,092,478 $1,092,478 $1,092,478 $1,092,478 $1,092,478 Other Operating Revenues $16,000 $16,000 $16,000 $16,000 $16,000 $16,000 $16,000 $16,000 $16,000 $16,000 Total Operating Revenues $1,108,478 $1,108,478 $1,108,478 $1, 8,478...$1,108,478 __$1,308,476 $1,108,478 $1,108,476 $1,108,478 $1,108,478 10 Expenditures Total Operating Expenditures $276,380 $295,580 $294,122 $302,921 $311,982 $321,315 $330,928 $340,828 $351,024 $361,526 Net Revenues Prior to Debt Payment $832,098 $822,898 SB14,356 $805,557 $796,496 $787,163 $777,550 $767,650 $757,454 $746,951 Non-Operating Expenditures Existing Debt Service $21,000 $21,000 $21,000 $21,000 $21,000 $21,Boo $21,000 $21,000 $21,000 $21,000 Proposed Debt Service $0 $0 $0 $0 $0 $0 $0 $0 $0 $0 Total Nan-Operating Expenditures $21,000 $21,000 $21,000 $21,000 $21,000 $2_1,000 $21,OOD $21,000................521,000 $21,000• Net Revenues after Debt Payment $811,098 $801,898 $793,356 $784,557 $775,496 $766,163 $756,550 $746,650 $736,454 $725,951 Operating Reserve Balances Beginning Balances $670,013 $697,021 $965,679 $956,262 $1,069,909 $1,142,648 $949,130 $817,620 $971,586 $914,674 Transfer Out-Personnel ($288,500) ($293,840) ($302,655) ($311,735) ($321,087) ($330,720) ($340,641) ($350,860) ($361,386) ($372,228) Transfer Out-Operating ($69,000) ($72,5001 ($74,675) ($76,915) ($79,223) ($81,599) ($84,047) ($86,569) ($89,166) ($91,841) Transfer Out-Cast Allocation ($69,3001 ($71,400) ($73,542) ($75,748) ($78,021) ($00,361) ($82,772) ($85,255) ($87,813) ($90,447) Transfer Out-USDA City Hall Loan ($5,0D0) ($5,000) ($5,000) ($5,000) ($5,000) ($5,000) ($5,000) ($51000) ($5,000) ($5,000) �n Emu n ld 311 4....�$��.�����.� 9fiLo�f�r �r� 9$W'�L i$�� ( c��g�� &�xi�,�_6� 11�v'r_ Net Income(too)after Transfers $27,008 $160,658 $90,583 $113,647 $72,738 ($293,517) ($31,510) $153,966 ($56,911) $111,436 Ending Balances $697,021 $965,679 $956,262 $1,069,909 $1,142,648 $849,130 $817,620 $971,586 $914,674 $1,026,110 Target Balances(%of Operating Expenditure plus CIP) $675,795 $680,830 $686,249 $691,830 $697,578 $703,499 $709,597 $715,878 $722,347 $729,011 Debt Coverage N/A N/A N/A N/A N/A N/A N/A N/A N/A N/A 3.3.3 Recommendations and se d Financi 3.3.3.1 Proposed Revenue Adjustments The WW Enterprise is currently financial solvent and it is recommended that the City maintain the current rate structure.The financial plan illustrates the Wastewater Enterprise will be financial solvent for the next five years and on; therefore no revenue adjustments are required. Figures 3-1, 3-2, and 3-3 illustrate the projected five-year financial plan for the Wastewater Enterprise. Figure 3-1 illustrates the operating position of the Wastewater Enterprise, where the expenses, inclusive of reserve funding, are shown by stacked bars and total revenue at current rates is shown by the horizontal trend line. Figure 3-2 summarizes the projected CIP and its funding sources of 100% PAYGO. There is no debt shown because the proposed financial plan does not propose debt. The ending total fund balance for the WW utility-inclusive of both the operating and capital funds-is projected and shown in Figure 3-3, where the horizontal trend line indicates the target reserve balance as recommended by the reserve requirements discussed in Section 3.1.2. �. ....... .. - ----- Page 30 Figure ® o Five-Year WW Operating Financial Plan �Q�Iieiumdng Finallicial Plasm N $1.5 0 $0.5 $0.0 -$0.5 FY 2015 FY 2016 FY 2017 FY 2018 FY 2019 O&M Expenses t•Debt Service Other Transfers L CIP Transfer E=Revenues to Fund Balance ��������� Current Revenues Proposed Revenue Figure 3-2e Projected CIP and Funding Sources for WW Funds CIP Expenditure $0.6 f' $0.5 $0.4 y $03 -x $0 2 $ r $0 0.2 2 $0 2 $0.1 -I I I I I'111",_,,-,,,,,,- I,1i ,, , $-r FY 2015 FY 2016 FY 2017 FY 2018 FY 2019 Debt Funded a PAYGO Annual CIP Figure -3o Projected Ending lances for WW Funds Total Fund Balance J' 1.0f ' l $0.8 1, $0.6 0.4 i $0.2 FY 2015 FY,2016 FY 2017 FV"2018 FY 2019 �IIIIIIIIIIIIIIIV Ending Balance Minimum Balance 0 Alert Balance ✓rr�r,a,,,,,,ruuu. u,,,,uuu�n,��y^r^ ,^„ ^aa»m.rte,,,,,%�^r^waxrr^�mm�»r, »uu r ro�� ax r yvv;�m�,ruri�, ,�mrz,x+^w�,�,�, ,,,,., �rug^,,, .,,.,., ��;,,„ .,,,nwra,.. a ... . . ,. Page 31 3.4 Proposed WW Rates As a part of this study, RFC developed the proposed financial plan which illustrates that the Wastewater Enterprise is currently and will remain financial solvent for the next five years as shown in in Figures 3-1 and 3-3. Although capital costs in Fiscal Year 2018-19 exceed the annual revenue, the enterprise has adequate reserves to fund the necessary capital and is replenished in subsequent years. As such, a Proposition 218 noticing is not required for the City's Wastewater Enterprise as the current rates provide sufficient funding for costs incurred and reserves. .. _. _ Page 32 .............. EXHIBIT"A"—SINGLE-FAMILY RESIDENTIAL WATER RATE COMPARISON BI-Monthly Water Bills near Arroyo Grande $350.00 $300.00 $250.00 $200-00 $150-00 $100,00 $S0100 ■Fixed Charge E Commodity Charge(31hcf) ..............................11111-1-11111111-111.1, The bi-monthly comparison is based on the City's annual bi-monthly average equal to 31 ccf, Page33 - — -- --—-----—-_____- -------------_-----__------------------------- .... ............................................................................................................................. ............-................................... ............. .............. ....................... EXHIBIT"B"—RESIDENTIAL WASTEWATER RATE COMPARISON BI-Monthly Sewer Bills near Arroyo Grande $160.00 $140.00 $120.00 $100.00 $80.00 $60.00, $20.00 $0.00" *ARROYO Oceano CSD Grover Beach Templeton San Miguel Pismo Beach NlpomoCSD Cambria CSD Morro Bay San Luis Avila Beach GRANDE CSD CSD Obispo CSD (Current) ■Fixed Charge E Commodity Charge(15hcf) For variable component,15 CCF was assumed for comparison. Page 34 .... .... ................ ........................................................................ .... ......................................... ------ -------—---- ----------------------------------- -------- Appendix"A"-Detailed Financial a Pro-forma at Current s Revenues from Current Rates w Service Charges $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 Service Charges-Fire Lines $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 Calcuated Lopez Base Meter Charge $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 Calculater Lopez Addtl,Unit Charge $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 Volume Cha rges $4,182,070 $4,098,428 $4,016,460 $3,97fi,295 $3,936,532 $3,897,167 $3,856,195 $3,819,613 $3,781,417 $3,743,603 _,�... ....................... ..................��,.-„.ww w ......................... ........... Total Revenues from Current Rates: $6,581,829 $6,498,188 $6,416,220 $6,376,055 $6,336,292 $6,296,927 $6,257,955 $6,219,373 $6,181,177 $6,143,363 Revenues Total Revenue From Rates $6,581,829 $6,498,188 $6,416,220 $6,376,055 $6,336,292 $6,296,927 $6,257,955 $6,219,373 $6,181,177 $6,143,363 Other Operating Revenues $83,600 $83600 $83,600 $83,600 $83,600 $83,600 $83,600 $83,600 $83,600 $83,600 Total Operating Revenues $6,665,429 $6,581,788 $6,499,820 $6,459,655 $6,419,892 $6,380,527 $6,341,555 $6,302,973 $6,264,777 $6,226,963 Expenditures Salaries&Ben-Admin,. $122,395 $221,067 $227,699 $234,530 $241,566 $248,813 $256,277 $263,965 $271,884 $280,041 Salaries&Ben-Prod,. $100,970 $103,999 $107,119 $110,333 $113,643 $117,052 $120,563 $124,180 $127,906 $131,743 Salaries&Ben-Distr.. $315,660 $325,130 $334,884 $344,930 $355,278 $365,936 $376,915 $388,222 $399,869 $411,865 Supplies&Maint, $742,750 $819,334 $848,427 $878,613 $909,937 $942,443 $976,181 $1,011,198 $1,047,547 $1,085,282 Total Operating Expenditures $1,281,775 $1,469,530 $1,518,128 $1,568,406 $1,620,423 $1,674,245 $1,729,936 $1,787,566 $1,847,206 $1,908,930 Total Non-Operating Expenditures $8,800 $8,800 $8,800 $8,800 $8,800 $6,800 $8,800 $8,800 $8,800 $8,800 Net Revenues after Debt Payment $5,374,854 $5,103,458 $4,972,891 $4,882,449 $4,790,669 $4,697,482 $4,602,819 $4,506,607 $4,408,771 $4,309,232 Operating Reserve Balances Beginning Balances $3,079,998 $5,526,852 $8,077,741 $10,171,799 $12,512,359 $14,519,108 $16,501,684 $18,126,072 $19,820,947 $21,329,177 Direct Personnel Transfers ($508,400) ($568,770 ($585,833) ($603,408) ($621,510) ($640,156) ($659,360) ($679,141) ($699,515) ($720,501) Direct Operating Transfers ($231,800) ($231,000) ($237,930) ($245,068) ($252,420) ($259,993) ($267,792) ($275,826) ($284,101) ($292,624) Cost Allocation Transfers ($316,900) ($359,000) ($369,770) ($380,863) ($392,289) ($404,058) ($416,179) ($428,665) ($441,525) ($454,770) Transfer Out-Lopez Fund ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) Tmnlfer,, CIP Fund 1$T7.,400) (5470,300) 1$711,8001 $339,050 SS44,20'fl) P$417,700) (${ 'C'00) 0454,6,009 (S'S01"J'Lq Q$ 3,700il, Ending Balances $6,026,852 $8,077,741 $10,171,799 $12,512,359 $14,519,108 $16,501,684 $18,126,072 $19,820,947 $21,329,177 $22,593,314 Appropriation for Capital ($500,000) $0 $0 $0 $0 $0 $0 $0 $0 $0 Ending Balance Fund 640 $5,526,852 $8,077,741 $10,171,799 $12,512,359 $14,519,108 $16,501,694 $18,126,072 $19,820,947 $21,329,177 $22,593,314 Target Balances $1,115,710 $1,196,185 $1,224,898 $1,264,248 $1,297,220 $1,337,439 $1,378,928 $1,421,729 $1,465,884 $1,511,437 Revenues Transfer In-640 Fund(30%of Obligation) $973,500 $973,500 $973,500 $973,500 $973,SOO $973,500 $973,500 $973,500 $973,500 $973,500 OB Late Payment Penalty $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 Interest $8,500 $8,500 $8,500 $8,500 $8,500 $8,500 $8,500 _$8,500 $8,500 $8,500 Total Operating Revenues $1,002,500 $1,002,500 $1,002,500 $1,002,500 $1,002,500 $1,002,500 $1,002,500 _ $1,002,500___$1,002,5Do $1,002,500 Operating Expenditures Lopez Maintenance&Operations-Routine $1,482,923 $1,512,581 $1,542,833 $1,573,690 $1,605,164 $1,653,319 $1,702,918 $1,754,006 $1,806,626 $1,860,825 Lopez Maintenance&Operations-Non-Routine $67,086 $68,428 $69,796 $71,192 $72,616 $74,794 $77,038 $79,349 $81,730 $84,182 Lopez Maintenance&Operations-Pigging $61,419 $58,725 $183,043 $0 $0 $0 $0 $0 $0 $0 Lopez Maintenance&Operations-Capital Overlay $204,735 $199,673 $65,715 $278,025 $278,025 $286,366 $294,957 $303,805 $312,920 $322,307 Lopez Cost Allocation Transfer $307,800 $317,034 $326,545 $336,341 $346,432 $356,825 $367,529 $378,555 $389,912 $401,609 Total Operating Expenditures $2,123,963 $2,156,441 $2,187,932 $2,259,248 $2,302,237 $2,371,304 $2,442,443 $2,515,716 $2,591,188 $2,668,923 Non-Operating Expenditures Lopez Debt Service $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 SRF Debt Service $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 Lopez Bad Debt Expense $0 $0 $0 $0 $0 $0 $0 $0 $0 $0 Total Non-Operating Expenditures $1,428,656 $1,428,656 $1,428,656 $1,428 428 ,656 $1, ,656 $1,428,656 $1,428,656 1,428,656 $1,428,656 $1,428,656 TOTAL REVENUES(FUND 640 and 641) $ 6,694,429 $ 6,610,788 $ 6,528,820 $ 6,488,655 $ 6,448,892 $ 6,409,527 $ 6,370,555 $ 6,331,973 $ 6,293,777 $ 6,255,963 TOTAL EXPENDITURES(FUND 640 and 641) $ (4,869,038) $ (5,213,841) $ (5,620,193) $ (5,404,843) $ (5,741,879) $ (5,79_5,7_5_4) $ (6,186,111) $ (6,150,314) $ (6,374,235) $ (6,658,249) Net Revenue for Debt Coverage Calculation $ 1,825,391 $ 1,396,947 $ 908,626 $ 1,083,812 $ 707,013 $ 613,773 $ 184,444 $ 181,659 $ (80,458) $ (402,286) Debt Coverage for COPS 366% 280% 182% 217% 14.2% Now Total Water Enterprise Ending Fund Balance $ 6,263,866 $ 6,232,158 $ 5,712,128 $ 5,367,283 $ 4,645,640 $ 3,830,757 $ 2,586,545 $ 1,339,548 $ (169,566) $ (2,000,508) Total Water Enterprise Reserve Target $ 3,044,366 $ 3,124,841 $ 3,153,554 $ 3,192,904 $ 3,225,876 $ 3,266,095 $ 3,307,584 $ 3,350,385 $ 3,394,540 $ 3,440,093 Alert-Revenues<Desired Target N/A N/A N/A N/A N/A N/A $ (721,039) $ (2,010,836) $ (3,564,105) $ (5,440,601) .......... ......... ...... .... .. Page 35 Appendix"B"-Detailed Financial Plan Pro-forma at Proposed Rates Revenues from Current Rates Service Charges $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 $462,505 Service Charges-Fire Lines $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 $16,984 Calcuated Lopez Base Meter Charge $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 $1,635,354 Calculater Lopez Addtl.Unit Charge $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 $284,917 Volume Cha rges $4,102,070 $4,098,428 $4,016,460 $3,976,295 $3,936,532 $3,897,167 $3,858,195 $3,819,613 $3,781,417 $3,743,603 Total Revenues from Current Rates: $6,581,829 $6,498,188 $6,416,220 $6,376,055 $6,336,292 $6,296,927 $6,257,955 $6,219,373 $6,181,177 $6,143,363 •P B. Revenues Total Revenue from Rates $6,581,829 $6,563,170 $6,609,989 $6,765,670 $6,925,182 $7,088,623 $7,256,094 $7,427,699 $7,603,544 $7,783,739 Other Operating Revenues $83,600 $83,600 $83,600 $83,600 $83,600 $83,600 $83,600 $83,600 $83,600 $83,600 .._.........._._. Total.......erat................_._._es Operating Revenues $6,665,429 $6,646,770 $6,693,589 $6,849,270 $7,008,752 $7,172,223 $7,339,694 $7,511,299 $7,687,144 $7,867,339 Expenditures Salaries&Ben-Admin.. $122,395 $221,067 $227,699 $234,530 $241,566 $248,813 $256,277 $263,965 $271,884 $280,041 Salaries&Ben-Prod,. $100,970 $103,999 $107,119 $110,333 $113,643 $117,052 $120,563 $124,180 $127,906 $131,743 Salaries&Ben-Distr,. $315,660 $325,130 $334,884 $344,930 $355,278 $365,936 $376,915 $388,222 $399,869 $411,865 Supplies&Maint. $742,750 $819,334 $848,427 $878,613 $909,937 $942,443 $976,181 $1,011,198 $1,047,547 $1,085,282 Total Operating Expenditures $1,281,775 $1,469,530 $1,518,128 $1,568,406 $1,620,423 $1,674,245 $1,729,936 $1,787,566 $1,847,206 $1,908,930 Total Non-Operating Expenditures $8,800 $6,800 $81800 $8,800 $8,800 $6,800 $8,800 $8,500 $8,800 $8,800 Net Revenues after Debt Payment $5,374,854 $5,168,440 $5,166,661 $5,272,064 $5,379,559 $5,489,175 $5,600,958 $5,714,933 $5,831,138 $5,949,609 Operating Reserve Balances Beginning Balances $3,079,995 $5,526,552 $8,142,722 $10,430,550 $13,160,726 $15,756,365 $18,530,637 $21,153,163 $24,056,364 $26,986,961 Direct Personnel Transfers ($508,400) ($568,770) ($585,833) ($603,408) ($621,510) ($640,156) ($659,360) ($679,141) ($699,515) ($720,501) Direct Operating Transfers ($231,800) ($231,000) ($237,930) ($245,068) ($252,420) ($259,993) ($267,792) ($275,826) ($284,101) ($292,624) Cost Allocation Transfers ($316,900) ($359,000) ($369,770) ($380,863) ($392,289) ($404,058) ($416,179) ($428,665) ($441,525) ($454,770) Transfer Out-Lopez Fund ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) ($973,500) Transfers out-CIP Fund ($397,400) ($420300) $711,800) ($339,050) $544,200) ($437,200) ($661,600) ($454,600) ($501,900) ($603,700)m Ending Balances $6,026,552 $8,142,722 $10,430,550 $13,160,726 $15,756,365 $18,530,637 $21,153,163 $24,056,364 $26,986,961 $29,891,474 Appropriation for Capital ($500,000). $o $o $o $0 So $0 .. $o............ .. $0__ .....5o... Ending Balance Fund 640 $5,526,552 $8,142,722 $10,430,550 $13,160,726 $15,756,365 $18,530,637 $21,153,163 $24,056,364 $26,986,961 $29,891,474 Target Balances $1,115,710 $1,196,185 $1,224,898 $1,264,248 $1,297,220 $1,337,439 $1,378,928 $1,421,729 $1,465,884 $1,511,437 i Revenues Transfer In-640 Fund(30%of Obligation) $973,500 $973,500 $973,500 $973,500 $973,500 $973,500 $973,500 $973,500 $973,500 $973,500 OB Late Payment Penalty $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 $20,500 Interest $0,520 $8,500 $8,500 $8,500 $8,500 $8,500 $8,500 $8,500 55,500 $8,500 Total Operating Revenues $1,002,500 $1,002,500 $1,002,500 $1,002,500 $1,002,500 $1,002,500 $1,002,500 $1,002,500 $1,002,500 $1,002,500 Operating Expenditures Lopez Maintenance&Operations-Routine $1,482,923 $1,512,581 $1,542,833 $1,573,690 $1,605,164 $1,653,319 $1,702,918 $1,754,006 $1,806,626 $1,860,825 Lopez Maintenance&Operations-Non-Routine $67,086 $68,428 $69,796 $71,192 $72,616 $74,794 $77,038 $79,349 $81,730 $84,182 Lopez Maintenance&Operations-Pigging $61,419 $58,725 $183,043 $0 $0 $0 $0 $0 $0 $0 Lopez Maintenance&Operations-Capital Overlay $204,735 $199,673 $65,715 $278,025 $278,025 $286,366 $294,957 $303,805 $312,920 $322,307 Lopez Cost Allocation Transfer $307,800 $317,034 $326,545 $336,341 $346,432 $356,825 $367,529 $378,555 $389,912 $401,609 Total Operating Expenditures $2,123,963 $2,156,441 $2,187,932 $2,259,248 $2,302,237 $2,371,304 $2,442,443 $2,515,716 $2,591,185 $2,668,923 Nan-Operating Expenditures Lopez Debt Service $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 $498,827 SRF Debt Service $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 $929,829 Lopez Bad Debt Expense $0 $0 $0 $0 $0 $0 $0 $0 $0 SO Total Non-Operating Expenditures $1,428,656 $1,428,656 $1,428,656 $1,428,656 $1,428,656 $1,428,656 $1,428,656 $1,428,656 $1,428,656 $1,428,656 TOTAL REVENUES(FUND 640 and 6411 $ 6,694,429 $ 6,675,770 $ 6,722,589 $ 6,878,270 $ 7,037,782 $ 7,201,223 $ 7,368,694 $ 7,540,299 $ 7,716,144 $ 7,896,339 TOTAL EXPENDITURES(FUND 640 and 641) $ (4,869,038) $ (5,213,841) $ (5,620,193) $ (5,404,843) $ (5,741,879) $ (5,795,754) $ (6,186,111) $ (6,150,314) $ (6,374,235) $ (6,658,249) Net Revenue for Debt Coverage Calculation $ 1,825,391 $ 1,461,929 $ 1,102,396 $ 1,473,427 $ 1,295,903 $ 1,405,468 $ 1,182,583 $ 1,389,985 $ 1,341,910 $ 1,238,091 Debt Coverage for COPS 366% 293% 221% 295% 260% 282% 237% 279% 269% 248% ppi Total Water Enterprise Ending Fund Balance $ 6,263,866 5 6,297,139 $ 5,970,579 $ 6,015,650 5 5,882,897 $ 5,859,709 $ 5,613,636 $ 5,574,965 $ 5,488,218 $ 5,297,653 Total Water Enterprise Reserve Target $ 3,044,366 $ 3,124,841 $ 3,153,554 $ 3,192,904 $ 3,225,876 $ 3,266,095 $ 3,307,584 $ 3,350,385 $ 3,394,540 $ 3,440,093 Alert-Revenues<Desired Target N/A N/A N/A N/A N/A N/A N/A N/A N/A N/A [11 The ten-year pro forma also reflects 3%revenue adjustments from FY 2019-20 through FY 2022-23 Page 36 Appendix"C"®Public Hydrant/Private Fire Line Cost Allocation mml q., mmmm FYE 2015 Cost $689,199 Public Hydrants 91.17% $628,373 6" 111.31 840 93,501 Private Lines 8.83% $60,825 2" 6.19 6 37 3" 17.98 1 18 4" 38.32 54 2,069 6" 11231 5=2 5,788 8" 237.21 3 712 101, 426.58 1 427 Total 102,552 100.00% $689,199 Page 37 EXHIBIT 8813®--WATER RATE SUMMARY Proposed Five-Year Monthly Service Charges 5/8" $27.33 $27.52 $28.17 $28.83 $29.511 3/4" $29.32 $29.53 $30.22 $30.94 $31.67 1" $35.30 $35.55 $36.39 $37.24 $38.12 11/2" $43.27 $43.58 $44.60 $45.65 $46.73 2" $65.19 $65.65 $67.20 $68.78 $70.41 3" $226.60 $228.21 $233.59 $239.10 $244.74 4" $286.38 $288.42 $295.21 $302.17 $309.31 6" $425.87 $428.91 $439.01 $449.36 $459.96 8" $585.29 $589.46 $603.34 $617.57 $632.14 Proposed Five-Year Monthly Private Fire Line Service Charges I 2" $3.47 $3.49 $3.57 $3.66 $3.74 3" $10.07 $10.14 $10.38 $10.63 $10.88 4" $21.46 $21.61 $22.12 $22.64 $23.18 6" $62.34 $62.78 $64.26 $65.78 $67.33 8" $132.85 $133.79 $136.94 $140.17 $143.48 10'" $238.90 $240.61 $246.27 $252.08 $258.03 Proposed BI-Monthly Allotments and ive-Year Single-Family Resi a i Tiered ate /cc ) Tier 1 18 $ 133 $ 3,42 $ 3.54 $ 3.66 $ 3.78 Tier 2 36 $ 167 $ 3.76 $ 190 $ 4,03 $ 4.16 Tier 3 >36 $ 4.89 $ 5,02 $ 5.19 $ 5.37 $ 5.55 Proposed i- I e s and ivetl ear Multi-Family Residential Unit Tiered Rates /cc EIRIEffiliffl, 10910SHIMENEM. Tier 1 18 $ 3,33 $ 3.42 $ 3.54 $ 3.66 $ 178 Tier 2 9 $ 167 $ 3.76 $ 3.90 $ 4.03 $ 4.16 Tier 3 >27 $ 4.89 $ 5.02 $ 5.19 $ 5.37 $ 5.55 Proposed Five-Year Non-Residential Rates( /ccf Uniform Rate $3.47 $3.57 $3.69 $3.82 $3.95 Uniform Rate $3.71 $3.81 $3.94 $4.08 $4.21 �u r m tlo m Total Costs $6,563,170 $6,609,989 $6,765,670 $6,925,182 $7,088,623 Consumption 1,155,602 1,155,602 1,155,602 1,155,602 1,155,602 Uniform Rate $5.68 $5.72 $5.85 $5.99 $6.13 m tl tl WI q m Variable Costs $2,187,388 $2,202,992 $2,254,878 $2,308,040 $2,362,512 Consumption 1,155,602 1,155,602 1,155,602 1,155,602 1,155,602 Uniform Rate $1.89 $1.91 $1.95 $2.00 $2.04 [1]Hydrant Rate includes all costs as a uniform variable rate and the Wheeling Rate excludes Lopez charges Page 38 _,._.. .m............ .. Sewer System Management Plan—Revision 01 Element 5—Design and Performance Standards Element 5 - Design and Performance Standards This section describes existing City standards that are in place and the process for revising them. It also covers compliance inspection standards that are existing and in use. Element 5 — Design & Standards Appendix • There is no Appendix for Element 5. 5.1 Regulatory Requirements The SSMP must identify design and construction standards and specifications for the installation of new sanitary sewer systems, pump stations and other appurtenances; and for the rehabilitation and repair of existing sanitary sewer systems. The SSMP must identify the procedures and standards for inspecting and testing the installation of new sewers, pumps, and other appurtenances and for rehabilitation and repair projects. 5.2 Design and Construction Standards The purpose of the Standards and Specifications is to provide minimum standards for the design, types and uses of materials, and the preparation of plans for construction, repair, or alteration of City sewer and water facilities. The following sections, from the City Municipal Code, address the standards expected by the City for conducting repairs or new construction related to the sewer system. ■ Chapter 13.12 Sewer Service System Section 13.12.120 —Sewer connections--Applications Section 13.12.130 — Private systems—Construction--Inspections Section 13.12.270 — Inspection required In particular, the City requires the use of the California Uniform Plumbing Code (UPC) and permits must be obtained prior to construction. All work must be completed based upon the UPC and alterations must be approved by the Director. If it is ever determined that the City's adopted Standards and Specifications are insufficient, the standards and specifications used will be those of the "Standard Specifications for Public Works Construction" also known as "the Green Book". 