Administration
of existing programs, which includes regulatory compliance and subsequent
enforcement, will help York County move closer toward meeting its pollutant
reduction targets. The need for assistance with compliance from State and Federal
partners is an important component of this solution. Three (3) aspects of program
administration are considered in this Plan.
The
first is compliance required under the NPDES Permit Program; conditions associated
with permits must be met. The Nutrient Credit Trading Program is an option by
which permit compliance may be possible. The PA DEP created a Nutrient Credit Trading
Program, enabling an eligible permit holder to buy pollution reduction credits from
another entity, who has either (a