5.3 Inspection Standards The City's standard public works procedure requires work to be placed into service only after it is accepted by the Utilities Supervisor following satisfactory inspection and testing. The City provides continuous inspection during the construction of sewer facilities and believes that proper installation is the key to ensuring proper operation and maximum life expectancy. City of Arroyo Grande SSMP Page 5-1 Sewer System Management Plan—Revision 01 Element 5—Design and Performance Standards APPENDIX 5 City of Arroyo Grande No Appendix for Element 5 City of Arroyo Grande SSMP Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP Element 6 - Overflow Emergency Response Plan This element of the SSMP discusses the Overflow Emergency Response Plan (OERP) for the City of Arroyo Grande. The City has a pre-existing Emergency/Disaster Response Plan in place. It has been incorporated into this plan and expanded upon to meet the new requirements. Element 6 - OERP Appendix Supporting information for Element 6 shall be included in Appendix 6 which contains the following documents: • Incident Report Form • SSO Response Field Checklist Element 6 - OERP Support Documents (Planned) Supporting information for Element 6 which are planned for development will be attached to this element and include the following documents when complete: • Arroyo Grande Emergency Operating Procedures (EOPs) • Arroyo Grande Standard Operating Procedures (SOPs) 6.1 Regulatory Requirements The summarized requirements for the OERP element of the SSMP are as follows: The Agency must implement an OERP that identifies measures to protect public health and the environment. The plan is to include the following: 1. Proper notification procedures so that the primary responders and regulatory agencies are informed of all SSO's in a timely manner; 2. A program to ensure appropriate response to all overflows; 3. Procedures to ensure prompt notification to appropriate regulatory agencies and other potentially affected entities (e.g. health agencies, regional water boards, water purveyors, etc.) of all SSO's that potentially affect public health or reach the waters of the State. All SSO's shall be reported in accordance with the California Water Code, other State Laws, other applicable RWQCB WDR, and/or permit requirements. The SSMP identifies the officials who will receive immediate notification; 4. Procedures to ensure that appropriate Staff and contractor personnel are aware of and follow the OERP and are appropriately trained; 5. Procedures to address emergency operations, such as traffic and crowd control and other necessary response activities; and 6. A program to ensure that all reasonable steps are taken to contain untreated wastewater and prevent discharge of untreated wastewater to waters of the State. The program also must define steps to minimize and correct any adverse impact on the environment resulting from the SSO, including such accelerated or additional monitoring as may be necessary to determine the nature and impact of the discharge. City of Arroyo Grande SSMP Page 6-1 Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP 6.2 SSO Response Staff is on-call twenty-four (24) hours per day, seven (7) days per week. The goal for responding to an SSO during business hours is 15 minutes from receipt of call. During non-business hours, the City's goal for responding to a SSO is 30 minutes. The City has invested in Supervisory Control and Data Acquisition (SCADA) which allows for constant monitoring of Lift Station wet wells. This feature dispatches maintenance staff to the problem before there is a high level in the well and the potential for a spill. Staff can also review the performance of each facility via SCADA prior to responding to determine how serious the problem is and how heavy the flow is, so that a vacuum truck can be dispatched if necessary. City of Arroyo Grande operations, maintenance, and emergency response activities are funded annually through an adopted budget. Staff maintains all equipment necessary to maintain the sewer collection and conveyance system and respond to SSOs. Examples of this equipment are; Vactor Truck, sewer bypass pumps, service crane trucks, and spill containment materials. The City's policy is to respond to all spills within the City service area boundary and provide mutual aid outside the City boundary, whether on public or private property and to take all steps possible to prevent the spills from reaching the storm drains, flood control channels, or waters of the State. The City is enrolled in a mutual aid agreement for assistance with emergency response activities. Contact information for enrolled members can be found at www.calwarn.oLq. The City identified Emergency Operating Procedures (EOPs) to be developed for emergency response to SSOs to help ensure appropriate response to all SSOs. These procedures are planned to completed and implemented by the end of 2015 Element 2 of this SSMP addresses the organizational structure and responsibilities of City staff. City EOPs will also discuss roles and responsibilities for SSO response activities. The lines of authority during an emergency are shown in Figure 6-1. City of Arroyo Grande SSMP Page 6-2 Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP Figure 6-1 SSO Reporting Chain of Command Observer Notifies On-Call A ter-bours I Hs ardour Substances 805-4713 y-5460 Message Directs Caller 805-473-5100 Are Involved Utilities Public Works Supervisor Staff 805-473-5464 5 Cities Fire 805-473-5460 805-459-4859 Authority 805-473-5490 Public Works Director 805-473-5466 Utilities Supervisor If Hazardous SLO County 805-473-5464 Substances Are Involved EH/Haz Mat 805-45D-4859 Division 805-781-5544 Utilities Public Works Supervisor Director 805-473-5464 805-473-5466 805-459-4859 SSO Notification and Reporting to Appropriate Agencies City of Arroyo Grande SSMP Page 6-3 Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP Figure 6-2 Response/Notification Procedure for SSOs City of Arroyo Grande Procedures for Report of Wastewater Spill In the event of a report of a possible wastewater spill, or when staff is contacted concerning odors, standing water or an overflowing manhole, the following steps are taken to verify the report and ensure the safety of the public. 1. The call receiver (Public Works, Utilities Supervisor, Accounting Clerk, Answering Service, or 911 Operator) will obtain the location from the contact and any description they may have of the problem. Additionally, they will obtain the contact's name, phone number, and additional information as indicated on the SSO Response Field Checklist for follow-up information. SSO Response Field Checklist and Active Spill Estimate Worksheet are located in Appendix 6. 2. The call receiver will contact the on-duty staff by phone immediately and direct the operator to the described location. 3. The on-duty staff is to contact the supervisor and request appropriate support. The on- duty staff is to keep the administrative staff informed of progress as necessary. 4. Administrative Staff to notify Public Works Director, City Manager, Mayor and other City representatives as necessary and appropriate. 5. Utilities Supervisor or Public Works Director to notify all appropriate public agencies as necessary. SSO Notification Procedure SSO notification procedures vary based on whether the SSO is classified as a Category 1, Category 2, Category 3, or PLSD. After notifying the RWQCB of any SSO, the Utilities Supervisor or their designee should email RWQCB Staff, Katie DiSimone: kdisimone @waterboards.ca.gov to confirm that the report was submitted and received. Category 1 SSOs For any discharges of sewage that result in a discharge to a drainage channel or a surface water or to the City storm drain system and is not fully captured and returned to the sewer system or disposed of properly, the City shall, as soon as possible, but no later than two (2) hours after becoming aware of the discharge, notify the California Governor's Office of Emergency Services (Cal OES) at 1-800-852-7550. Category 2 SSOs For a SSO 1,000 gallons or greater in volume that does not discharge to a drainage channel or surface water, the Utilities Supervisor or their designee may email RWQCB Staff, Katie DiSimone, at kdisimone @waterboards.ca.gov to notify her of the SSO within 3 business days after becoming aware of the SSO. Category 3 SSOs If a SSO occurs due to a problem in the City's sanitary sewer collection system and does not reach a drainage channel, surface water, the City storm drain system, or is fully captured from the County storm drain system and returned to the sewer system or disposed of properly and is less than 1000 gallons in volume, the Utilities Supervisor or City of Arroyo Grande SSMP Page 6-4 Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP their designee may email RWQCB Staff, Katie DiSimone, at kdisimone @waterboards.ca.gov to notify her of the SSO within 30 calendar days after the end of the calendar month in which the SSO occurred. PLSDs The City may voluntarily notify regulatory agencies, such as the RWQCB, of a private lateral sewage discharge (PLSD). SWRCB encourages notifying Cal OES of a PLSD if the PLSD is greater than or equal to 1,000 gallons with the potential to reach surface water. SWRCB also encourages notifying the appropriate regulatory agencies (see list of potential agencies in Element 2: Organization) or notifying the responsible party that notification and reporting should be completed as required by Health and Safety Code Section 5410 et. seq. and Water Code Section 13271 if the PLSD is greater than or equal to 1,000 gallons regardless of the SSO destination. 6. Upon completion of containment and clean-up, Utilities Supervisor or their designee to complete report, as required, to RWQCB and any other required agencies (as described in Section 6 above). 7. Public Works Maintenance staff will fill out the SSO Response Field Checklist in its entirety and forward this document to the Utilities Supervisor or their designee for submission into CIWQS database. Staff will upload data within the required timeframes and assign an SSO event ID number. This ID number shall be placed on the form and documented in the program files. Copies of this document/ID number shall be returned to the City offices for record keeping along with all other spill documentation. City of Arroyo Grande SSMP Page 6-5 Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP Figure 6-3 Plan for Reporting on CIWQS II7�m Notification is voluntary.SWRCB F-,tth SO due t o a problem or blockage encourages calling Cal OES at(800) privately owned sewer lateral? Certify No Spills in CIWQS within 30 852-7550 and notifying them of days ofthe end of that month. PLSDs>_1000 gallons with the potential to reach a surface water. IIla1�� Did any volume of the SSO reach a surface water or drainage channel? Reporting is voluntary,and certification is not required.SVVRCB encourages reporting or encouraging the responsible partyto 1di report PLSDs>_1000 gallons. Did the SSO reach the City storm drain system,and was it not fully captured and returned to the sewer system or disposed of ye,,, properly? IIM10� Was the SSO>_1000 gallons? Ifthe SSO is-1000 gallons,Cal ^I OES must be called at(800)852- 7550 as soon as possible,but no later than 2 hours,after City is \ IIa1d notified of the SSO. Maynotify Katie DiSimone at RWQCB by email (kdisimone @waterboards.ca.gov) a Confirm that Katie DiSimone at the within 3 business days after RWQCB received the SSO becoming aware ofthe SSO. notification by emailing her at (kdisimone @waterboards.ca.gov) I i! within 3 business days of becoming aware of the SSO. Draft Reports must be submitted at May notify Katie DiSimone at the RINQCB by CIWQS within 3 business days after email(kdisimone @waterboards.ca.gov)within 30 becoming aware ofthe SSO. calendar days after the end ofthe month in which the SSO occurred. Draft Reports must be submitted at CIWQS within 3 business days after becoming aware ofthe SSO. Final Reports must be certified Must be reported in CIWQS and certified within through ClVVQS within 15 calendar 30 calendar days after the end ofthe calendar days ofthe end date ofthe SSO. month in which the SSO occurred. Final Reports must be certified through CIWQS within 15 calendar days ofthe end date ofthe SSO. City of Arroyo Grande SSMP Page 6-6 M!MAY d;0 P,1bL4�. Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP 6.3 SSO Categories and Reporting Timeframes 6.3.1 SSO Reporting Procedure SSO reporting procedures vary based on whether the SSO is classified as a Category 1, Category 2, Category 3, or PLSD. 6.3.2 Category 1 SSOs Draft reports for Category 1 SSOs shall be submitted in CIWQS within three (3) business days of the City becoming aware of the SSO. Final reports for Category 1 SSOs shall be certified in CIWQS within fifteen (15) calendar days of the end date of the SSO. If CIWQS is not available for the submission of the Draft or Final SSO report, the required information must be faxed to RWQCB at (805) 543-0397. For all Category 1 SSOs greater than or equal to 50,000 gallons, the City must also submit a Technical Report within 45 calendar days of the end date of the SSO. The required information is outlined below and includes descriptions, diagrams, other documents and information, which outline the causes and circumstances of the SSO, the City's response to the SSO, and the water quality monitoring performed to evaluation the impact of the SSO: • Causes and Circumstances of the SSO: 1. Complete and detailed explanation of how and when the SSO was discovered. 2. Diagram showing the SSO failure point, appearance point(s), and final destination(s). 3. Detailed description of the methodology employed and available data used to calculate the volume of the SSO and, if applicable, the SSO volume recovered. 4. Detailed description of the cause(s) of the SSO. 5. Copies of original field crew records used to document the SSO. 6. Historical maintenance records for the failure location. • Enrollee's Response to SSO: 1. Chronological narrative description of all actions taken by enrollee to terminate the spill. 2. Explanation of how the SSMP Overflow Emergency Response Plan was implemented to respond to and mitigate the SSO. 3. Final corrective action(s) completed and/or planned to be completed, including a schedule for actions not yet completed. • Water Quality Monitoring: 1. Description of all water quality sampling activities conducted including analytical results and evaluation of the results. 2. Detailed location map illustrating all water quality sampling points. 6.3.3 Category 2 SSOs Draft reports for Category 2 SSOs shall be submitted in CIWQS within three (3) business days of the City becoming aware of the SSO. Final reports for Category 2 SSOs shall be certified in CIWQS within fifteen (15) calendar days of the end date of the SSO. If CIWQS is City of Arroyo Grande SSMP Page 6-7 Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP not available for the submission of the Draft or Final SSO report, the required information must be faxed to RWQCB at (805) 543-0397. 6.3.4 Category 3 SSOs Report and certify all Category 3 SSOs in CIWQS within thirty (30) calendar days after the end of the calendar month in which the SSO occurs. If CIWQS is not available, the required information must be faxed to RWQCB at (805) 543-0397. 6.3.5 PLSDs PLSDs may be voluntarily reported in CIWQS. SWRCB encourages reporting a PLSD in CIWQS or notifying the responsible party that notification and reporting should be completed as required by Health and Safety Code Section 5410 et. seq. and Water Code Section 13271 if the PLSD is greater than or equal to 1,000 gallons regardless of the SSO destination. If a PLSD is reported in CIWQS, the City must identify the SSO as occurring and caused by a private lateral, and a responsible party, who is not the City, should be identified, if known. Certification of PLSD reports is not required. 6.3.6 No Spill Certification If there are no SSOs during a calendar month, the City must certify a "No Spill" certification in CIWQS within thirty (30) calendar days after the end the calendar month in which no SSO occurred. If CIWQS is not available, the required information must be faxed to RWQCB at (805) 543-0397. If there are no SSOs during a calendar month, but the City reported a PLSD, the City shall certify a "No Spill" certification statement for that month. 6.3.7 Amended SSO Reports If the City wishes to update or add additional information to a certified SOS report, the City must complete this update or addition by amending the SSO report or adding an attachment to the SSO report in CIWQS within 120 calendar days after the SSO end date. If a SSO report needs to be amended after this 120 calendar day deadline, the City may contact the SSO Program Manager, Russell Norman, at Russell.Norman @waterboards.ca.gov and request to amend the SSO report. The City is required to submit justification for why the additional information was not available prior to the end of the 120 calendar day deadline with this request. 6.4 SSO Impact Mitigation The initial response to an SSO includes a service truck with traffic control equipment as well as equipment to cordon off the site from the public. The Police department is available as needed for site security. Operations Staff takes all reasonable steps to contain sewage and to prevent sewage discharges to surface waters. Upon arrival Operations Staff will determine the cause of the SSO and, utilizing the spill kit, will dike or sandbag off any drain inlets that flow to surface water bodies or to gutters. The City may use the storm drain system as a containment device if needed. The outlet to the storm drain is blocked and the spill and wash down water are then vacuumed from the line. In the event that the SSO comes into contact with surface water bodies, testing of those bodies will be completed to determine the level of contamination and the appropriate method of clean up. City of Arroyo Grande SSMP Page 6-8 Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP Based upon the location and type of overflow, operations Staff respond with appropriate equipment. On observation of the spill an estimate of gallons per minute will be made and a SSO Response Field Report will be completed. Equipment used may include a Vactor truck, a service truck equipped with traffic control devices, and the necessary containment tools. Containment tools include a spill kit, sandbags and plastic tarps. All drain inlets shall be covered with visqueen, plugs, or other barriers. Additional resources are available locally from other jurisdictions or through equipment rental agencies as the situation warrants. After the spill is contained, staff will then work to begin removing the main stoppage with the Vactor and return normal flow to the system. Cleanup of raw sewage is begun at the same time with vacuuming up the water and any solid material. Containment is followed by fresh water wash down (per San Luis Obispo County request). The Utilities Supervisor and/or Public Works Director are responsible for mitigation, documentation, most reporting, and follow-up. The City currently takes all reasonable steps to contain sewage and prevent sewage discharges to surface waters and minimize or correct any adverse impacts on the environment resulting from the SSO, including accelerated or additional monitoring as may be necessary to determine the nature and impact of the discharge. For mitigation purposes the Environmental Health (EH) Department provides City assistance in post-SSO monitoring. In the event of a spill, the EH Department is notified immediately along with other applicable agencies. The City then utilizes the EH Department for the service of monitoring water quality post-SSO. The City will also provide any necessary support, equipment, or Staff as requested to assist in the water quality monitoring. 6.5 Emergency Operating Procedures Emergency Operating Procedures (EOPs) are being developed in 2015 as part of the City's Overflow Emergency Response Plan (OERP). These procedures are developed to establish a standardized and appropriate response to SSOs within the City and establish compliance with the SSWDRs and will be completed and implemented by the end of 2015. The following EOPs will be included with this OERP: SS-EOP-1: Emergency Overflow Response Plan SS-EOP-2: SSO Regulatory Notification and Reporting Requirements SS-EOP-3: SSO Response Documentation SS-EOP-4: SSO Traffic and Crowd Control SS-EOP-5: SSO Volume Estimation SS-EOP-6: SSO Mitigation and Cleanup SS-EOP-7: SSO Water Quality Monitoring Arroyo Grande Creek SS-EOP-8: SSO Waterbody Closure SS-EOP-9: SSO Records Requirements SS-EOP-10: SSO Training Requirements 6.6 OERP Training The City's training plan will require staff to be trained on these procedures and the Overflow Emergency Response Plan annually. Additional training will be conducted as necessary when; new staff is introduced to the City's system, when changes are made to EOPs or the OERP, and when new equipment impacts the performance of these procedures City of Arroyo Grande SSMP Page 6-9 Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP The City's authorized representatives in wastewater operations and collection system matters are the Utilities Supervisor, Public Works Director, and City Manager. The Utilities Supervisor and Public Works Director are the Legally Responsible Officials (LRO) at this time to certify electronic spill reports submitted via the State-wide database, CIWQS. The Public Works Office Assistant is also authorized to submit SSO reports as a Data Submitter. City of Arroyo Grande SSMP Page 6-10 Sewer System Management Plan—Revision 01 Element 6—Sewer System Management Plan OERP APPENDIX 6 City of Arroyo Grande 6-1: City of Arroyo Grande Incident Report 6-2: SSO Response Field Checklist&Active Spill Estimation Worksheet u� City of Arroyo Grande SSMP "W?f+I.P.i4K;lF p,Jtlkry',yf,d.'`+ Appendix 6-1: K� CITY OF AttaChrnont 1 "V"fin w = A City of Arroyo,Graindle NP'.0,Brix 550, ., Arroyo Grande,CA 93421 805-473-5440 as L a r=0 ra P�t--fl„; Fax: 473-5443 CITY OF ARROYO, GRANDE INCIDENT REPORT ORT IMPORTANT: PLEASE GET ALL CONTACT INFORMATION FROM CALLER. THE CITY WAS FTNEI7 $65,000 AS A RESULT OF THE LAST SEWAGE SPILL, THE CITY IS ON NOTICE THAT OUR FAILURE 'TO ADE L ATELyY REACT TO, THE NEXT SPILL WILL RESULT IN A SIGNIFICANTLY LARGER FINE! Name Phone Address Locabon or address cat sewer concern,or complaint: Nearest cross street: Type of incident: 171 Spill 0 Odor Spill appearance point: D Pipeline 0 Manhole El Building or structure 13 Seeping from ground E! Sewer pump station 12 Other Private lateral'incident Name of responsible party(fear private lateral spill only, If known): Where did spill drain to? Check all that apply: 0 Creek ® Drainage basin 13 Other paved surface n Storm drain 0 Streeticurb and gutter 0 Surface water 0 unpaved surface El Other(specify below): Report taken by: Cate: Time: e u Appendix 6-2: City of Arroyo Grande SSO Response Field Checklist REPORTED BY Call Address: Caller Name: Phone: Receipt of Call: Date: / / Time: ❑AM ❑ PM Call Received By: SPILL START TIME NOTES If Yes, From: Manhole ❑ Cleanout❑ PLSD❑ Caller Interview: Is sewage spilling? ❑Yes ❑ No Inside Building ❑ Wet Well ❑ Time Caller noticed spill: ❑AM ❑ PM ❑ N/A Comments: If spill is Yes: Last time Caller observed NO Spill occurring: ❑AM ❑ PM Date: Comments: Ask Caller to describe spill: Suggested Questions: Is it currently spilling? How would you compare it to a garden hose running-Lull? How big would you say the wet stain is-compared to your driveway? What else can you tell me? Arrival Time: ❑AM ❑ PM SSO Discovery ❑AM ❑ PM On Site Interview 1: Name/Address: Observation Description: Time Observed Spill: _ ❑AM ❑ PM ❑ N/A On Site Interview 2: Name/Address: Observation Description: Time Observed Spill: ❑AM ❑ PM ❑ N/A **Attempts should be made to interview at least two(2) others in addition to the Caller. If nobody is available,document attempts(by address or passer-by) ** Page 1 of 4 e u City of Arroyo Grande SSO Response Field Checklist SPILL LOCATION � m Z�) 1 Observed: Spill from: ❑ Manhole ID_ ❑ Lift Station ID ❑ Clean Out Address Comments: ❑ Building Address Comments: Spill Destination: FIBuilding n Paved Surface n Storm Sys n Street/Curb/Gutter Unpaved Water Did spill reach: ❑ Drainage Channel ❑ Surface Water ❑ Stormwater System (not fully recovered) (If Yes,this is a Category 1 Spill) Discovered Entering Waterway AM PM ❑ N/A Determined Spill Category to be: AM PM **If Cat.j Contact Supervisor** SPILL RATE NOTES If Currently Spilling: Complete the"Active" Spill Estimation Worksheet NOTE: This must be performed prior to clearing the blockage or removing the MH lid. *** If Mainline blockage -inspect first MANHOLE DOWNSTREAM of blockage and note flow rate below*** ❑ No Flow in Channel ❑ Trickle flow in Channel ❑ Depth of flow in Channel inches Time: ❑AM ❑PM Describe how measurement was taken: CAUSE OF SPILL Failed at: n Mainline n Lower Lat. nUpper Lat. n Force Main n Lift Station Wet Well ❑ Spill Cause: Roots Grease Debris nVandalism Ca aci Design n Lift Sta. Fail ❑ F-1 Spill cause to be determined by CCTV inspection (Attach TV Report to this form) 0 Page 2 of 4 e u City of Arroyo Grande SSO Response Field Checklist SPILL CONTAINMENT Containment Implemented: AM PM " Containment Measures: CLEAN UP Clean Up begin: AM PM Gallons Used for Clean Up Gallons Retrieved Clean Up Complete: AM PM Water De-Chlorinated ❑Yes ❑ No Describe Clean Up Operations: OTHER IMPORTANT MILESTONES Contacted Supervisor: AM PM Requested Additional Staff/Equip: AM PM Spill End Time: AM PM Departure Time: AM PM AM PM AM PM AM PM Page 3 of 4 e u City of Arroyo Grande SSO Response Field Checklist REGULATORY AGENCY NOTIFICATION Report to CalOES: AM PM (Category 1 Only) (800) 852-7550 By: Control Number provided by CalOES: Name of Person Contacted: or Left Message: ❑ Report to RWQCB: AM PM (OPTIONAL) (805) 549-3147 By: " Name of Person Contacted: or Left Message: ❑ Report to AM PM Phone: By: Name of Person Contacted: or Left Message: ❑ Notes: Response Crew: Page 4 of 4 :m Iv �"..°4 1 A City of Arroyo Grande "Active" Spill Estimation Work Sheet Manhole I D: Cleanout Address: Photo(s) of Manhole ❑ Opening: 24-inch ❑ 36-inch Other: Time Measurements were taken: ❑ AM F-1 PM Pick Hole (Always 12:00) 12 Shade in Quadrant to A B Shade in Quadrant to indicate area(s)where indicate area(s)where water is pushing up 1/4" 9 3 water is pushing up /4" or more. or more. C D 6 °p"0' dfilu VQfWf Jlpq,,W4f✓,f 0 il lJ un d NON IiJ .......... Pick Hole Measured Height: inches Attach Photos Quadrant A Highest Measure: inches. % of Quadrant Spilling Quadrant B Highest Measure: inches. % of Quadrant Spilling Quadrant C Highest Measure: inches. % of Quadrant Spilling Quadrant D Highest Measure: inches. % of Quadrant Spilling -------------------------------------------- or Measured Height from Clean Out: inches (top of stack to top of water) Sewer System Management Plan—Revision 01 Element 7—Fats, Oils&Grease Control (FOG) Program Element 7 - Fats, Oils & Grease Control (FOG) Program The City of Arroyo Grande has an active FOG control and inspection program. As of 2014 approximately 60 facilities are enrolled in the FOG Program. The City remains very proactive in addressing its High Maintenance Areas (HMA) attributed to grease that have a history of minor blockages created by these substances. The City is very proud of its successful program. The City takes this program very seriously and is entering its eighth year of program implementation. Element 7 Operations and Maintenance Appendix Supporting information for Element 7 is located at the end of this section in Appendices 7 and contains the following documents: • List of Food Service Establishments (FSE) 2014 • FOG Inspection Form • FOG Permit Application • Public Outreach Materials for both residential and commercial customers • Grease Hauling and Rendering Companies List • Cleaning Log for Use by FSE 7.1 Regulatory Requirements The FOG source control program includes the following as appropriate: • An implementation plan and schedule for public education outreach program that promotes proper disposal of FOG. • An Ordinance establishing the legal authority of the District to prohibit FOG discharges to the system and identifies measures to prevent SSOs and blockages caused by FOG. • Requirements to install grease removal devices (such as traps or interceptors); the development of design standards for such devices, maintenance requirements, Best Management Practices (BMP) requirements; and record keeping and reporting requirements. • Establishes authority to inspect grease producing facilities and assesses whether the District has sufficient Staff to inspect and enforce the FOG ordinance. • An identification of sewer system sections subject to FOG blockages and establishment of a cleaning maintenance schedule for each section, • Development and implementation of source control measures for all sources of FOG discharged to the sewer system. 7.2 FOG Control Program Outreach The City's FOG Program outreach began in 2007 and it remains a major component of the SSMP program. Prior to program "kick off' the City, in partnership with South San Luis Obispo County Sanitation District (SSLOCSD), worked to inform FSEs of the FOG Program and its requirements. FOG information flyers were mailed to each FSE. Following the distribution of the flyers; FSE surveys and personal phone calls were made to each owner or manger of the facility. This allowed each affected party to ask questions and receive information regarding the FOG Program prior to any inspection of the facility. City of Arroyo Grande SSMP Page 7-1 Sewer System Management Plan—Revision 01 Element 7—Fats, Oils&Grease Control (FOG) Program The City has made available the following items to each facility within the city: • Best Management Practices (BMP) Booklet and training • Grease Hauler List • Cleaning Record Form (English and Spanish), • No Grease Poster Inspectors have these items available when an FSE is inspected. The cost of the program is included in the sewer rates. At this time permitting and inspection require no additional fees. Residential outreach is also an important element for reducing the amount of FOG entering the collection system. While requiring grease traps and interceptors is not possible to the residential community, education is. The City of Arroyo Grande is in the process of implementing a residential outreach program through the City's Newspaper, Stagecoach Express. In addition staff has developed door-hangers to place in High maintenance Areas (HMA). Specifically, a HMA area or "trouble spot" is an area that has identified FOG discharges that go directly to a lift station. Once the flyers have been distributed, the affected lift station is closely monitored for grease reductions to measure flyer outreach success. Newspaper articles may involve multiple sewer fund topics in addition to fats, oils and grease in order to provide public education in an economically feasible manner. The City's Newspaper Articles occur as an ongoing process as needed. 7.3 FOG Control Program Discussion The City of Arroyo Grande developed a FOG Inspection Program in July 2007 and utilizes the South San Luis Obispo County Sanitation District FOG Ordinance. This ordinance establishes the regulations and requirements governing the protection of the sewer system from fats, oils and grease. The goals of the FOG Control Program are to reduce the amount of fat, oils, and grease entering the sewer system, inspect all food service establishments for FOG violations, provide education to FSEs and reduce maintenance costs from grease related problems. Doing so should reduce the risk of Sanitary Sewer Overflows and increase the longevity of the sewer collection lines. The City's FOG Control Program meets all the guidelines required by the State and Regional Water Quality Control Board and includes following: • Restaurants and food service establishments (FSEs) that generate grease are required to obtain a Source Control/FOG Permit. • FSEs are inspected at a minimum of twice per year. FSEs may be inspected more frequently as determined by the City and/or as warranted by current program compliance and past history. • All FSEs are required to use best management practices (BMP) to reduce grease discharged to the sewer system (e.g.; store waste grease in barrels to haul off site, scrape remaining food off plates and into trash receptacle before washing). • Any FSE planning a remodel is required to include installation of a grease trap/interceptor. City of Arroyo Grande SSMP Page 7-2 Sewer System Management Plan—Revision 01 Element 7—Fats, Oils&Grease Control (FOG) Program • All new FSE construction will require installation of a grease trap/interceptor, regardless of size (type of foods produced may negate the need for trap installation; a variance will be issued in lieu of permit for trap installation). • Exemptions or variances shall be available to FSEs that do not generate grease, do not cause related sewer blockages, and/or have limited space on their property that makes it impossible to install a grease trap/interceptor. • Garbage grinders will be prohibited in all restaurants except where specifically allowed by the City. • Several options regarding program fees will be evaluated annually. Program fees are intended to help alleviate the burden of the program costs and to assist in facilitating a successful FOG Control Program. The City currently is absorbing the program and inspection costs in its General Fund. 7.4 Identification of Grease Problem Areas and Sewer Cleaning One objective of a FOG control program is the identification of trouble spots, or HMA, that are likely or prove to have grease accumulation. The City identifies potential grease problem areas by tracking locations and causes of dry weather blockages and SSO's. FOG accumulation is also documented when seen in the sewer system during a visual inspection by Closed Circuit Television (CCTV). If the specific trouble spots occur in close proximity to several restaurants or grease-producing facilities the FSEs will be considered a potential source of the FOG in the sewer and increased inspections will take place. Additionally, the identified locations will be noted in the O&M program and will be monitored for cleaning frequency requirements. The City's Maintenance Staff maintains a sewer atlas depicting each manhole location. This data is used in conjunction with cleaning logs, for which Staff will note the date and time of flushing as well as debris type and severity. Additional information about cleaning and maintenance is included in Element 4: Operations and Maintenance Program. 7.5 Legal Authority The City FOG Program is governed by the SSLOCSD FOG Control Ordinance 2008-01. This is the second Ordinance that the City will be adopting on behalf its treatment plant. This decision is being made because FOG control is an element of Pretreatment. The other Ordinance currently in use is the SSLOCSD's Pretreatment Ordinance 1994-1. The FOG Ordinance includes: • Establishment of enforcement authority • Limits on types of wastes discharged to public sewers • Requirements for specific design and construction of grease interceptors and/or traps, • Requirements for the installation of grease interceptors • Requirements for maintenance of grease interceptors, • Enforcement, and • Implementation measures, as appropriate. If the City finds that a grease interceptor or gravity separating device installed prior to the effective date of the ordinance that is incapable of adequately retaining the grease or oil in the City of Arroyo Grande SSMP Page 7-3 WN Sewer System Management Plan—Revision 01 Element 7—Fats, Oils&Grease Control (FOG) Program wastewater flow, the City shall notify the user, in writing, that an adequate interceptor or gravity separating device shall be installed within a specific, reasonable time period. This Ordinance is found in Appendix 7. 7.6 Identify HMA The City's maintenance Staff continues to identify sections of the sewer collections system subject to grease buildup and establishes a cleaning maintenance schedule for each section. The City has compiled a list of`hot spots', or HMA, within the community. These areas of concerns have been put on an increased cleaning schedule and will be monitored annually for cleaning frequency. The City tracks these "Trouble Spots" on a Sewer Atlas which is maintained at the Public Works office. 7.7 FOG Control Measures The City has implemented FOG control measures for all sources of grease and fats discharged to the sewer system. One of the elements that is provided to FSEs or other interested parties is the BMP manual. This manual helps to provide guidance and suggestions to FSEs in reducing the amount of FOG discharged. Implementing many of the simple inexpensive procedures can reduce the amount of FOG discharged by 90%. The FOG BMP Manual includes the following: • Train kitchen Staff and other employees about how they can help ensure BMPs are implemented • Post "No Grease" signs above all sinks and on the front of dishwashers • Use water temperatures less than 140° F in all sinks, especially the pre-rinse sink before the mechanical dishwasher • Recycle waste cooking oil • "Dry wipe" pots, pans, and dishware prior to dishwashing • Dispose of food waste by recycling and/or solid waste removal • Properly Maintain Grease Trap/Interceptors • Clean under-the-sink grease traps weekly, or more frequently, if needed • Clean grease interceptors routinely, at least quarterly • Keep a maintenance log (record keeping) • Cover outdoor grease and oil storage containers • Locate grease dumpsters and storage containers away from storm drain catch basins 7.8 FOG Program Funding The FOG Program is funded annually through the Sewer Fund and has been contracted out for inspection and administration purposes only. Program fees are included in the sewer rates in order to help alleviate the cost for an FSE to reach compliance. If at some time it is determined that program costs exceed maintenance reductions then the City will evaluate a fee based program. To date, program fees continue to decrease due to widespread Program compliance resulting in fewer facility re-inspections. Maintenance reductions are still under evaluation. City of Arroyo Grande SSMP Page 7-4 Sewer System Management Plan—Revision 01 Element 7—Fats, Oils&Grease Control (FOG) Program 7.9 FOG Characterization The City inspects all FSEs that are located within its jurisdiction. Each is closely evaluated to determine if the FSE is in compliance with the current regulations. Facilities that contain high fats, oils and grease menu items are inspected for properly working grease traps and/or interceptors. Facilities are also required to maintain proper documentation for each time their trap or interceptor is cleaned. These records must be maintained and be made available for a minimum of two years on-site. In some cases, if a facility does not currently maintain a grease trap or interceptor, one may be required to be installed. This is based upon current regulations. The current California Uniform Plumbing Code is closely followed for determining type and size of unit that will be required. Justification for grease trap versus interceptor installation is based upon foods served and prepared, number drains within the facility, type of dishwasher (if any), size and history of SSOs attributed to the establishment. Dye testing is also conducted when it is necessary to determine specific drainage sources. There are two types of permits issued. The first is a standard FOG Permit. A standard permit is issued to all typical FSEs that discharge FOG into the sewer system in amounts above 100 miligrams per liter (mg/1). Typically, this includes all facilities that have fryers or facilities that serve high quantities of creams, soups, meat, cheeses and dairy. The second permit is a Variance Permit. It is issued to FSEs that do not discharge high quantities of FOG. Examples of these facilities are: coffee houses, small sandwich shops or prepackaged grocery stores. Should a facility with a Variance Permit change ownership, a new variance will not be issued to the new owner. The new owner will be required to apply for a FOG permit and will be evaluated as if it is a whole new facility. If the food served or prepared by the FSE has not changed a new variance will be provided. The City will make this decision on a case-by-case basis. City of Arroyo Grande SSMP Page 7-5 Sewer System Management Plan—Revision 01 Element 7—Fats, Oils&Grease Control (FOG) Program Fig.7-1 Types of Food Service Establishments in the City of Arroyo Grande ° 4% 4% 2% 7/o ® Bakeries ® Public School 16% E3 Fast Food E3 Grocery Store Candy Shop ® Ice Cream/Yogurt 7% ® Meat Market E3 Restaurant 2% 0 Sandwich Shop 4% ® Donut Shop 52% 2% Permitted Food Service Establishments 4% 4:Nii ® Standard FOG Permit ®Variance FOG Permit 96% The charts above show the types of facilities found within the City and the percentages of Standard Permits issued versus the Variance Permits. An itemized list of the FSEs, locations and permits issued is located in Appendix 7. The itemized list will be updated continually to reflect any FSE additions or deletions. When an FSE is found to be in violation of the City's Ordinance the facility is re-inspected for compliance. Additionally, when Operations Staff is sent out on an emergency or they are conducting regular maintenance and identify high levels of FOG, the Environmental Compliance City of Arroyo Grande SSMP Page 7-6 00y Sewer System Management Plan—Revision 01 Element 7—Fats, Oils&Grease Control (FOG) Program Inspectors are notified. The FSE of concern is then inspected regardless of last inspection date. The FSE is informed of the reason for the inspection and if they are in violation, corrective actions are required at that time. The inspector may need to conduct a follow-up visit prior to returning the FSE to its regular facility visit schedule. Facility inspection paperwork is maintained in the Public Works office and is available electronically. All inspection forms are located in Appendix 7. The FOG Program is an ongoing process of education and compliance. The City is proud to be implementing it and is very grateful that the City's FSEs understand the need for program success. Together, the City, local businesses, and residents work to protect the collection system and the health of the environment. City of Arroyo Grande SSMP Page 7-7 WN Sewer System Management Plan—Revision 01 Element 7—Fats, Oils&Grease Control (FOG) Program APPENDIX 7 City of Arroyo Grande 7-1: List of Food Service Establishments (FSE) 2014 7-2: FOG Inspection Form 7-3: FOG Permit Application 7-4: Public Outreach Materials for both Residential and Commercial Customers 7-5: Grease Hauling and Rendering Companies List 7-6: Cleaning Log for Use by FSE City of Arroyo Grande SSMP Appendix 7-1: r u7 t�7 0 y r M n 0 u u LO n 1 L ) Z: Z - z r N� O O O O O O 6 6 5 N N N M cn m tN o N N tr f7 M N N N N N N N lz 12 r .. ....... ............. _........ ..._..... C O v ` O r N i M C O co i Q: N N O 00 00 0 0 O O O O O O O.. 0 Z Z Z Z Z... Z Z Z Z Z Z Z Z Z Z O C' W ' r M M M M CO CO co O M f= M M M M co M M N N N N N N N CL • x r-- r- _ti r- r` I r— r` uj « CC) t• � M IL * O ' r M ...... 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O v a) Z n E c co rn C9 O a) m O) a ) n O Q. m y 01.C O N N a) O co d OAS O (n c w .� m N Y c Y m N U) a m m o Y—) �, E o o 0 2 (a 0 0 C 0 Q 7 � U � LL 0 liti..h 'IiJ iM �"M IWM lu�l Vu... k M L C N h N M M i d. O O O O ` N N r r a) N C N O O O co OD OD 00 h co O O O O O ° O O O O O O O Z Z Z Z Z Z Z Z Z Z Z Z Z M M r r r r r N N N N r r r r r OD N h N M co M M N N N N N r O h 1 _M \ r r d' N M M co M M N 4) O N r M � M 0 M h r co OD O O In f0 CO LO p 0p0 — aD ti 'r O O O O O O O O O O O O O C7 < S. C7 C7 C7 C7 (7 (� C7 C7 U O a a a a a a a a a a a a C9 C7 6 C7 C9 C9 0 C7 0 0 (7 LL LL LL LL LL LL LL LL LL LL LL LL LL 6i M'............. � �_ M M O l0 co O M O T r N (0 to O 00 O h O O CO N O M M Ch O) x x 0) m x Q1 LO M M In LO Ln co (0 00 [0 00 � 1- CO co M 00 ti 000 I > (U > U) >� a @ a C > = Y C N > (0 C7 0 '� U C m` co co m 5 cl W m N O U Ul N 6 w :.. W LL F- U lL O W W W W J ca O N r r N P O O co 0 O O co N CY) 0) N r I� O N O — C cu ' N U N N fq O U a� aci Z3 _ ° m m m c � E U) v W m fU in Il N N L .x O ° U m ° ° or U a) °' °O N f0 DI = O Y > L C fr U (� M U _ (0 f`6 C L 7 a > N O U) N N E C7 co m = p —' $ o cn a a a u) O v O of U) 0 a ~ w D J J V� Vm Appendix 7-2: r ��d4 Fats,Oils and Grease Inspection Form South San Luis Obispo County Sanitation District c/o Wallace Group 612 Clarion Ct. San Luis Obispo, CA 93401 Ph: (805) 544-4011 Fax: (805) 544-4294 Facility Name: Date of Inspection: Contact: Inspect: Re-inspect: Address: Date of Last Inspection: Telephone: Permit : exp: General Facility Information * Type of food service (circle): -Full Serve Kitchen - Half Serve Kitchen (no dishwashing) -Grocery—Deli - Butcher- Ice Cream/Yogurt Shop—Hospital/ Nursing Home—Church I Club/Organization—School — Bakery-Coffee Shop-Pizza Place-Other: * Does this facility have a grease trap or interceptor? ❑ Grease Trap—Location: ❑ Interceptor—Location: ❑ None Variance: Variance Requested: No Trap/Interceptor Inspection Violation Violation N/A General: Area around Trap/Interceptor is clean. Detergent is not being used in excess to decrease FOG. Chemicals/ Enzymes/Bacteria are not being used. Cover_ Lid_ Baffles_inlet and outlet tee_in good working order. Grease build-up is<25% of depth; discharge pipe is clear. Solids accumulation is<10%of depth; discharge pipe is clear. Sinks have filter screens. Trap: Trap is in generally good condition. Trap is easily accessible. Dishwasher does not discharge to trap. Interceptor: Downstream sewer lines are clear of solidifying grease and solids. Effluent is clear of grease or solids pass through. • Maintenance Documents are available for review. Yes/ No/Variance • Does this Facility use deep fryers? Yes/ No If yes, where is the recyclable grease stored (location)? Tight fitting lids: Yes/ No Labeled: Yes/ No On Solid Surface: Yes/ No Violations must be corrected within days. Comments: Inspector Signature: Facility Signature: Printed Name: Printed Name: Nls niber-Agerides: City ofAr-myo Gran(le,Cite of'Grover Beacli an(I Dccano CSD of. Appendix 7-3: SOUTH SAN LUIS OBISPO COUNTY SA1N TATION D STIIIC"I FATS,OILS,AND GRIEASE RROGRAl14 Qill FOOD SERVICE ESTABLISHMENT . N � f 4ayl"I�T� r1II tt�ri�"FEltrWT.9PPLICA7`ION A%V4 MI)5)544-4294 Name of ptacPit' Nttime of ��rlex P)tane Name of Mwtag2l Phone Max tlttt Service Address* Account.Number* (from water 0illllgnd1ord) (from mater bilMandlad) County Health I)epartnicatt Permit Number *TMN/All-W1iA14';I"ltJ"N[,V 111REP III'ORDF,R 7O Mt,l^,98I"I•P'EAFPLICA"i<"ION gip" lc-ate'F cili ❑ Full Service Restaurant Hospital EJ Church ❑ Coffee Shop ❑ Fast Food Restaurant ❑ School/College ❑ C1ublOrganizatioil ❑ Other: ❑ Cant'Out ❑ Bakery ❑ Nursing Home ❑ Cafeteria ❑ Ice Cream Shop ❑ Grocery Store Seat lttg Capacity Number of FStttployees Hours Sun Mon Tue Wed Thu Fri Sat Types of ffixtures rheclt all that a)Bbl) El Deep Fryers ❑ 3-compartment sinks ❑ Tilt Kettles Wrok Ranges ❑ Grills ❑ 2-compartment sinks ❑ Garbage Grinders ❑ Pre-wash sinks ❑ Ovens ❑ 1-compartment sinks ❑ Dishwashers ❑ Nlop sinks Types of Grease Abatement Qaauflty Serviced By check all that apel r ❑ Outside Grease Interceptor Hauler Name: ❑ Indoor h4antaal Grease Trap ❑ Self ❑ Hauler Name: Automatic Grease Removal Device(ORD) ❑ Self E] Hauler Name: ❑ Unknown ❑ Self ❑ Hauler Name: ❑ Other: ❑ Self I ❑ Hauler Name: Clean Grease Rendering Company: I declare under penalty of perjury that the information above is true,correct and complete.I understand the information that was requested and I inspected the premises before completing this form. Uwner/Authorized Representative(paint) Title Signature Date If you have any questions Wtile completing this form,please call the Disitrict's FOG Program at 805-544-4011. Appendix 7-4: Fats, Oils and Grease ( FOG ) Best Management Practices ( BMP ) Manual n r ; f TR y Off, 4l PR What is FOG FOG is a shorthand way of saying Fats, Oils and Grease. FOG is composed of animal and vegetable fats and oils that are used to cook and prepare food. FOG should be recycled for use in other products, properly disposed of or land applied. Why is FOG a Problem? A wastewater system is similar to the human body. Wastewater flows through pipes (arteries), is pumped at pump stations (heart) and cleaned by the wastewater plant (kidneys). FOG clogs the pipes in the sewer system just blood like cholesterol clogs ® GxYgen,PAP blood arteries. This makes the pumps work harder " a and can cause them to fail, just like having a heart attack. RR� �k�T+ % 1 �A FOG can also cause 4a , r backups in your sewer lines that can send � e sewage into your home or restaurant. That is an open invitation for disease and illness. Train Your People Train and educate your kitchen staff and other employees about how - they can help follow the Best Management Practices (BMPs) once °i implemented . People are more willing to support an effort when they understand the basis for it. Conspicuously Post No Grease Signs Post these signs in restrooms, over sinks, near all floor drains, dishwashers and anywhere else where water may enter a drain to the sewer. Signs serve as a constant reminder for staff working with FOG. Use the Most Appropriate Water Temperature Use water temperature of less than 140 0 Fin all sinks, especially the pre-rinse sink ' before using a mechanical dishwasher. Temperatures in excess of 140°F will dissolve grease, but it can solidify in the sewer system as the water cools. Water from mechanical dishwashers should not be discharged through a grease trap or interceptor. Use the 3-Sink System Washing Rinsing Sanitizing Use the first sink to wash any dishware, the second sink to rinse the dishware and the third sink to sanitize with a 50- 100 ppm bleach solution or 200 ppm quaternary ammonia compound . Water temperatures in the sinks should meet the current California Health Department requirement. The system will save energy and costs as a result. Recycle Waste Cooking Oil ,r. There are many companies that specialize in taking waste cooking oil from fryers and other types of equipment and making animal feed or fuels, such as bio-diesel from it. Recycling reduces the amount of wastes that have to be disposed of as solid waste, and helps to prolong the life of any grease traps and interceptors. It also keeps the FOG out of the sewer system . Dry Wipe All Pots, Pans and Plates 0 Dees oho 0 Use a paper towel or scraper to dry wipe pots, pans, dishware and food preparation surfaces before washing. Dry wiping the FOG and food items that remain in pots, pans and dishware before washing will keep the FOG out of the grease traps and interceptors. This will result in less frequent cleaning of the grease interceptor and trap, thus resulting in lower maintenance costs. Witness Grease Interceptor Cleaning The grease hauler should pump out the interceptor or trap completely and clean the sides and any baffles. You are ultimately responsible for the FOG Control at your place of business. Witnessing the cleaning of your Trap or Interceptor will ensure the complete removal of all grease and solids. Properly Dispose of Food Waste i r Food should never be poured down the drain or into a toilet. Recycling of food wastes is the best option for a food service establishment. Recycling of food wastes will reduce solid waste disposal costs, and the need to frequently clean grease traps and interceptors. Clean Under-sink Grease Traps at Least Weekly Fk l'T' a LOCH AMD UFT Under sink traps � I i have less volume than outside F1 U1W grease Crr � g p T!i 1 interceptors but �� � require W!FLES ~E ° frequent cleaning . k1L.d1 r'.I �µtl4 Weekly cleaning of the traps by the establishment's staff will reduce maintenance costs. Place recovered grease in proper disposal container. It can go in a dumpster, if it is in a closed container. Do not pour down any drains or in any toilets. Clean Grease Interceptors at Least Every Three Months TEEPTOR VENT / tPER Grease interceptors � l �� must be cleaned 4,c FLYN ' , 1Ion i'R� Rff"PLAE�tV �� �fl � Jh quarterly to ensure DEME ; that the grease ` swaH accumulation does ACUMULATON not interfere with proper operation . The cleaning frequency is dependent on the type of establishment, the size of the interceptor, and the volume of flow discharged to the interceptor. Quarterly cleaning will prevent the plugging of the sewer line between the food service establishment and the sanitary sewer system . A backup will require a plumber to unplug the line and this could pose a serious health risk to workers and patrons. Keep a Maintenance Log and All Service Records The log serves as a record of the frequency and volume of cleaning the grease interceptor or trap. The record also helps the food service establishment maintain compliance with its permit, and affords any inspector the opportunity to verify compliance. Service records verify the accuracy of the log . The log can optimize the cleaning frequency in order to reduce costs. Cover Grease Containers Stored Outdoors Uncovered FOG containers can collect rainwater. Since FOG � floats, the rainwater can overflow the x.� container and flow onto the ground where it can reach the storm water system . Any discharge to the storm water system may result in adding biological or chemical demand to local receiving waters. The discharge might also result in legal penalties being imposed on the food service establishment. Locate Du m psters and FOG Containers Away From Storm Drains rA M'N 1 A release of FOG can degrade water quality in receiving streams in the area by adding biological and chemical demand to the stream . Discharging of FOG into storm drains can also result in fines and other legal actions. The further away a storm drain is from where the FOG is stored, the more time someone has to clean up any spills. BE AWARE of FOG dripping out of containers or dumpsters and clean up quickly. Use Absorbent Pads for All Spills y Absorbent pads can help to clean up grease and oil that has spilled on the ground near outdoor equipment, containers or dumpsters. The absorbent pads prevent the spill from entering the storm drain system when it rains. DO NOT use absorbent material such as "kitty litter," or saw dust since they can flow into the storm drains when it rains. Routinely Clean Exhaust Hoods If FOG escapes through the kitchen exhaust system, it can ��)lr accumulate on the roof «� of the house or restaurant and eventually start a fire or enter the storm drain when it rains. DO • Scrape excess grease into a sealed container and dispose of it in the trash or containers specifically designated for grease. • Place food scraps in waste containers or garbage bags for disposal with solid wastes, or start a compost pile; promote the use of scraping dishware prior to washing. • Place a wastebasket in the bathroom to dispose of wastes. • Promote the use of the 3 "R's" Reduce, Reuse and Recycle. DO NOT • Discharge fats, oils, and grease in concentrations that can cause an obstruction to the flow in a sewer. • Placed FOG from cooking in the kitchen or bathroom sinks or in the toilet. • Discharge butchering waste of any kind within the sewer system. • Discharge wastewater with temperatures in excess of current Health Department Regulations to any grease trap. This includes water from mechanical dishwashers that have a minimum required temperature of 180° F or above. • Discharge waste from a food waste disposal unit to any grease traps. • Discharge caustics, acids, solvents, soaps, enzymes, or other emulsifying agents into sinks that feed grease traps and/or interceptors. • Discharge fats, wax, grease or oils containing substances that will become viscous between 32° F (0° C) and 150° F (65° Q. • Utilize biological agents, chemicals, or enzymes for grease remediation without permission from the sanitary agency receiving the waste. • Clean equipment outdoors in an area where water can flow to the gutter, storm drain, or street. • Use the toilet as a wastebasket. Provided by: City of Arroyo Grande FOG Program c/o Wallace Group 612 Clarion Court San Luis Obispo, CA 93401 Attn: Bill Callahan, Glenn Rider 805-544-4011 Tel 805-544-4294 Fax billc @wallacegroup.us glennr @wallacegroup.us �� CITY oF ?aRO.O GRANDE � F ARROYO Ga,�o.PUBLIC WORKS PU BLIC WORKS DEPARTMENT(80S)473 -S460 (805)473 -S460 , ' um Illllll��� l�eflnf�undiiiiiiii sehaeCnontradb VIII h sewer lines en ig5 iineas d�' Il ,,,,,, fin yourarea. ���ak��C�arilla en eu��§nea���. lllllllllllh�fa "�w�m°' ' Public Outreach — Residential and Commercial FRI , VMS IME CITY PUBLIC gad:n»y: s.ao GRANDE (805)473 -5460� �o Appendix 7-5: Oft, Grease Hauling & Rendering Companies This list is provided to Food Service Establishments (FSEs) only as a convenience, and does not imply an endorsement of the services provided by any of the listed companies. CalFOG and the South San Luis Obispo County Sanitation District make no claims or representations, explicit or implied, regarding the performance of the following service providers. CalFOG and the South San Luis Obispo County Sanitation District encourage FSEs to exercise due diligence when hiring a pumping and/or waste hauling contractor. The list is based upon information available at the time and may not include every company offering such services. Monterey All Valley Environmental Inc. 559 498-8378 Ameri uard Maintenance Services 8190 347-7875 ext 14 8 min 831 320 5229 nli om' lc Tank *Mice 31 422- 298 one Mo Time 800 624-5504 P.S.T.5 Peninsula Septic Tank Service 831 59- 465 Pioneer Li uid Trans rt 800 804-7327 Salinas Tallow 00 621-9000 Salinas Tallow go. 1 422-6436 Trap cle Inc t40) 892-3824 Tra ltec tiers Inc 800 994-7861 San Luis Obispo All Valle Environm ntal Inc. 559 448-8378 Amerl card Maintenance Services 00 347-7876 ext 14 Say Pum an 831 3205229 One More Time tSM 624-5504 1Cla l SeptLc&Jetting, Inc. 805 543-5552 Salinas Tallow 800 1-"W 111"Triple 7 Grease Rernoval 805 878-4854 Santa Barbara County All M#Iey.Environmental, Inc. 55 4"-8370 Ame card Maintenance Services 800 347-7876 ext 14 Say Pum in 831 320-5229 Biodiesei Industries Inc. 805 683-8103 One More Time 800 624-5504 Salinas Tallow 800 621-9000 SMC Grease S alist 951 788-6042 IN NO EVENT SHALL CaIFOG OR THE SOUTH SAN LUIS OBISPO COUNTY SANITATION DISTRICT OR ITS MEMBER AGENCIES BE LIABLE FOR ANY DIRECT,INDIRECT,INCIDENTAL,PUNITIVE,OR CONSEQUENTIAL DAMAGES OF ANY FIND WHATSOEVER WITH RESPECT TO THE SERVICES PROVIDED BY THE LISTED COMPANIES. www.calfog.org Current as of June 27,2012 Apprendix 7-6: Grease Trap Cleaning Log (Registrarse Lim pieza tram pa de rasa) Keep Cleaning Record Logs on file in restaurant for three (3) years. (Los expedientes se deben mantener dentro de restaurante por tres anos) Sewer System Management Plan—Revision 01 Element 8—System Evaluation and Capacity Assurance Plan Element 8 - System Evaluation and Capacity Assurance Plan This element discusses the steps taken by the City to ensure adequate capacity for dry and wet weather peak flow conditions. This includes evaluation, design criteria and capacity enhancement measures. A schedule for implementation is also included with the budget. Element 8 — System Evaluation and Capacity Assurance Plan Appendix • There is no Appendix for Element 8. (Appendix 4-2 contains Capital Improvement Plan) 8.1 Regulatory Requirements The Agency shall prepare and implement a capital improvement plan that will provide hydraulic capacity of key sanitary sewer system elements for dry weather peak flow conditions, as well as the appropriate design storm or wet weather event. At a minimum, the plan must include: a. Evaluation: Actions needed to evaluate those portions of the sanitary sewer system that are experiencing or contributing to an SSO discharge caused by hydraulic deficiency. The evaluation must provide estimates of peak flows (including flows from SSO's that escape the system) associated with conditions similar to those causing overflow events, estimates of the capacity of key system components, hydraulic deficiencies (including components of the system with limiting capacity) and the major sources that contribute to the peak flows associated with overflow events. b. Design Criteria: Where design criteria do not exist or are deficient, undertake the evaluation identified in (a) above to establish appropriate design criteria; and C. Capacity Enhancement Measures: The steps needed to establish a short- and long- term CIP to address identified hydraulic deficiencies, including prioritization, alternatives analysis, and schedules. The CIP may include increases in pipe size, I/I reduction, increases and redundancy in pumping capacity, and storage facilities. The CIP shall include an implementation schedule and shall identify sources of funding. d. Schedule: The Agency shall develop a schedule of completion dates for all portions of the capital improvement program developed in (a)-(c) above. This schedule shall be reviewed and updated as required. 8.2 System Evaluation and Capacity Assurance Plan The City's Wastewater System Master Plan (Master Plan) was updated in 2012. The Master Plan includes all the elements required for Capacity Assurance. The findings in the Master Plan were used to develop the Sewer Collection System Capital Improvement Program. The projects identified in the Capital Improvement Program are scheduled to be implemented in FY 2013/14 through FY 2017/18 City of Arroyo Grande SSMP Page 8-1 NMI lm� Sewer System Management Plan—Revision 01 Element 8—System Evaluation and Capacity Assurance Plan APPENDIX 8 City of Arroyo Grande No Appendix for Element 8 City of Arroyo Grande SSMP Sewer System Management Plan—Revision 01 Element 9—Monitoring, Measurement&Program Modifications Element 9 - Monitoring, Measurement & Program Modifications The City monitors the implementation of the SSMP elements in order to measure the effectiveness of the City's SSMP program in reducing SSOs. The manner in which each SSMP element is monitored and evaluated and the schedule with which the City completes this monitoring and evaluation is described in this SSMP Element. Element 9: Monitoring, Measurement & Program Modifications Appendix Supporting information for Element 1 is included in Appendix 9 which contains the following document: • CIWQS Facility at a Glance Report 9.1 Regulatory Requirements WDR Order No. 2006-0003-DWQ Section D.13(ix) states: The Enrollee shall: (a) Maintain relevant information that can be used to establish and prioritize appropriate SSMP activities; (b) Monitor the implementation and, where appropriate, measure the effectiveness of each element of the SSMP; (c) Assess the success of the preventative maintenance program; (d) Update program elements, as appropriate, based on monitoring or performance evaluations; and (e) Identify and illustrate SSO trends, including: frequency, location, and volume. 9.2 Establishing and Prioritizing SSMP Activities FWDR D.13(ix)(a)1 Table 9-1 outlines the relevant information maintained by the City to establish and prioritize appropriate SSMP activities: Table 9-1: SSMP Implementation Management SSMP Element SSMP Information 1. Goal This SSMP Element contains the City's goals for the operation, maintenance, and management of the sanitary sewer collection system, which provide focus to help reduce SSOs and mitigate SSOs that do occur. 2. Organization A table containing names, job titles, roles, responsibilities, and contact information is contained in this SSMP Element, which allows the public, staff, and regulators to directly contact the person most knowledgeable for each aspect of the SSMP Program. An organization chart shows lines of authority. City of Arroyo Grande SSMP Page 9-1 Sewer System Management Plan—Revision 01 Element 9—Monitoring, Measurement&Program Modifications SSMP Element SSMP Information 3. Legal Authority Appendices to this SSMP Element contain the complete City Ordinances and SSLOCSD Ordinance cited. 4. Operation and Maintenance Appendices to this SSMP Element thoroughly Program document the sanitary sewer system operation and maintenance activities, which are utilized to develop the City's Rehabilitation and Replacement Plan. Appendices include maps, equipment and replacement part inventories, and the CIP and associated funding mechanisms. 5. Design and Performance Appendices to this SSMP Element include the Provisions Design Standards and Specifications in use. 6. Overflow Emergency Response This section of the SSMP shows a plan and Plan schedule to include notification, response, and emergency operations procedures, training records, and response and mitigation programs. The implementation of this program and procedures will be assessed to evaluate the effectiveness of this section. 7. FOG Control Program A summary spreadsheet documenting semi- annual FOG inspections will be included in the appendix to this element starting in 2014. 8. System Evaluation and Capacity This SSMP Element contains the 2012 WSMP Assurance Plan which conducted a thorough hydraulic analyses and evaluation of the City's collection system and provides the CIP that will provide hydraulic capacity of key sanitary sewer system elements for dry weather peak flow conditions, as well as the appropriate design storm or wet weather event. 9. Monitoring, Measurement, and This SSMP Element will be updated annually with Program Modifications the number of SSOs that occur and their causes in a calendar year. This is the most important trend to document and the reason for the SSMP. 10. SSMP Program Audits SSMP Audit Reports will be appended to this SSMP Element when they are generated; the next audit is due on or before August 2, 2015. 11. Communication Program Appendices to this SSMP Element are planned to contain examples of public outreach articles, flyers, pertinent City of Arroyo Grande website addresses, as well as meeting agendas and minutes from meetings with stakeholders. City of Arroyo Grande SSMP Page 9-2 OWN Sewer System Management Plan—Revision 01 Element 9—Monitoring, Measurement&Program Modifications 9.3 SSMP Implementation Monitoring FWDR D.13(ix)(b)1 The City Manager and City Public Works Director are responsible for: Element 1 —Goals The Public Works Director is responsible for monitoring the implementation of this SSMP Element. The City's sanitary sewer system goals will be evaluated and progress toward meeting these goals will be measured on an annual basis by the Public Works Director, who will submit a staff report to the City Council in April of each year, which communicates the City's progress toward achieving these goals and implementing the SSMP. Copies of these reports will be included in Appendix 9A. Element 2—Organization The Public Works Director is responsible for monitoring the implementation of this SSMP Element. The organization charts will be reviewed and revised annually in February of each year. The SSO response and notification process will be reviewed and revised to increase its effectiveness annually in April of each year. Element 3— Legal Authority The Public Works Director will receive input from the Utilities Services Supervisor, and on the effectiveness of the City legal authorities in preventing SSOs annually in April of each year. Information gathered from this Staff will annually be sent in a memo to the City Legal Council for consideration in updates to the City Ordinances. As of this revision to the SSMP, Revision 01, the City maintains the Legal Authorities stated by WDR Section D.13(iii) with the exception of the right to operate and maintain sewer laterals. The City does not currently own any laterals except to City-owned properties and, therefore, does not require the legal authorities to operate and maintain laterals to private properties. Element 4—Operation and Maintenance Program The City's Public Works Director is responsible for monitoring the implementation of this SSMP Element, which is to be reviewed and revised annually. The City plans to include interactive links incorporated into the City's existing GIS database to provide immediate access to sanitary sewer collection system photos, closed circuit television (CCTV) inspection videos, and the trunk system's as-built plans and construction drawings over the course of the next two years. As-built plans and construction drawings are maintained as the collection system is improved through each CIP, and this data will also be routinely integrated back into the collection system GIS database as this system is upgraded. SSMP Element 4— Operation and Maintenance Program includes funding and identification of historical and current fiscal year capital projects. Progress towards funding and completion of the short and long term capital projects beyond Fiscal Year 2014/15 and beyond will be tracked in this Element. By the end of 2015, the City will develop a formal training program that incorporates future and existing operation, maintenance, and safety procedures. Annual training on all procedures and SSMP Element 4— Operation and Maintenance Program will be conducted with City Staff and any contractors implementing portions of SSMP Element 4—Operation and Maintenance Program. Training will be documented and tracked by the City. City of Arroyo Grande SSMP Page 9-3 Sewer System Management Plan—Revision 01 Element 9—Monitoring, Measurement&Program Modifications Element 5— Design and Performance Provisions The Public Works Director is responsible for monitoring the implementation of this SSMP Element. The City contracts CIP project design services to various engineering firms. These consultants creates design and construction standards and specifications specific to the projects the City undertakes, such as the individual standards and specifications created and utilized for the City's CIP. For routine repair work the City uses standards identified in their Municipal Code. Element 6—Overflow Emergency Response Plan The Public Works Director is responsible for monitoring the implementation of this SSMP Element. The City's OERP, which will include emergency response procedures o be developed and implemented prior to the end of 2015. Procedures will be reviewed and revised on an annual basis by the Public Works Director and Utilities Supervisor. If a SSO occurs, the City's Utilities Supervisor will evaluate the effectiveness of the OERP to determine whether any modifications need to be made to the procedures and protocol contained in the OERP and make the revisions needed to improve the effectiveness of the City's SSO response and notification processes. Element 7— FOG Control Program The Utilities Supervisor is responsible for monitoring the implementation of this SSMP Element and its effectiveness at reducing SSOs on an annual basis. FOG Program changes necessitated by an increase in SSOs caused by FOG or an increase in number of FSE's in violation will be developed by the Utilities Supervisor with the Public Works Director and decided upon by the City Manager. Element 8—System Evaluation and Capacity Assurance Plan The Senior Assistant City Engineer is responsible for the implementation of this SSMP Element, which is to be reviewed and revised annually with the status of CIP projects identified in the 2012 WSM P. Element 9— Monitoring, Measurement, and Program Modifications The Public Works Director is responsible for the implementation of this SSMP Element, which is to be reviewed and revised annually. The review and revisions are to be documented on the revision record, which is the first page of each element. The metrics contained in this SSMP Element are important tools in the determination of what tasks and projects contained in each element are a priority from fiscal year to fiscal year. Element 10— SSMP Program Audits The Public Works Director or their designee is responsible for assuring the SSMP Audit is conducted and complete prior to the August 2, 2015 deadline and continuously on a two year interval following this date. SSMP Audits should be conducted with cooperation of all of the management, administrative, maintenance, and contract positions responsible for implementing specific measures in the SSMP program. When conducting the SSMP Audit, City Staff must evaluate the effectiveness of each element of the City's SSMP. A comprehensive, effective review of the City's SSMP must be documented in a SSMP Audit Report. Upon the completion of the third SSMP Audit, which is due August 2, 2015, the City must evaluate the effectiveness of the SSMP Audit and the manner in which it was performed in this SSMP Element. City of Arroyo Grande SSMP Page 9-4 Sewer System Management Plan—Revision 01 Element 9—Monitoring, Measurement&Program Modifications Element 11 — Communication Program The Public Works Director is responsible for the implementation of this SSMP Element, which is to be reviewed and revised annually. Revisions must include examples of public outreach articles, flyers and pertinent City of Arroyo Grande website address, as well as meeting agendas and minutes from meetings with stakeholders. The City is a member of the South San Luis Obispo County Sanitation District (SSLOCSD), which is comprised of SSLOCSD and its tributary agencies: Oceano CSD and the City of Grover Beach. These agencies plan to work to reinstate quarterly coordination meetings in order to increase coordination and communication between these agencies starting at the end of 2014. 9.4 Preventative Maintenance Program Assessment fWDR 13.1304(b)1 The City's Preventative Maintenance Program includes CCTV inspection, sewer line cleaning, visual manhole inspection, and HMA identification and maintenance and has been successful at reducing the amount of SSOs, which occur on an annual basis, as identified and described below in Section 9.6: SSO Trends. The improvements the City is making to its Preventative Maintenance Program are described in SSMP Element 4 —Operation and Maintenance Program and above in Section 9.3.4: Element 4—Operation and Maintenance Program. 9.5 SSMP Updates fWDR D.13(ix)(d)1 The intention of the City is to use the SSMP for training, planning and regular maintenance of the collection system. As the document is utilized, any deficiencies or discrepancies will be corrected. Program elements will be updated based on performance evaluations, organizational, operational, and maintenance changes, new regulatory requirements, and repairs, replacements, and upgrades made to the collection system. At a minimum, the City will review and revise the SSMP annually. The Public Works Director is responsible for revising and maintaining the SSMP. A revision record will be maintained to track changes. 9.6 SSO Trends fWDR 13.1300e)1 The trends in the City's SSOs for 2009 through 2014 are illustrated in Table 9-2. The cause categories identified in Table 9-1 are the causes available for use in the SSO Report in California Integrated Water Quality System (CIWQS). City Staff is responsible for determining which cause category is appropriate for each SSO when the SSO is reported in CIWQS. City of Arroyo Grande SSMP Page 9-5 Sewer System Management Plan—Revision 01 Element 9—Monitoring, Measurement&Program Modifications Table 9-2: Number of City SSOs per Indicator per Year Indicator 2010 2011 2012 2013 2014* Total No. of SSOs 1 2 0 1 0 4 Locations with Multiple SSOs 0 0 0 0 0 0 Volume 60 180 0 700 0 940 Volume Volume Recovered 0 0 0 0 0 0 (gal) Volume Reached 60 80 0 700 0 840 Surface Water Debris 0 0 0 0 0 0 Debris —General 0 0 0 0 0 0 Debris — Rags 0 0 0 1 0 1 Flow Exceeded 0 0 0 0 0 0 Capacitry FOG 0 0 0 0 0 0 Operator Error 0 0 0 0 0 0 Causes Other 0 0 0 0 0 0 Pipe Structural 0 0 0 0 0 0 Problem/Failure Pump Station 0 0 0 0 0 0 Failure Rainfall Exceeded 0 0 0 0 0 0 Design Root Intrusion 1 2 0 0 0 3 Vandalism 0 0 0 0 0 0 *As of 8/28/14 Appendix 9 contains the CIWQS report of the SSO history from January 2010 to August 2014. City of Arroyo Grande SSMP Page 9-6 Sewer System Management Plan—Revision 01 Element 9—Monitoring, Measurement& Program Modifications APPENDIX 9 City of Arroyo Grande 9-1: CIWQS Facility at a Glance Report City of Arroyo Grande SSMP V "W?f+��I.P.i4K;lF p,Jtlkry',yf,d�.'`+ Appendix 9-1: SEARCH CRIIIERW J1 r�Nt"U4ARCW%Xv� PAR,(-H� JgL�P.D— -r"' PAce 0 1 A'11#1Yo('roubde Cly IS cookclvu lem, Ro Box 1550'Arro'yt Gmalmle"CAI SN21 smi 1,w (.1lbs'po �J- RoWmd Pwilbom J t("' 5".1222)0 PC ms On li A Uala Submrltv For OUID7,120 2 Z987!4 Pemet "x� m I o h A'Dalm S,Lbmrlt,�FPrr 11101�41'12007 QMP,2012' 39c,"U'lo PII ht A Data Submirto r For, 1 7"Irl",0 0 7 1 IN It Orqdolzarorl I C ly Agon Cy 44'106MMG 300092 Person ur pllpl 1s m,n K Onsde,Manager Fai ---------------— ------- ".1 S1.50MIUMI 2GW.,00034)VVQ 3SSM255 OV1.62005 Ac%ve N V101mballm 9 I 114 lion P DebekRops caursed 700 OWPant o?stwap b s 1 from ManhoW.vvialer caning out of manh0a %1523 07122;2013 IS SIDS at 1590 West Branch Vreel to Surface 005A04 op alfecltd area 5 13K) voatv�Memdow Creek,Deter4l4n BesIn, Surface and reslorvi ftw, yoster bo4y at cted(Wedow Crook Detty0on Basin), Roal,mv%m3n caused 101 gafla t o I!,Ae vvarje to 51,01 from0f6vily At"' Re,%IIoIIed klvv,No NAIIlher 909325 cl'w2r"VnH n0wr3 n V9tlp%,'nr l ",W WvAyoll Won 110 volico,vmlv body Clemnod-isp(IrraIlqstod 0ects spA frorn Manhoto sk 112 1 Stoeel lo 0V1$p4j;ReSjoVtd ft'3Wr 9936,95 OWWOI� SSOS surm."t Waler,Survlace water toady alrecled Irtereas6d;tmAtmhnIC'6 V066raft (A,froyo GrAnde Cr-#6) sched'A Tor let con of caleciman Sv.vem 60 gabng of 1,411 fl'q Imm gfmvily%awo al 602 Ernm Coud to CIlemned,up IrM;aWl leffect5s M71)7,0 M2T20V'1 SSOS viv facz vi Mar�lit sp 111 ed h It jItpm Ora 4n VvI I IS 0 anIl dk,%chmrqrd dvec';0V Inlo Amayu�Grandol rJIT Cre6 SuHmcon 96ptoi CJII%r,40y or"OV,ror*lpl h'vo yo*ts 0 111 Poo om 10 0,0, 6?04A' r'd ,,r",,.P'm Y-"YT lraf 00,0fo It 1010 Sewer System Management Plan—Revision 01 Element 10—Sewer System Management Plan Audits Element 10 - Sewer System Management Plan Audits This section discusses and outlines the procedure for conducting audits of the SSMP. Audits will be performed every two years. Element 10 — Program Audits Appendix Supporting information for Element 10 is included in Appendix 10 which shall contain the following documents: • SSMP Audit Data and Records Request • 2013 SSMP Audit 10.1 Regulatory Requirements As part of the SSMP, the District shall conduct an internal audit, appropriate to the size of the system and the number of overflows, and submit a report of such audit, evaluating the SSMP and its compliance with the SWRCB GWDR. At a minimum, these audits will occur every two years. An audit report will be prepared and kept on file with the SSMP. This audit will focus on evaluating the effectiveness of the SSMP, City compliance with the GWDR, and identification of any deficiencies in the SSMP and steps to correct them. 10.2 SSMP Program Audits The Public Works Director or their designee is responsible for assuring the SSMP Audit is conducted and complete prior to the August 2, 2015 deadline and continuously on a two year interval following this date. Audits should be conducted with cooperation of the Maintenance and Utilities Superintendent and other applicable City Staff. When conducting the SSMP Audit, City Staff must evaluate the effectiveness of each SSMP Element. A comprehensive, effective review of the City's SSMP must be documented in a SSMP Audit Report. Summary of Procedure: 1. Gather appropriate documents using the SSMP Data & Records Request, which is provided in Appendix 10A. 2. Write Audit Report and attach all documents reviewed and used as evidence of compliance with the WDR. Create a plan and schedule for revisions to the SSMP based on changes in operational strategies or deficiencies found in the SSMP. 3. Evaluate the effectiveness of the City's SSMP and compliance with each WDR requirement using the ranking methodology outlined in Table 10-1. City of Arroyo Grande SSMP Page 10-1 NMI ON Sewer System Management Plan—Revision 01 Element 10—Sewer System Management Plan Audits Table 10-1: SSMP Audit Ranking Criteria Ranking Ranking Basis' In Compliance All requirements specified in the element are met. Substantial The majority of requirements in the element are Compliance met. Partial Compliance Half of the requirements in the element are met. Marginal Compliance Less than half of the requirements in the element are met. Out of Compliance None of the requirements in the element are met. The first SSMP Audit Report must be signed and certified by a person designated as described in WDR Section J.1.(i) before August 2, 2015. WDR Section J states: All applications, reports, or information shall be signed and certified as follows: (i) All reports required by this Order and other information required by the State or Regional Water Board shall be signed and certified by a person designated, for a municipality, state, federal or other public agency, as either a principal executive officer or ranking elected official, or by a duly authorized representative of that person, as described in paragraph (ii) of this provision. (For purposes of electronic reporting, an electronic signature and accompanying certification, which is in compliance with the Online SSO database procedures, meet this certification requirement.) (ii) An individual is a duly authorized representative only if: (a) The authorization is made in writing by a person described in paragraph (i) of this provision; and (b) The authorization specifies either an individual or a position having responsibility for the overall operation of the regulated facility or activity. The SSMP Audit Report must be hand signed and certified using the language provided below: "I certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate 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 my knowledge and belief, true, accurate, and complete. I am aware that there are significant penalties for City of Arroyo Grande SSMP Page 10-2 NMI lm� Sewer System Management Plan—Revision 01 Element 10—Sewer System Management Plan Audits submitting false information, including the possibility of fine and imprisonment for knowing violations." Subsequent SSMP Audits must be conducted continuously on a two year interval following the schedule outlined in Table 10-2 below. Table 10-2: SSMP Audit Schedule SSMP Audit Due Date Date District SSMP Audit Completed 1. August 2, 2011 May 5, 2011 2. August 2, 2013 July 17, 2013 3. August 2, 2015 4. August 2, 2017 5. August 2, 2019 To assist in the audit process, the City should consider quarterly or semiannual reviews and revisions to specific SSMP Elements and associated supporting documents. These reviews and revisions will help ensure current operational practices and procedures are reflected in the SSMP and documentation of these activities is readily available during an audit by the Regional Water Quality Control Board, State Water Resources Control Board, or United States Environmental Protection Agency. SSMP Audit Reports must be kept on file with the SSMP and available to regulators and the public upon request. The last City SSMP Audit Report, which is dated August 2, 2013, is included in Appendix 10B. City of Arroyo Grande SSMP Page 10-3 NMI lm� Sewer System Management Plan—Revision 01 Element 10—Sewer System Management Plan Program Audits APPENDIX 10 City of Arroyo Grande 10-1: SSMP Data & Records Request 10-2: 2013 SSMP Audit City of Arroyo Grande SSMP V "W?f+I.P.i4K;lF p,Jtlkry',yf,d.'`+ Appendix 10-1: 0 a • C C bk bk cz R cz a o cz o w o cn g 5 c U o m ca cn cz Q gi o ) �` o o 11 by z y cz cz QO c'cz 1�1 cz cz o O W o O W F-I U cC cz � U] o ao m O m w UD bu o cn cz cz cz cC _j zU ct L' �, U1 cam. 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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 my knowledge and belief, true, accurate, and complete. I am aware that there are significant penalties for submitting false information, including the possibility of fine and imprisonment for knowing violations. Shane Taylor Utilities Supervisor City of Arroyo Grande City of Arroyo Grande August 2, 2013 Page i Sewer System Management Plan—Revision 01 SSMP Audit Report TABLE OF CONTENTS Acronyms and Abbreviations SSMP Audit Report • Scope and Purpose • Audit Format • SSMP Audit Participants and Schedule • SSMP Audit Results - 1.0 Goal - 2.0 Organization - 3.0 Legal Authority - 4.0 Operation and Maintenance Program - 5.0 Design and Performance Provisions - 6.0 Overflow Emergency Response Plan - 7.0 FOG Control Program - 8.0 System Evaluation and Capacity Assurance Plan - 9.0 Monitoring, Measurement, and Program Modifications - 10.0 SSMP Program Audits - 11.0 Communication Program • Records List by SSMP Element City of Arroyo Grande August 2, 2013 Page ii Sewer System Management Plan—Revision 01 SSMP Audit Report LIST OF TABLES SSMP Audit Report • Table 1: SSMP Audit Ranking Criteria Pg. 2 • Table 2: SSMP Audit Key Dates Pg. 3 • Table 3: 2013 SSMP Audit Results Pg. 4 City of Arroyo Grande August 2, 2013 Page iii Sewer System Management Plan—Revision 01 SSMP Audit Report ACRONYMS AND ABBREVIATIONS BMP Best Management Practices Cal EMA California Emergency Management Agency (formerly State OES) Cal/OSHA California Division of Occupational Health and Safety CCR California Code of Regulations CCTV Closed Circuit Television CDFW California Department of Fish and Wildlife CFR Code of Federal Regulations CIP Capital Improvement Plan City City of Arroyo Grande CIWQS California Integrated Water Quality System CWEA California Water Environment Association EHS Environmental Health Services ELAP Environmental Laboratory Accreditation Program EOP Emergency Operating Procedure EPA Environmental Protection Agency FOG Fats, Oil, and Grease FSE Food Services Establishment HMA High Maintenance Area 1/1 Inflow& Infiltration IIPP Injury and Illness Prevention Program LRO Legally Responsible Official mgd Million Gallons per Day MRP Monitoring and Reporting Program OERP Overflow Emergency Response Plan OES Office of Emergency Services O&M Operation and Maintenance OSHA Occupational Safety and Health Administration PLSD Private Lateral Sewage Discharge PM Preventative Maintenance R&R Rehabilitation and Replacement RWQCB Central Coast Regional Water Quality Control Board SCADA Supervisory Control and Data Acquisition City of Arroyo Grande August 2, 2013 Page iv Sewer System Management Plan—Revision 01 SSMP Audit Report ACRONYMS AND ABBREVIATIONS SECAP Sewer Evaluation and Capacity Assessment Plan SOP Standard Operating Procedure SSLOCSD South San Luis Obispo County Sanitation District SSMP Sewer System Management Plan SSO Sanitary Sewer Overflow SSOR Sewer System Overflow Report SSSWDR Sanitary Sewer System Waste Discharge Requirements (Used in this SSMP Audit Report to reference WDR Order No. 2006-0003-DWQ and MRP Order No. WQ 2008-0002-EXEC) SWRCB State Water Resources Control Board WDR Waste Discharge Requirements City of Arroyo Grande August 2, 2013 Page v Sewer System Management Plan—Revision 0 SSMP Audit Report SCOPE AND PURPOSE The State Water Resources Control Board (SWRCB) Sanitary Sewer System Waste Discharge Requirements Order No. 2006-0003-DWQ as amended by WQ 2008-0002-EXEC (herein SSSWDR) require the City of Arroyo Grande (City) to implement and maintain a Sewer System Management Plan (SSMP). Wallace Group was contracted by the South San Luis Obispo County Sanitation District (SSLOCSD), which was contracted by the City, to complete an audit of the City's current SSMP in order to evaluate the effectiveness of the SSMP and its implementation. The SSMP Audit measures compliance with SSSWDR Section D.13 and the effectiveness of the City's implementation of the current certified SSMP, Revision 0 dated August 2009, which contains the following SSMP Elements: 1.0 [SSSWDR, Section D.13.i]: Goal 2.0 [SSSWDR, Section D.13.ii]: Organization 3.0 [SSSWDR, Section D.13.iii]: Legal Authority 4.0 [SSSWDR, Section D.13.iv]: Operation and Maintenance Program 5.0 [SSSWDR, Section D.13.v]: Design and Performance Provisions 6.0 [SSSWDR, Section D.13.vi]: Overflow Emergency Response Plan 7.0 [SSSWDR, Section D.13.vii]: FOG Control Program 8.0 [SSSWDR, Section D.13.viii]:System Evaluation and Capacity Assurance Plan 9.0 [SSSWDR, Section D.13.ix]: Monitoring, Measurement, and Program Modifications 10.0 [SSSWDR, Section D.13.x]: SSMP Program Audits 11.0 [SSSWDR, Section D.13.xi]: Communication Program City of Arroyo Grande August 2, 2013 Page 1 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report AUDIT FORMAT The SSMP Audit separately evaluates each SSMP Section using the following format: • Applicable SSSWDR Section • Audit Finding • Sufficiency Ranking • Reference Information • Deficiencies • Recommendation of steps and schedule to correct deficiencies The ranking criteria utilized in the SSMP Audit are provided in Table 1 below: Table 1: SSMP Audit Ranking Criteria Ranking Ranking Basis In Compliance All requirements specified in the section are met. Substantial Compliance The majority of requirements in the section are met. Partial Compliance Half of the requirements in the section are met Marginal Compliance Less than half of the requirements in the section are met. Out of Compliance None of the requirements in the section are met. City of Arroyo Grande August 2, 2013 Page 2 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report SSMP AUDIT PARTICIPANTS AND SCHEDULE The SSMP Audit assesses the effectiveness of the City's SSMP Revision 0, dated August 2009, and compliance with the SSSWDR Section D.13 requirements. The purpose of the SSMP Audit is to identify deficiencies, if any, in the SSMP and identify corrective actions and a schedule to complete them. The SSMP Audit was conducted by the following Wallace Group Staff: • Bill Callahan Senior Environmental Compliance Specialist • Anastasia Mylonas Engineering Associate 111 City of Arroyo Grande Staff participating in the SSMP Audit were: • Shane Taylor Utilities Supervisor • Glenda Boner Office Assistant The SSMP Audit was conducted in July 2013. The following table summarizes key dates and locations: Table 2: SSMP Audit Key Dates Date Location Topic Staff June 10, 2013 WG Office and SSMP Data and Records S. Taylor, B. Callahan City Office Request Emailed July 15, 2013 City Office SSMP Audit Kick-off Meeting S. Taylor, B. Callahan, A. Mylonas July 15 — 17, City Office SSMP Audit S. Taylor, G. Boner, B. 2013 Callahan, A. Mylonas July 17, 2013 City Office Draft SSMP Audit Report S. Taylor, B. Callahan, Submission A. Mylonas July 24, 2013 WG Office and City Comments on Draft S. Taylor, A. Mylonas City Office SSMP Audit Report Submission July 24, 2013 — WG Office SSMP Audit Report Revision B. Callahan, A. Mylonas August 1, 2013 Review August 2, 2013 WG Office and SSMP Audit Report S. Taylor, A. Mylonas City Office Finalized City of Arroyo Grande August 2, 2013 Page 3 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report SSMP AUDIT RESULTS The SSMP Audit resulted in a finding that the City's 2009 SSMP is not completely in compliance with seven out of eleven subsections of SSSWDR Section D.13 and has been partially effective in implementing the SSMP. A summary of these results is presented in Table 3 below: Table 3: 2013 SSMP Audit Results SSMP City Effectiveness in SSSWDR Section D.13 Compliance the Implementation of Schedule with Required SSMP Subsections Subsection N/A. See additional Goal recommendations 1. [SSSWDR D.13(i)] In Compliance In Compliance in the Goal section of this SSMP Audit Report. Partial Compliance General Deficiencies: • The correct authorized representative for implementing the SSMP is not given. • All required Staff names and telephone numbers Update the Organization Partial are not given in the deficiencies 2. [SSSWDR D.13(ii)] Compliance SSMP. identified in this section by August • City Council 2, 2014. positions need to be updated. • City Staff position titles and names included in the lines of authority and SSO chain of communication do not reflect the City's recent restructuring. City of Arroyo Grande August 2, 2013 Page 4 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report SSMP City Effectiveness in SSSWDR Section D.13 Compliance the Implementation of Schedule with Required SSMP Subsections Subsection N/A. See additional Legal Authority Substantial recommendations 3. [SSSWDR D.13(iii)] Compliance In Compliance in the Legal Authority section of this SSMP Audit Report. Substantial Compliance General Deficiencies: • The critical parts and equipment list is not representative of all City owned assets such as Lift Stations and should be improved to identify parts needed to repair critical equipment. Develop a plan • Some training and schedule to Operation and procedures and develop and 4 Maintenance Substantial training records are implement the Program Compliance available; however, items listed as [SSSWDR D.13(iv)] City records do not deficient in this demonstrate a section by August formal training 2, 2014. program with a schedule, procedures, and records documenting these items and activities. • See the Operation and Maintenance section of this SSMP Audit Report for additional details. City of Arroyo Grande August 2, 2013 Page 5 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report SSMP City Effectiveness in SSSWDR Section D.13 Compliance the Implementation of Schedule with Required SSMP Subsections Subsection N/A. See additional Design and recommendations Performance in the Design and 5. Provisions In Compliance In Compliance Performance [SSSWDR D.13(v)] Provisions section of this SSMP Audit Report. Partial Compliance General Deficiencies: • The plan requires additional development to address all of the requirements for an OERP such as; formal, written procedures for City Staff to conduct SSO related activities and Develop a plan conduct follow-up and schedule to Overflow water quality develop and 6 Emergency Partial monitoring and implement the Response Plan Compliance impact items listed as [SSSWDR D.13(vi)] assessments. deficient in this section by August • Reporting 2, 2014. timeframes and requirements are not consistent with the SSSWDR's Monitoring and Reporting Program. • See the Overflow Emergency Response Plan section of this SSMP Audit Report for additional details. City of Arroyo Grande August 2, 2013 Page 6 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report SSMP City Effectiveness in SSSWDR Section D.13 Compliance the Implementation of Schedule with Required SSMP Subsections Subsection N/A. See additional FOG Control recommendations 7. Program In Compliance In Compliance in the FOG [SSSWDR D.13(vii)] Control Program section of this SSMP Audit Report. Substantial Compliance: General Deficiencies: Develop a plan The City has not and schedule to System Evaluation presented in the SSMP develop and and Capacity Substantial a plan and schedule for implement the $' Assurance Plan Compliance the completion of capital items listed as [SSSWDR D.13(viii)] improvement projects deficient in this identified in the 2012 section by August Wastewater System 2 2014. Master Plan. Substantial Compliance Develop a plan Monitoring, and schedule to Measurement, and General Deficiencies: develop and 9. Program Substantial There is not a formal implement the Modifications Compliance process to evaluate items listed as SSSWDR D.13 ix the implementation deficient in this [SSSWDR )] or effectiveness of section by August each SSMP. 2, 2014. N/A. See additional SSMP Program recommendations 10. Audits In Compliance In Compliance in the SSMP [SSSWDR D.13(x)] Program Audits section of this SSMP Audit Report. City of Arroyo Grande August 2, 2013 Page 7 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report SSMP City Effectiveness in SSSWDR Section D.13 Compliance the Implementation of Schedule with Required SSMP Subsections Subsection Partial Compliance General Deficiencies: ■ The SSMP does not include a record or examples of the City's outreach activities. Develop a plan and schedule to Communication ■ Collection System develop and 11. Program Partial Coordination implement the [SSSWDR D.13(xi)] Compliance Meetings for items listed as SSLOCSD and the deficient in this Member Agencies section by August were conducted 2, 2014. through March 2013, but, as of this date, further meetings have not been conducted per the monthly meeting schedule. The following sections of this report describe these deficiencies in detail and address future additions and updates the City is required to make to its SSMP. The above list of updates is a summary and is not intended to replace the detailed deficiencies identified in the SSMP Audit Report. The recommendations of the entire SSMP Audit Report should be implemented in a reasonable time frame, such as by August 2, 2014, to ensure compliance with the SSSWDR. City of Arroyo Grande August 2, 2013 Page 8 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 1.0 Goal [SSSWDR D.13(i)] SSSWDR D.13(i) states: The goal of the SSMP is to provide a plan and schedule to properly manage, operate, and maintain all parts of the sanitary sewer system. This will help reduce and prevent SSOs, as well as mitigate any SSOs that do occur. Section D.13(i): The 2009 SSMP includes four (4) goals, but they should be updated to be specific and measureable. City Staff works to achieve the four (4) goals and showed evidence of this work, such as work orders, SSO records, FOG records, and responses to complaints, during the SSMP Audit. Sufficiency: In Compliance Reference: 2009 SSMP, p. 8 Deficiencies: There are no deficiencies. Recommendation: The City should update its goals to be specific, to be measurable. City of Arroyo Grande August 2, 2013 Page 9 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 2.0 Organization [SSSWDR D.13(ii)] SSSWDR D.13(ii) states: The SSMP must identify: (a).The name of the responsible or authorized representative as described in Section J of this Order; (b).The names and telephone numbers for management, administrative, and maintenance positions responsible for implementing specific measures in the SSMP program. The SSMP must identify lines of authority through an organization chart or similar document with a narrative explanation; and (c).The chain of communication for reporting SSOs, from receipt of a complaint or other information, including the person responsible for reporting SSOs to the State and Regional Water Board and other agencies if applicable (such as County Health Officer, County Environmental Health Agency, Regional Water Board, and/or State Office of Emergency Services (OES)). SSSWDR J states: All applications, reports, or information shall be signed and certified as follows: (i). All reports required by this Order and other information required by the State or Regional Water Board shall be signed and certified by a person designated, for a municipality, state, federal or other public agency, as either a principal executive officer or ranking elected official, or by a duly authorized representative of that person, as described in paragraph (ii) of this provision. (For purposes of electronic reporting, an electronic signature and accompanying certification, which is in compliance with the Online SSO database procedures, meet this certification requirement). (ii). An individual is a duly authorized representative only if: (a).The authorization is made in writing by a person described in paragraph (i) of this provision; and (b).The authorization specifies either an individual or a position having responsibility for the overall operation of the regulated facility or activity. Section D.13(ii)(a): The SSMP states that the Director of Recreation and Maintenance Services is the authorized representative for implementing the SSMP, but it should state that Shane Taylor, the Utilities Supervisor, is the responsible and authorized representative. The section above is in marginal compliance with the above requirement. See recommendations at the end of the Organization section of this report. City of Arroyo Grande August 2, 2013 Page 10 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report Section D.13(ii)(b): The names and telephone numbers for management and administrative positions responsible for implementing specific measures in the SSMP program are included in SSMP Appendix B; however telephone numbers are not provided for maintenance positions responsible for implementing specific measures in the SSMP program. These phone numbers are available in the Public Works Department Staff Contact List. This list and its location should be referenced in the SSMP. The SSMP states which positions are responsible for each SSMP Element, but does not identify which City positions are responsible for implementing each SSMP Element. Wallace Group is contracted by SSLOCSD, who is contracted by the City, to manage and implement the City's Fats, Oils, and Grease (FOG) Control Program, but the names, contact information, and SSMP areas of responsibility for the Wallace Group and SSLOCSD Staff responsible for these activities are not identified. Lines of authority are presented in SSMP Appendix B, but include position titles and Staff names that are out of date since the City's restructuring and need to be updated. SSMP Element 2: Organization should be updated to provide the roles and responsibilities for the current position titles. This list of City Council Members included in SSMP Appendix B is not current and needs to be updated. The section above is in partial compliance with the above requirement. See recommendations at the end of the Organization section of this report. Section D.13(ii)(c): A chain of communication for reporting sanitary sewer overflows (SSOs) is provided in the 2009 SSMP; however, SSMP Element 2: Organization references SSMP Appendix B for the regulatory agency contact information, which is actually included in the Overflow Emergency Response Plan in SSMP Appendix E. City Staff position titles need to be updated to reflect the City's restructuring. The section above is in substantial compliance with the above requirement. See recommendations at the end of the Organization section of this report. Sufficiency: Partial Compliance Reference: 2009 SSMP, p. 9— 15 and Appendices B and E; CIWQS Facility At-A Glance Report (June 20, 2013) Deficiencies: The SSMP does not state the correct authorized representative for implementing the SSMP and does not identify which City positions are responsible for implementing each SSMP Element. City of Arroyo Grande August 2, 2013 Page 11 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report The names and telephone numbers for management and administrative positions responsible for implementing specific measures in the SSMP program are included in SSMP Appendix B; however telephone numbers are not provided or referenced for maintenance positions responsible for implementing specific measures in the SSMP program. Since the City utilizes a call-back sheet for City Maintenance Staff contact information, the SSMP should be updated to reference where the call-back sheet is posted for City Staff use. Wallace Group Staff and SSLOCSD Staff, who are responsible for implementing the City's FOG Control Program are not listed with their names and contact information. This list of City Council Members included in SSMP Appendix B is not current. The chain of communication for reporting sanitary sewer overflows (SSOs) provided in SSMP Element 2: Organization references SSMP Appendix B for the regulatory agency contact information, which is actually included in the Overflow Emergency Response Plan in SSMP Appendix E. City Staff position titles and names included in the lines of authority and SSO chain of communication do not reflect the City's recent restructuring. Recommendation: The name of the authorized representative for implementing the SSMP< needs to be updated. SSMP Element 2: Organization needs to be updated to include all of the names and telephone numbers of all City and Contract Staff responsible for implementing the SSMP, reference and identify the location of the Public Works Department Staff Contact List, identify which positions are responsible for implementing each SSMP Element, and correctly list the current City Council Members. The Chain of Communication section of SSMP Element 2: Organization needs to be updated to reflect the recent City staff restructuring. City of Arroyo Grande August 2, 2013 Page 12 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 3.0 Legal Authority [SSSWDR D.13(iii)] SSSWDR D.13(iii) states: Each Enrollee must demonstrate, through sanitary system use ordinances, service agreements, or other legally binding procedures, that it possesses the necessary legal authority to: (a).Prevent illicit discharges into its sanitary sewer system (examples include 1/1, stormwater, chemical dumping, unauthorized debris and cut roots, etc.); (b).Require that sewers and connections be properly designed and constructed; (c). Ensure access for maintenance, inspection, or repairs for portions of the lateral owned or maintained by the Public Agency; (d).Limit the discharge of fats, oils, and grease and other debris that may cause blockages; and (e).Enforce any violation of its sewer ordinances. Section D.13(iii)(a): Illicit discharges, such as stormwater, debris, chemicals, waste, concrete, debris that obstruct, etc., are addressed in South San Luis Obispo County Sanitation District's (SSLOCSD's) Pretreatment Ordinance, Ordinance No. 1994-1, and the following Arroyo Grande Municipal Code Sections: ■ 13.12.400 – Prohibited discharges. ■ 13.12.410 – Commercial and industrial discharges. ■ 13.12.420 – Private systems—Discharges. The SSMP should be updated to include be updated to include Arroyo Grande Municipal Code Section 13.12.420 – Private systems—Discharges. The section above is in substantial compliance with the above requirement. See recommendations at the end of the Legal Authority section of this report. Section D.13(iii)(b): Proper design and construction of sewers and connections are required by the City Public Works Department's Standard Plans (2005), The "Greenbook" (2003), the Uniform Plumbing Code (UPC), and the following Arroyo Grande Municipal Code Sections: ■ 13.12.110 – Groups of houses or buildings on one lot—Connections to main sewers. ■ 13.12.120 – Sewer connections—Applications. ■ 13.12.130 – Private systems—Construction—Inspections. ■ 13.12.140 –Approval—Required. ■ 13.12.150 –Approval—Process. ■ 13.12.270 – Inspection required. ■ 13.12.370 – Sewer pumps—Backflow valves. City of Arroyo Grande August 2, 2013 Page 13 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report The SSMP should be updated to incorporate the following Arroyo Grande Municipal Code Sections: ■ 13.12.110 – Groups of houses or buildings on one lot—Connections to main sewers. ■ 13.12.140 –Approval—Required. ■ 13.12.150 –Approval—Process. The SSMP should also be updated to include a link to the location of the City Public Works Department's Standard Plans on the City's website. The section above is in substantial compliance with the above requirement. See recommendations at the end of the Legal Authority section of this report. Section D.13(iii)(c): The City does not own and, therefore, does not require access to maintain or repair any portion of a lateral. The City ensures access for inspection for portions of the lateral owned or maintained by a resident or business in the following Arroyo Grande Municipal Code Sections: ■ 13.12.270 – Inspection required. ■ 13.12.500 – Right of entry. The section above is in compliance with the above requirement. See recommendations at the end of the Legal Authority section of this report. Section D.13(iii)(d): The City has the authority to limit the discharge of FOG and other debris that may cause blockages in the sanitary sewer system through SSLOCSD's FOG Ordinance, Ordinance No. 2008-01, and in Arroyo Grande Municipal Code Section 13.12.400 – Prohibited discharges. The SSMP should be updated to incorporate the adopted SSLOCSD FOG Ordinance, Ordinance No. 2008-01, and remove the reference to Arroyo Grande Municipal Code Section 13.12.270 – Inspection required., since it is not applicable to this SSMP requirement. The section above is in substantial compliance with the above requirement. See recommendations at the end of the Legal Authority section of this report. Section D.13(iii)(e): City has the authority to enforce any violation of its sewer ordinances in the following Arroyo Grande Municipal Code Chapters and Sections: • Chapter 1.16– Penalty Provisions • Chapter 9.12 – Nuisances • Section 13.12.470 – Delinquencies—Collection. • Section 13.12.480 – Delinquencies—Liens. • Section 13.12.490 – Enforcement—Delegation of duty. City of Arroyo Grande August 2, 2013 Page 14 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report The SSMP should be updated to incorporate Arroyo Grande Municipal Code Chapters 1.6— Penalty Provisions and 9.12— Nuisances and to reference that SSLOCSD Resolution No. 2011- 295 is utilized to enforce any violations of the SSLOCSD FOG Ordinance. The reference in the SSMP for Arroyo Grande Municipal Code Sections 13.04.070 — 13.04.080 should be removed since they pertain to the City's water system; not the City's sewer system. The section above is in partial compliance with the above requirement. See recommendations at the end of the Legal Authority section of this report. Sufficiency: Substantial Compliance Reference: 2009 SSMP, p. 16— 18; Arroyo Grande Municipal Code Chapters 1.16 — Penalty Provisions, Chapter 9.12— Nuisances, and 13.12— Sewer Service System; SSLOCSD Ordinances No. 1994-1 and 2008-01. Deficiencies: The SSMP does not include some required Arroyo Grande Municipal Code references for prohibiting illicit discharges, the proper design and construction of sewers and connections, and the authority to enforce any violation of its sewer ordinances. The SSMP also does not include a web link to the City Public Works Department's Standard Plans. The SSMP states that SSLOCSD is in the process of adopting a FOG Ordinance, but the FOG Ordinance was adopted and is in effect. SSLOCSD Resolution No. 2011-295 is not referenced. Recommendation: The SSMP should be updated to incorporate a web link for the City Public Works Department Standard Plans, SSLOCSD's FOG Ordinance, Ordinance No. 2008-01, SSLOCSD Resolution No. 2011-295, and the missing Arroyo Grande Municipal Code references for prohibiting illicit discharges, the proper design and construction of sewers and connections, and the authority to enforce any violation of its sewer ordinances. City of Arroyo Grande August 2, 2013 Page 15 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 4.0 Operation and Maintenance Program [SSSWDR D.13(iv)] SSSWDR D.13(iv) states: The SSMP must include those sections listed below that are appropriate and applicable to the Enrollee's system: (a).Maintain an up-to-date map of the sanitary sewer system, showing all gravity line segments and manholes, pumping facilities, pressure pipes and valves, and applicable stormwater conveyance facilities; (b).Describe routine preventive and operation and maintenance activities by staff and contractors, including a system for scheduling regular maintenance and cleaning of the sanitary sewer system with more frequent cleaning and maintenance targeted at known problem areas. The Preventative Maintenance (PM) Program should have a system to document scheduled and conducted activities, such as work orders; (c). Develop a rehabilitation and replacement plan to identity and prioritize system deficiencies and implement short-term and long-term rehabilitation actions to address each deficiency. The program should include regular visual and TV inspections of manholes and sewer pipes, and a system for ranking the condition of sewer pipes and scheduling rehabilitation. Rehabilitation and replacement should focus on sewer pipes that are at risk of collapse or prone to more frequent blockages due to pipe defects. Finally the rehabilitation and replacement plan should include a capital improvement plan that addresses proper management and protection of the infrastructure assets. The plan shall include a time schedule for implementing the short- and long-term plans plus a schedule for developing the funds needed to the capital improvement plan; (d).Provide training on a regular basis for staff in sanitary sewer system operations and maintenance, and require contractors to be appropriately trained; and (e).Provide equipment and replacement part inventories, including identification of critical replacement parts. Section D.13(iv)(a): All sewer assets and appurtenances are identified in the map referenced in the City August 2009 SSMP. Two separate map atlases and map books are maintained by the City identifying sewer assets and storm water conveyance facilities that could be impacted by a SSO. Staff currently has a backlog of redline changes for the sewer system for transfer into the sewer system atlas. The City has recently integrated sewer maps into GIS and plans to include stormdrain information as an additional layer for this mapping system. Future updates to the SSMP should include a link or paper copy of the updated sewer and stomdrain atlas. The section above is in compliance with the above requirements. See recommendations at the end of the Operation and Maintenance Program section of this report. City of Arroyo Grande August 2, 2013 Page 16 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report Section D.13(iv)(b): The August 2009 City SSMP summarizes goals and Routine Preventative Operation and Maintenance (O&M) activities in this section. O&M relating to sewer line; cleaning, inspection, and minor sewer line repairs are performed by the City staff. Routine O&M for the five (5) City Lift Stations are conducted by City maintenance staff. Lift Stations are inspected and maintained once a week as described in the City of Arroyo Grande Performance Standard Activity Code: 315 - Lift Station Maintenance. Contractors are hired to perform maintenance and repair when significant electrical maintenance or mechanical work is required. The current SSMP references six (6) Lift Stations which should be revised to reflect the five (5) current Lift Stations in operation. Sewer line cleaning activities are organized in the City's 2012 Sewer Main Cleaning Program. Cleaning schedules are divided into twelve (12) distinct sections which are identified in a sewer system map book. Line cleaning records are entered into the City's Sewer Main Cleaning Program Route Sheets. The City's SSMP states that the goal for line cleaning is to clean and flush the entire system annually. While the City has met this goal in the past, there have been two impacts over the past 5 years that have interfered with the continued achievement of this annual goal. First; staff has integrated detailed manhole inspections to be conducted with routine line cleaning activities. This additional work task has impacted the amount of time staff spends cleaning lines. Second; City Sewer Maintenance Staffing levels have been reduced by 2 full time positions over the course of the past five years. Once manhole inspections are complete and historic staffing levels resume, this annual goal may be met. A new cleaning schedule should be identified and integrated into the City's next SSMP update that reflects current staffing levels and workloads. Areas needing more frequent cleaning; High Maintenance Areas (HMAs) or Trouble Spots are discussed in the August 2009 SSMP and scheduled for quarterly cleaning. When problems are found during sewer line cleaning activities, a CCTV inspection is conducted by City staff to determine the conditions of the line. The City also uses chemical root control as a method to address HMAs caused by roots. Records for chemical root control were reviewed as part of this audit. A list of HMAs is not included in the City's SSMP and should be included in the next SSMP update. Manholes receive an inspection during routine sewer line cleaning. Manhole Observation and Inspection Reports are completed for each manhole for future assessment by City staff to create rehabilitation and replacement projects. It should be noted that 500 City manholes were estimated as needing rehabilitation or replacement (R&R) for budgetary projections in the 2012 Wastewater System Master Plan. As previously mentioned, City staff is in the process of inspecting and assessing the condition of all City manholes to help identify and prioritize those manholes that will receive R&R. The section above is in compliance with the above requirements. See recommendations at the end of the Operation and Maintenance Program section of this report City of Arroyo Grande August 2, 2013 Page 17 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report Section D.13(iv)(c): The August 2009 SSMP states that the City employs a number of measures to keep the existing sewer system functional ranging from local rehabilitation to complete replacement of the sewer section. It additionally states that the City completes a system survey annually to help establish rehabilitation projects. While the City did complete a 2012 Wastewater System Master Plan, this study and related projects is not included in the current version of the SSMP. The current SSMP does not elaborate on the specific methods and plan used to identify R&R projects. The City should incorporate a specific plan and schedule (2012 Wastewater Master Plan) to identify and address defects in pipelines, manholes, lift stations, and other appurtenances in the next update to the SSMP. The 2012 Wastewater System Master Plan does address the majority of the requirements in this section. This Master Plan provides an assessment of the City's sewer system; Lift Stations, Force Mains, Manholes, and Sewer Line (capacities). CCTV inspections for approximately 60% of the system were also integrated as part of the sewer line assessments referenced in the 2012 Master Plan. This plan includes a prioritized list of projects identified to take place between 2013 and 2037. Projects are grouped by a Priority Ranking of"A", "B", and "C". Project schedules are as follows: • Priority "A" Projects to be conducted between 2013 and 2017 • Priority "B" Projects to be conducted between 2018 and 2027 • Priority "C" Projects to be completed between 2028 and 2037 A short and long term CIP and associated schedule was developed based on the results of the WSMP report through Fiscal Year (FY) 2017/18. The City is currently undergoing a revenue rate study to help fund these projects. This rate study is planned for completion in Spring 2014. A formal plan and schedule to conduct future CCTV inspections and assess sewer line deficiencies was not available at the time of this audit. The SSMP needs to be updated to include reference to specific sections of the 2012 Sewer Master Plan and Rate Study that meet the requirements of this section. A plan and schedule to conduct future CCTV inspections and a system for ranking the condition of sewer pipes and scheduling rehabilitation and replacement needs to be developed and included in the SSMP. The section above is in substantial compliance with the above requirements. See recommendations at the end of the Operation and Maintenance Program section of this report. Section D.13(iv)(d): The August 2009 SSMP states that Staff receives training in system operations and maintenance, safety, and reporting procedures for SSOs. Records for safety training and some routine operations and maintenance activities were reviewed however a formal O&M training program with written procedures was not in place at the time of this audit. Staff is in the process of developing a detailed O&M procedure for Sewer Vac Con use and plans to develop additional procedures in the future; however, there is no formal plan and schedule in place for this task. According to City staff, the City does not employ contractors that would require training in general O&M tasks as they are performed by City staff. Contractors City of Arroyo Grande August 2, 2013 Page 18 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report who are hired by the City are required to be adequately licensed to perform tasks identified in the scope of work identified in each contract. Training procedures for collection system operations, maintenance, and monitoring were not available at the time of this audit. Procedures should be developed for O&M activities that are specific to City sewer O&M. Training should be conducted annually at a minimum or when conditions require more frequent training. The section above is in marginal compliance with the above requirements. See recommendations at the end of the Operation and Maintenance Program section of this report. Section D.13(iv)(e): A list of current collection system critical parts and equipment was provided for maintaining City sewer lines and manholes. The City participates in three (3) separate mutual aid agreements for critical parts and equipment; CAL WARN, San Luis Obispo County Mutual Aid Agreement, and the Multi-County Mutual Aid Agreement. The City also works informally with the City of Grover Beach and South San Luis Obispo County Sanitation District to maintain a list of critical parts and equipment that may be used in the event of a SSO. A list of vendors for items and equipment not kept in stock was not available. A list of critical parts and equipment necessary for the operation and maintenance of City Lift Stations and emergency equipment was not available. The City should develop a comprehensive list of critical parts and equipment for all assets and equipment used in the sewer system and create a vendor list with contact information for parts and equipment that are not easily or reasonably stocked. Include these items in the next update to this SSMP. Formal and informal Mutual Aid agreements should also be incorporated into the next SSMP update. The section above is in partial compliance with the above requirements. See recommendations at the end of the Operation and Maintenance Program section of this report. Sufficiency: Substantial Compliance Reference: 2009 SSMP, p. 19—23; Training Certifications: 2011-2012; CCTV Reports: Volumes 1-III; Sewer Lift Station Logs; 2012 Wastewater System Master Plan; Critical Parts and Equipment List; Dukes Root Control Invoices: 2012; FY 2013/14 Budget; 5-Year CIP Plan (2013/14); Lift Station Maintenance Performance Standard; 2012 Sewer Line Cleaning Program and Procedure; Sewer Main Cleaning Program Route Sheet; SSLOCSD District Manhole Observation and Inspection Report; CAL WARN Agreement; Multi Agency Resource Matrix; Public Works Mutual Aid Agreement; San Luis Obispo County Mutual Aid Agreement. Deficiencies: Lift Station O&M preventative maintenance schedules are not presented in the City SSMP. A schedule for future CCTV, how the pipeline segments are assessed, and the plan for rehabilitation and/or repair of those pipeline segments found to be in need is not discussed in the SSMP. Sections of the 2012 Wastewater System Master Plan (WSMP) and City of Arroyo Grande August 2, 2013 Page 19 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report future Rate Study that can be used to meet the requirements of the Rehabilitation & Replacement Program should be referenced and included in the SSMP. The critical parts and equipment list is not representative of all City owned assets such as Lift Stations and should be improved to identify parts needed to repair critical equipment. Additionally, the City does not have a formal list of vendors and associated contact information for critical parts and equipment not normally kept in stock. An O&M training program and training records demonstrating how staff is trained for O&M activities, such as traffic control, service connection requests, sewer line cleaning, etc., require further development and inclusion in the next update to the SSMP. Recommendation: Deficient sections of the O&M Program to be created and documented in the next SSMP revision include: • Identify and incorporate the Preventative Maintenance plan and schedule for City Lift Stations and include in future updates to the SSMP. • Update Sewer Line Cleaning Schedule to reflect current practices and staffing levels. Include a HMA cleaning list as an attachment to the updated SSMP. • Revise SSMP to reflect current number of Lift Stations in system. • Include a list of FOG and Root related HMAs in the next update to the SSMP. • Develop a formal Rehabilitation and Replacement (R&R) plan that incorporates CCTV sewer line condition assessments. Include the proposed short- and long-term CIP completion schedule generated from the 2012 WSMP and document in a table which projects were initiated and/or completed in FY 2011/12 and years following. • Identify critical parts and equipment necessary for the operation and maintenance of City assets and document them. If parts and equipment are not planned to be stocked by the City, document the vendors for these items and contact information. If equipment is available through mutual aid agreements with neighboring agencies or through contract services, document/reference these agreements in the SSMP. • Develop training procedures specific to City O&M activities and train on these procedures annually. Maintain documentation of this training. • Develop a plan to incorporate and train new staff as current staff nears retirement to insure City "institutional knowledge" is maintained and there is adequate staffing to maintain compliance with requirements found in the SSWDRs. City of Arroyo Grande August 2, 2013 Page 20 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 5.0 Design and Performance Provisions [SSSWDR D.13(v)] SSSWDR D.13(v) states: (a).Design and construction standards and specifications for the installation of new sanitary sewer systems, pump stations, and other appurtenances; and for the rehabilitation and repair of existing sanitary sewer systems; and (b).Procedures and standards for inspecting and testing the installation of new sewers, pumps, and other appurtenances and for rehabilitation and repair projects. Section D.13(v)(a): The SSMP and City Municipal Code contain the City's design and construction standards. The City Municipal Code addresses the expected standards for conducting repairs and new construction related to the sewer system in the following sections: • Section 13.12.120: Sewer Connections —Applications • Section 13.12.130: Private Systems —Construction — Inspections • Section 13.12.270: Inspection Required The City maintains a set of Engineering Standards for sanitary sewer system, which is located on their website, www.arroyogrande.org/document-center/standards/engineering-standards/. It is recommended that these Engineering Standards be printed and included in SSMP Revision 1, since internet references frequently change. The City additionally requires all work to be in compliance with the California Uniform Plumbing Code (UPC), approved by the Public Works Director, and permitted by the City. The section above is in compliance with the above requirements. Section D.13(v)(b): The "Standard Specifications for Public Works Construction," also known as The "Greenbook," is employed by the City and contains specifications and standards for construction and inspections. Procedures and standards for inspecting and testing the installation of new sewers, pumps, and other appurtenances and for rehabilitation and repair projects are included in The "Greenbook". The section above is in compliance with the above requirements. Sufficiency: In Compliance Reference: 2009 SSMP, p. 24; Arroyo Grande Municipal Code Section 13.12; City Public Works Department Standard Plans (20050; The "Greenbook": Standard Specifications for Public Works Construction. Deficiencies: There are no deficiencies. The City is in compliance with this section. Design Standards and Specifications with Testing Procedures and Requirements were reviewed during the Audit. City of Arroyo Grande August 2, 2013 Page 21 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report Recommendation: It is recommended that current City Engineering Standards be printed and included in the next SSMP revision. City of Arroyo Grande August 2, 2013 Page 22 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 6.0 Overflow Emergency Response Plan [SSSWDR DA 3(vi)] SSSWDR D.13(vi) states: Each Enrollee shall develop and implement an overflow emergency response plan that identifies measures to protect public health and the environment. At a minimum, the plan must include the following: (a).Proper notification procedures so that the primary responders and regulatory agencies are informed of all SSOs in a timely manner; (b).A program to ensure appropriate response to all overflows; (c). Procedures to ensure prompt notification to appropriate regulatory agencies and other potentially affected entities (e.g. health agencies, Regional Water Boards, water suppliers„ etc.) of all SSOs that potentially affect public health or reach the waters of the State in accordance with the MRP. All SSOs shall be reported in accordance with this MRP, the California Water Code, other State Law, and other applicable Regional Water Board WDRs or NPDES permit requirements. The SSMP identifies the officials who will receive immediate notification; (d).Procedures to ensure that appropriate staff and contract personnel are aware of and follow the Emergency Response Plan and are appropriately trained; (e).Procedures to address emergency operations, such as traffic and crowd control and other necessary response activities; and (f). A program to ensure that all reasonable steps are taken to contain and prevent the discharge of untreated or partially treated wastewater to waters of the United States and minimize or correct any adverse impact on the environment resulting from the SSOs, including such accelerated or additional monitoring as may be necessary to determine the nature and impact of the discharge. Section D.13(vi): The City's SSMP gives a general summary of its Overflow Emergency Response Program (OERP). The physical OERP is found in Appendix "E" of the SSMP. This plan requires additional development to address all of the requirements for an OERP; specifically written procedures to address requirements (a) — (f) in SSMP Element 6 of the SSSWDR and reporting requirements consistent with the SSSWDR. Each OERP Section should mirror the requirements found in Element 6: Sections (a) — (f). Section D.13(vi)(a): Section A of the City OERP includes the City's Notification Procedure. This procedure discusses how the City is notified of a SSO and how staff is dispatched to a SSO through the Police Dispatch Center. A chain of communication showing how first responders and regulatory agencies are notified was reviewed. Contact information for RWQCB staff should be updated in the next formal revision/update of the SSMP. City of Arroyo Grande August 2, 2013 Page 23 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report There were a few discrepancies found in Element 6 of the SSMP: • Reporting Procedures in Section 6.8 (page 29) should include the "2 hour notification requirement" so it is clear to staff that this is a maximum timeframe for notification. Currently this Section states that Category 1 Spills are reported "immediately". • Reporting Procedures in Section 6.12 (page 31) must be changed from a 24 hour phone reporting period to a 2-hour reporting period. Section D.13(vi)(b): A general overview of SSO response was provided; however, a program and associated procedures showing key positions and their responsibility to ensure appropriate response to all overflows was not available at the time of this audit and was not found in the SSMP. Section D.13(vi)(c): A general notification overview and associated organizational flow chart and summary showing key positions and their responsibility to ensure appropriate response to all overflows was reviewed in Element 2: Section 2.6—Chain of Communication for Reporting SSOs. This Section should be revised to state that Cal EMA (State Office of Emergency Services) will be contacted within 2 hours "if the spill is over 1,000 gallons or for any discharge to a drainage channel or a surface water" A formal program with procedures to ensure prompt notification to regulatory agencies and officials were not available for review at the time of this audit. Section D.13(vi)(d): Procedures to ensure appropriate staff and contractor personnel are aware of, follow, and are trained on the Overflow Emergency Response Plan were not available at the time of this audit. No training documentation for SSO response was available during the audit. Section D.13(vi)(e): Procedures to address emergency operations, such as emergency traffic and crowd control and other necessary response activities were not available at the time of this audit. Section D.13(vi)(e): The City OERP does summarize how staff should respond to and contain a SSO. A comprehensive program with specific procedures to contain, prevent, and monitor untreated and partially treated wastewater to waters of the State was not available at the time of this audit. The sections above are in partial compliance with the above requirements. See recommendations at the end of the Operation and Maintenance Program section of this report. Sufficiency: Partial Compliance Reference: 2009 SSMP, p. 25—32, and Appendix E. City of Arroyo Grande August 2, 2013 Page 24 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report Deficiencies: Reporting timeframes and notification requirements consistent with the 2008 Monitoring and Reporting Requirements in the SSSWDR must be updated. RWQCB staff contact info requires updating to reflect the current City contact with this agency. Formal, written procedures required above were not provided during the Audit or are included in the SSMP. Evidence of a program to inform and train City Staff and contractors on how to contain and prevent a SSO and conduct follow-up water quality monitoring and an impact assessment was also not provided during the Audit or included in the MRP. Recommendation: This SSMP Section is recommended to be updated with a plan and schedule to create the necessary SSO emergency response programs, procedures, forms, training program, and impact mitigation and assessment program. The SSMP Section must also be updated to include a notification list for SSOs and forms, such as spill volume estimation, water quality monitoring, SSO compliant resolution, etc., that City Staff should be utilizing to document and report SSOs. Reporting timeframes and notification requirements must be updated to be consistent with the Monitoring and Reporting Program in the SSSWDR. RWQCB Staff contact info, which has been informally updated, also requires updating to reflect the current City contact with this agency during the SSMP update. During the next update to the SSMP and OERP, ensure that each section of the OERP mirrors the requirements found in WDR Element 6 Sections (a) — (f). The current OERP contains information, such as that on portable aerators, that is not used by the City for SSO response and mitigation. City of Arroyo Grande August 2, 2013 Page 25 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 7.0 FOG Control Program [SSSWDR DA 3(vii)] SSSWDR D.13(vii) states: Each Enrollee shall evaluate its service area to determine whether a FOG control program is needed. If an Enrollee determines that a FOG program is not needed, the Enrollee must provide justification for why it is not needed. If FOG is found to be a problem, the Enrollee must prepare and implement a FOG source control program to reduce the amount of these substances discharged to the sanitary sewer system. This plan shall include the following as appropriate: (a).An implementation plan and schedule for a public education outreach program that promotes proper disposal of FOG; (b).A plan and schedule for the disposal of FOG generated within the sanitary sewer system service area. This may include a list of acceptable disposal facilities and/or additional facilities needed to adequately dispose of FOG generated within a sanitary sewer system service area; (c).The legal authority to prohibit discharges to the system and identify measures to prevent SSOs and blockages caused by FOG; (d).Requirements to install grease removal devices (such as traps or interceptors) and the development of design standards for such devices, maintenance requirements, BMP requirements, record keeping and reporting requirements; (e).Authority to inspect grease producing facilities, enforcement authorities, and whether the Enrollee has sufficient staff to inspect and enforce the FOG ordinance; (f). An identification of sewer system sections subject to FOG blockages and establishment of a cleaning maintenance schedule for each section; and (g).Development and implementation of source control measures for all sources of FOG discharged to the sewer system for each section identified in (f) above. Section D.13(vii): After the issuance of the SSSWDR, the City determined that FOG is an ongoing problem in the sewer collection system, and a FOG Program was needed. The City has over fifty-three (53) food service establishments (FSEs) in its service area. The City is one (1) of the three (3) Member Agencies (MAs) tributary to SSLOCSD and part of a MA Agreement with SSLOCSD. The MAs contracts their FOG Control Program management and implementation to SSLOCSD through the MA Agreement, and Wallace Group provides these services as SSLOCSD's contract District Engineer. In this Audit, the FOG Control Program presented in the 2009 SSMP was evaluated against the SSSWDR Section D.13(vii) requirements included above. The effectiveness of the FOG Control Program is evaluated at the end of this section. City of Arroyo Grande August 2, 2013 Page 26 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report Section D.13(vii)(a): The City's SSMP describes public outreach for FOG from its inception in 2007. Public education is conducted with FSEs during semiannual inspections each fiscal year. An assortment of literature is distributed to each FSE, including: best management practices, certified grease hauler list, cleaning record forms, and no grease posters for display in FSE kitchens. Inspectors discuss program parameters and strategies to keep FOG from entering the sewer system during each inspection. Public education and outreach is documented for FSE's within the City limits. Residential outreach regarding FOG is discussed in the SSMP as being conducted through flyers at public meetings, information in billing statements, and door hangers for residential areas prone to FOG. The City conducted an outreach study in 2009 and 2010, which included lift station #4 and the ninety-seven (97) homes, which discharge to lift station #4, since it was an area with a known grease problem. In May 2009, the City cleaned the wet well and measured the concentration of grease build-up. In August 2009, the City vacuumed and cleaned the wet well again and distributed informational flyers regarding grease disposal and grease build-up to the ninety-seven (97) homes in the study area. The City re-inspected lift station #4 and measured the concentration of grease build-up on November 2, 2009. Since there was no improvement in the amount of grease build-up, the City cleaned lift station #4 and redistributed the same flyers to the same ninety-seven (97) residences. Lift station #4 was inspected again and the concentration of grease build-up in the wet well was measured on February 5, 2010. Again, there was no improvement in the amount of grease discharged. The City also published an article regarding FOG in the City's April — June 2013 newsletter, Stagecoach Express: Volume 21, Number 2. The section above is in compliance with the above requirement. Section D.13(vii)(b): The 2009 SSMP states that information concerning how to dispose of FOG generated within the City's service area is disseminated under the public FOG education program, which is described above in response to SSSWDR Section D.13(vii)(a). The SSMP also includes a list of companies FSEs may utilize for the collection and disposal of FOG in SSMP Appendix F. The section above is in compliance with the above requirement. Section D.13(vii)(c) — (e): The legal authority to prohibit discharges to the collection system and identify measures to prevent FOG-caused SSOs is provided in the Arroyo Grande Municipal Code and SSLOCSD FOG Ordinance, Ordinance No. 2008-01. The 2009 SSMP gives a brief description of the SSLOCSD FOG Ordinance, which was in the process of being adopted at the time of the SSMP's approval and adoption, and references SSLOCSD's Pretreatment Ordinance, Ordinance No. 1994-1 as the ordinance being used to achieve the required legal authorities. The SSMP needs to be updated to include the adopted SSLOCSD FOG Ordinance and to reference the appropriate Arroyo Grande Municipal Code sections, which provide the legal authorities required by the SSSWDR. City of Arroyo Grande August 2, 2013 Page 27 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report The following tables outline the Arroyo Grande Municipal Code, SSLOCSD FOG Ordinance, and SSLOCSD Resolution Sections that provide the City with the legal authorities required for SSMP Element 7: FOG Control Program. The legal authority for prohibiting FOG discharges is provided in the following code and ordinance sections: • Arroyo Grande Municipal Code Section 13.12.400(8) • SSLOCSD Ordinance No. 2008-01, Article 2, Section 2.1 • SSLOCSD Ordinance No. 2008-01, Article 2, Section 2.3(A) • SSLOCSD Ordinance No. 2008-01, Article 4, Section 4.1(A) The requirements for grease control device installation are provided in: ■ SSLOCSD Ordinance No. 2008-01, Article 2, Sections 2.5 —2.7 The design standards for grease control device installation are provided in the following code and ordinance sections: • SSLOCSD Ordinance No. 2008-01, Article 2, Section 2.5 • SSLOCSD Ordinance No. 2008-01, Article 4, Section 4.1(B) — (D) • SSLOCSD Ordinance No. 2008-01, Article 4, Section 4.3 The maintenance, records, and reporting requirements for grease control device installation are provided in the following code and ordinance sections: • SSLOCSD Ordinance No. 2008-01, Article 4, Section 4.2 • SSLOCSD Ordinance No. 2008-01, Article 4, Sections 4.4 —4.6 • SSLOCSD Ordinance No. 2008-01, Article 5, Sections 5.1 —5.2 The legal authority for inspecting FSEs is provided in the following code and ordinance sections: • Arroyo Grande Municipal Code Section 13.12.500 • SSLOCSD Ordinance No. 2008-01, Article 5, Section 5.5 City of Arroyo Grande August 2, 2013 Page 28 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report The legal authority to enforce violations against any of the aforementioned requirements is provided in the following code, ordinance, and resolution sections: • Arroyo Grande Municipal Code Section 1.16.010 • Arroyo Grande Municipal Code Section 1.16.030 — 1.16.040 • Arroyo Grande Municipal Code Section 9.12.030 • Arroyo Grande Municipal Code Section 9.12.080 • Arroyo Grande Municipal Code Section 9.12.110 • Arroyo Grande Municipal Code Section 9.12.160 • Arroyo Grande Municipal Code Section 13.12.490 • SSLOCSD Ordinance No. 2008-01, Article 6, Section 6.1 • SSLOCSD Ordinance No. 2008-01, Article 6, Section 6.3—6.9 • SSLOCSD Ordinance No. 2008-01, Article 7, Section 7.1 —7.5 • SSLOCSD Resolution No. 2011-295, Section 1 Section D.13(vii)(e): Wallace Group is contracted by SSLOCSD, who is contracted by the City, to manage and implement the City's FOG Control Program. Management and implementation currently includes the issuance of a permit to each FSE as a control mechanism and to inform them of their requirements to manage their FOG generation and discharges as identified in SSLOCSD's FOG Ordinance, Ordinance No. 2008-01. Based on the FOG files reviewed, which are organized by FSE, the last round of inspections was performed by Wallace Group in June 2013. Additional inspections are scheduled for July 2013. The FOG Files reviewed include: • Branch Street Deli: 203 East Branch Street • Burrito Loco: 922 Rancho Parkway • Carl's Jr.: 1590 West Branch Street • Chili's: 911 Rancho Parkway • El Taco Loco: 106 East Branch Street • F. McClintock's: 133 Bridge Street • SSLOCSD FOG Control Program Master Inspection Spreadsheet The sections above are in compliance with the above requirements. Section D.13(vii)(f): The City identifies sections of the collection system, which are subject to grease blockages and contains a cleaning maintenance schedule for these high maintenance areas (HMAs). The section above is in compliance with the above requirement. City of Arroyo Grande August 2, 2013 Page 29 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report Section D.13(vii)(g): The City SSMP does provide information regarding the development and implementation of source control measures for all sources of FOG discharged to the sanitary sewer system for each FOG-induced HMA. The City is implementing the source control measures identified in the SSMP. The section above is in compliance with the above requirement. FOG Program Effectiveness: A review of the City's Collection System Operational Report generated on CIWQS June 19, 2013, shows the City has not experienced SSOs related to FOG between 2006 and 2013. This serves as an indication that the current FOG program is effective. Sufficiency: In Compliance Reference: The following references were used: ■ 2009 SSMP, p. 33— 39 and Appendix F ■ Stagecoach Express: Volume 21, Number 2 ■ Arroyo Grande Municipal Code Chapters 1, 9, and 13 ■ SSLOCSD FOG Ordinance, Ordinance No. 2008-01 ■ FOG Inspection Reports: Branch Street Deli, Burrito Loco, Carl's Jr., Chili's, El Taco Loco, F. McClintock's ■ SSLOCSD FOG Control Program Master Inspection Spreadsheet ■ Collection System Operational Report (June 19, 2013) Deficiencies: There are no deficiencies. Recommendation: The SSMP should be updated to include a current list of FSEs, FOG Control Program statistics, or other information, which would be useful to the City for implementing its FOG Control Program. City of Arroyo Grande August 2, 2013 Page 30 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 8.0 System Evaluation and Capacity Assurance Plan [SSSWDR D.13(viii)] SSSWDR D.13(viii) states: The Enrollee shall prepare and implement a capital improvement plan (CIP) that will provide hydraulic capacity of key sanitary sewer system sections for dry weather peak flow conditions, as well as the appropriate design storm or wet weather event. At a minimum, the plan must include: (a).Evaluation: Actions needed to evaluate those portions of the sanitary sewer system that are experiencing or contributing to a SSO discharge deficiency. The evaluation must provide estimates of peak flows (including flows from SSOs that escape from the system) associated with conditions similar to those causing overflow events, estimates of the capacity of key system components, hydraulic deficiencies (including components of the system with limiting capacity) and the major sources that contribute to the peak flows associated with overflow events; (b).Design Criteria: Where design criteria do not exist or are deficient, undertake the evaluation identified in (a) above to establish appropriate design criteria; and (c). Capacity Enhancement Measures: The steps needed to establish a short- and long-term Cl P to address identified hydraulic deficiencies, including prioritization, alternatives analysis, and schedules. The CIP may include increases in pipe size, I/I reduction programs, increases and redundancy in pumping capacity, and storage facilities. The CIP shall include an implementation schedule and shall identify sources of funding. (d).Schedule: The Enrollee shall develop a schedule of completion dates for all portions of the capital improvement program developed in (a)-(c) above. This schedule shall be reviewed and updated consistent with the SSMP review and update requirements as described in Section D.14. Section D.13(viii)(a): The City SSMP refers to the 2001 Wastewater System Master Plan (WSMP) that evaluated physical and hydraulic conditions of the City sewer system. In 2012, the City developed a new WSMP which outdates the 2001 study. The 2012 Wastewater System Master Plan does address the requirements in this section. The 2012 WSMP should be incorporated into future updates and revisions to the SSMP to address the requirements found in this section. The 2012 WSMP provides hydraulic evaluations of City: lift stations, force mains, and gravity sewer lines. Hydraulic evaluations were conducted to model existing dry and wet weather conditions and future dry and wet weather conditions expected at"build out", which represent "worst case scenario" flow conditions. The City has not experienced a history of SSOs related to deficient system capacities. The section above is in compliance with the above requirements. City of Arroyo Grande August 2, 2013 Page 1 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report Section D.13(viii)(b): Design criteria were identified in the 2012 WSMP and used in system modeling to assess the hydraulic conditions existing in the system. These criteria were used to make recommendations for hydraulic upgrades in City lift stations, force mains, and gravity sewer lines. The section above is in compliance with the above requirements. Section D.13(viii)(c) — (d): This plan includes a prioritized list of projects identified to take place between 2013 and 2037. Projects are grouped by a Priority Ranking of"A", "B", and "C". Project schedules are as follows: • Priority "A" Projects to be conducted between 2013 and 2017 • Priority "B" Projects to be conducted between 2018 and 2027 • Priority "C" Projects to be completed between 2028 and 2037 A short and long term CIP and associated schedule was developed based on the results of the WSMP report through Fiscal Year (FY) 2017/18. The City is currently undergoing a revenue rate study to help fund these projects. This rate study is planned for completion in Spring 2014. The 2012 WSMP and a project summary and schedule for capital projects in each Fiscal Year through 2017/18 need to be included in the next update of the SSMP. The findings of the revenue rate plan and subsequent rate structure to support capital improvements should also be included in this update. The sections above are in substantial compliance with the above requirements. Sufficiency: In Substantial Compliance Reference: 2009 SSMP, p. 40; 2012 WSMP; 5-Year Capital Improvement Program Budget: 2013-2014. Deficiencies: The City has not presented in the SSMP a plan and schedule for the completion of capital improvement projects identified in the 2012 WSMP. Recommendation: Incorporate the WSMP and associated CIP plan and schedule into annual revisions to the SSMP. Present the plan to fund the capital improvement projects identified in the pending revenue rate study. City of Arroyo Grande August 2, 2013 Page 2 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 9.0 Monitoring, Measurement, and Program Modifications [SSSWDR D.13(ix)] SSSWDR D.13(ix) states: The Enrollee shall: (a).Maintain relevant information that can be used to establish and prioritize appropriate SSMP activities; (b).Monitoring the implementation and, where appropriate, measure the effectiveness of each section of the SSMP; (c).Assess the success of the preventative maintenance program; (d).Update program elements, as appropriate, based on monitoring or performance evaluations; and (e).Identify and illustrate SSO trends, including: frequency, location and volume. Section D.13(ix)(a): The City utilizes Work Orders to keep records of preventative maintenance and rehabilitation and replacement activities and maintains a folder of SSO records, which can be used to establish and prioritize appropriate SSMP activities. The section above is in compliance with the above requirement. See recommendations at the end of the Monitoring, Measurement, and Program Modifications section of this report. Section D.13(ix)(b) and(c): The SSMP states that the SSMP will be reviewed annually to ensure all the provisions are implemented and that the effectiveness will be discussed at quarterly Public Works Department Staff meetings, but there is no record of formal evaluations of the implementation or effectiveness of each SSMP Element or preventative maintenance activities. Items of Interest memorandums are submitted to the City Council every two to three weeks, which provide updates on significant work completed on the sanitary sewer system, such as line cleaning, lift station cleaning, manhole inspections, and CIPs. These memorandums are utilized to monitor the implementation of the City's preventative maintenance and rehabilitation and replacement activities. The section above is partial compliance with the above requirement. See recommendations at the end of the Monitoring, Measurement, and Program Modifications section of this report. City of Arroyo Grande August 2, 2013 Page 1 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report Section D.13(ix)(d): The City's SSMP contains informal revisions, but the revisions were not based on a formal SSMP Element monitoring or performance evaluation. A revision tracking table should be added to the SSMP to document any SSMP revisions and updates. The section above is in marginal compliance with the above requirement. See recommendations at the end of the Monitoring, Measurement, and Program Modifications section of this report. Section D.13(ix)(e): The City has identified FOG and roots to be the primary causes of SSOs in its sanitary sewer system. SSMP Appendix H contains a table, which tracks the frequency, location, cause, and volume of SSOs. This table was updated during the 2011 SSMP Audit, which is included in SSMP Appendix I, but this information should be transferred to the table included in SSMP Appendix H and discussed in SSMP Element 9: Monitoring, Measurement, and Program Modifications. The SSO, which occurred on 09/26/2011, needs to be added to the SSO tracking table. The section above is substantial of compliance with the above requirement. See recommendations at the end of the Monitoring, Measurement, and Program Modifications section of this report. Sufficiency: Substantial Compliance Reference: 2009 SSMP, p. 41 —42 and Appendices H and I; Example SSO Reports. Deficiencies: The City does not have a written plan to formally evaluate the implementation or effectiveness of each SSMP Element and update the SSMP based on these evaluations. The City's SSMP contains informal revisions, but the revisions were not based on a formal SSMP Element monitoring or performance evaluation. A revision tracking table should be added to the SSMP to document any SSMP revisions and updates. The SSO data and trending information should be transferred from the 2011 SSMP Audit Report included in SSMP Appendix I to the table included in SSMP Appendix H and discussed in SSMP Element 9: Monitoring, Measurement, and Program Modifications. The SSO, which occurred on 09/26/2011, is not included in the SSO tracking table. Recommendation: Create a written program to schedule, track, and evaluate the effectiveness of preventative maintenance for the sanitary sewer system. Create a plan and schedule to review and asses the effectiveness of each SSMP Element. Complete these plans and records and incorporate them into the update of this SSMP Element. The SSO data and trending information should be transferred from the 2011 SSMP Audit Report included in SSMP Appendix I to the table included in SSMP Appendix H and discussed in SSMP Element 9: Monitoring, Measurement, and Program Modifications. The SSO, which occurred on 09/26/2011, needs to be added to the SSO tracking table. City of Arroyo Grande August 2, 2013 Page 2 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 10.0 SSMP Program Audits [SSSWDR D.13(x)] SSSWDR D.13(x) states: As part of the SSMP, the Enrollee shall conduct periodic internal audits, appropriate to the size of the system and the number of SSOs. At a minimum, these audits must occur every two years and a report must be prepared and kept on file. This audit shall focus on evaluating the effectiveness of the SSMP and the Enrollee's compliance with the SSMP requirements identified in this subsection (D.13), including identification of any deficiencies in the SSMP and steps to correct them. Section D.13(x): SSMP audits are required to be performed a minimum of every two years from the date of required adoption, August 2, 2009. The first SSMP Audit was performed before August 2, 2011, and this SSMP Audit is being completed prior to the August 2, 2013 deadline. All SSMP Audit Reports are kept on file with the SSMP. The SSMP Audit Report, which is included in SSMP Appendix I, was not used, because it does not adequately evaluate the effectiveness of the SSMP and its implementation. It is recommended that the SSMP Audit Report included in SSMP Appendix I be removed, and the SSMP be updated to describe the audit process, which was utilized to perform this SSMP Audit. Sufficiency: In Compliance Reference: 2009 SSMP, p. 43 and Appendix I Deficiencies: There are no deficiencies. Recommendation: Remove the SSMP Audit Report Form included in SSMP Appendix 1, and update the SSMP to describe the audit process, which was utilized to perform this SSMP Audit. City of Arroyo Grande August 2, 2013 Page 1 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 11.0 Communication Program [SSSWDR DA3(xi)] SSSWDR D.13(xi) states: The Enrollee shall communicate on a regular basis with the public on the development, implementation, and performance of its SSMP. The communication system shall provide the public the opportunity to provide input to the Enrollee as the program is developed and implemented. The Enrollee shall also create a plan of communication with systems that are tributary and/or satellite to the Enrollee's sanitary sewer system. Section D.13(xi): The SSMP states that the SSMP is available for public review and comment on the City of Arroyo Grande's website, www.arroyogrande.org, on the Recreation and Maintenance Services Department webpage, but the auditors were not able to locate the electronic copy of the SSMP. The SSMP should be posted on the City's website and the SSMP should be updated with the appropriate link. The public is also updated on City projects and events through the City's newsletter, Stagecoach Express. An article regarding trash disposal in toilets was published in Volume 20, Number 2 of the Stagecoach Express for April — June 2012, and an article regarding FOG disposal was published in Volume 21, Number 2 of the Stagecoach Express for April — June 2013. The SSMP should be updated to include a discussion and example of outreach conducted using the Stagecoach Express or a link for where the Stagecoach Express articles can be read online. Items of Interest memorandums are submitted to the City Council every two to three weeks, which provide updates on significant work completed on the sanitary sewer system, such as line cleaning, lift station cleaning, manhole inspections, and CIPs. These memorandums are utilized to monitor the implementation of the City's preventative maintenance and rehabilitation and replacement activities and to update the City Council on the performance and implementation of these SSMP activities. A formal program for relaying the information form the Items of Interest memorandums to the public through the City's regular, televised City Council Meetings should be established, and the SSMP should be updated to include a discussion and example of the Items of Interest memorandums. The SSMP states that Waste Discharge Requirements (WDR) Annual Reports are completed in January of each year, submitted to the RWQCB, and refer to the SSMP and any changes that have been made over the last year. These Annual Reports historically included information regarding a management plan required by the City's WDR, but the WDR was rescinded and that management plan was replaced by the SSMP. This reference needs to be removed since the City no longer completes these annual reports, and it is not applicable to communication regarding the SSMP. The SSMP states that City Staff is trained in the use and implementation of the SSMP relative to any major changes that occur and are kept informed of minor changes via City email or memos. No evidence of this is included in the SSMP or was reviewed during the SSMP Audit. The SSMP needs to be updated to include evidence of these activities or reference where these records are maintained. City of Arroyo Grande August 2, 2013 Page 1 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report The City of Arroyo Grande, City of Grover Beach, and Oceano Community Services District manage and operate sanitary sewer systems, which are tributary to SSLOCSD's sanitary sewer system. Examples of Meeting Agendas and Minutes for monthly Collection System Coordination Meetings, which were attended by all four agencies, were reviewed during this SSMP Audit, but there are no records of any Collection System Coordination Meeting since the March 2013 meeting. However, the next meeting is scheduled for August 2013. The SSMP needs to be updated to discuss the Collection System Coordination Meetings. The City also has four neighborhoods with small, private collection systems, which are within the City limits and discharge into the City's collection system. The residents of these neighborhoods receive outreach from the City, such as the Stagecoach Express, and the City is prepared to coordinate with these neighborhoods if problems arise, such as inflow and infiltration or FOG build-up. Sufficiency: Partial Compliance Reference: 2009 SSMP, p. 44; Stagecoach Express: Volume 20, Number 2; Stagecoach Express: Volume 21, Number 2; Collection System Coordination Meeting Agendas and Minutes. Deficiencies: The SSMP was not available on the City's website as stated in the SSMP. A formal program for communicating further development, implementation, and performance of the SSMP with the public does not exist. Collection System Coordination Meetings for SSLOCSD and the Member Agencies were conducted through March 2013, but, as of this date, further meetings have not been conducted per the monthly meeting schedule. The SSMP does not include a record or a discussion with examples of the City's outreach activities. The SSMP references WDR Annual Reports, which are not applicable to the SSMP and are no longer completed by the City. The SSMP also needs to be updated to include evidence of Staff training on changes to the SSMP. Recommendation: The SSMP should be posted on the City's website and the SSMP should be updated with the appropriate link. The City should establish a formal SSMP Communication Program for communicating further development, implementation, and performance of the SSMP with the public and document this program in the SSMP. The SSMP should be updated to include a record of all outreach and coordination with examples or links to where the information can be accessed online, and the reference to the WDR Annual Reports should be removed. The SSMP also needs to be updated to include evidence of Staff training on changes to the SSMP. City of Arroyo Grande August 2, 2013 Page 2 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report RECORDS LIST BY SSMP ELEMENT 1. Goal a. See records under SSMP Elements 3 — 11 2. Organization a. CIWQS Facility At-A Glance Report (June 20, 2013) 3. Legal Authority a. Arroyo Grande Municipal Code Chapters 1.16 and 13.12 b. SSLOCSD Pretreatment Ordinance, Ordinance No. 1994-1 c. SSLOCSD FOG Ordinance, Ordinance No. 2008-01 d. SSLOCSD Resolution No. 2011-295 4. Operation and Maintenance Program a. City Public Works Performance Standard — Lift Station Maintenance b. CAL WARN Mutual Aid Agreement c. San Luis Obispo County Mutual Aid Agreement d. Public Works Multi-County Mutual Aid Agreement e. Multi-Agency Resource Matrix f. 2012 Sewer Line Cleaning Program g. 2013 Sewer Main Cleaning Program Route Sheet h. SSLOCSD: District Manhole Observation and Inspection Report i. 2012 Wastewater System Master Plan j. City Sewer Video Logs: Volume 1-111 k. Dukes Root Control: Root Treatment Invoices—2012 1. 2013/14 —2017/18 CI P Budget m. City Sewer Atlas 2012 n. City Storm Drain Atlas o. 2011-2013 Public Works Training Log p. Lift Station Inspection Reports (Work Orders) q. 2013 Annual Project Calendar (Maintenance Schedule) 5. Design and Performance Standards a. Arroyo Grande Municipal Code Chapter 13.12 b. City of Arroyo Grande Public Works Department's Standard Plans (2005) c. The "Greenbook" 6. Overflow Emergency Response Plan a. City Sewer Spill Report: 2011, 2012, and 2013 7. Fats, Oils, and Grease Program a. Stagecoach Express: Volume 21, Number 2 b. Arroyo Grande Municipal Code Chapters 1, 9, and 13 c. SSLOCSD FOG Ordinance, Ordinance No. 2008-01 d. SSLOCSD Resolution No. 2011-295 e. Examples of FOG Inspection Reports f. SSLOCSD FOG Control Program Master Inspection Spreadsheet g. Collection System Operational Report (June 19, 2013) 8. System Evaluation and Capacity Assurance Plan a. City of Arroyo Grande Wastewater System Master Plan (December 2012) b. CI P Budget: 2013/14-2017/18 9. Monitoring, Measurement, and Program Modifications a. Example SSO Reports City of Arroyo Grande August 2, 2013 Page 1 of 39 Sewer System Management Plan—Revision 0 SSMP Audit Report 10. SSMP Program Audit a. No additional records 11. Communication Program a. Stagecoach Express: Volume 20, Number 2 b. Stagecoach Express: Volume 21, Number 2 c. Examples of Collection System Coordination Meeting Agendas and Minutes City of Arroyo Grande August 2, 2013 Page 2 of 39 Sewer System Management Plan—Revision 01 Element 11 —Communication Plan Element 11 - Communication Plan This section describes the communication program employed by the City. It provides multiple opportunities for interested parties to provide the City with input about the SSMP. These opportunities will take place prior to and following SSMP implementation. Element 11 - Communications Appendix There is no Appendix for Element 11. 11.1 Regulatory Requirements The Agency shall communicate on a regular basis with the public on the development, implementation, and performance of its SSMP. The communication system shall provide the public the opportunity to provide input to the Agency as the program is being developed and prior to implementation. 11.2 Communication Program The SSMP has been and will be discussed and approved at City Council meetings which are held publically as follows: • Regular City Council meetings are held on the 2nd and 4th Tuesday of each month at 6:30 p.m. Special meetings are called as needed. • Meetings are televised live on Arroyo Grande's government access channel 20 and then rebroadcast each day for one week at 9:00 a.m., 6:00 p.m., and 1:00 a.m. and the following Thursday and Sunday at 6:00 p.m. Public education programs and an ongoing bulletin board providing information on City services and programs are also aired on channel 20. • The City's Newsletter, Stagecoach Express, is published approximately six times per year. The Express is used to update citizens on City projects and events. City staff should continue to use the Express as a conduit to provide information to citizens regarding the SSMP and FOG Program. In addition, City staff should continue to include updates to the City Council and citizens via "Items of Interest" memorandums. Express articles and Items of Interest Memos should be logged and appended to the SSMP for future reference. In addition to discussion at the public meetings, the SSMP is posted on the City website at www.arrovoarande.org. Public comment is welcomed and encouraged. 11.3 Staff Training and Communication Appropriate City Staff will be provided periodic training in the use and implementation of the SSMP as a part of their routine training program. A record of who attended the training and topics covered should be retained and appended to the SSMP Staff will also be kept informed regarding minor changes (i.e., phone numbers, staff changes, etc.) as they occur via City email or memos. These changes should be red-lined is the appropriate section of the SSMP and the email and/or memo appended to the SSMP. The City of Arroyo Grande, City of Grover Beach and Oceano Community Services District manage and operate sanitary sewer collection systems which are tributary to the SSLOCD's collection system and treatment plant. The four agencies meet periodically for Collection System Coordination meetings. The agendas, attendance and meeting minutes from the Coordination meetings should be appended to the SSMP. City of Arroyo Grande SSMP Page 11-1 NMI lm� Sewer System Management Plan—Revision 01 Element 11 —Communication Plan APPENDIX 11 City of Arroyo Grande No Appendix for Element 11 City of Arroyo Grande SSMP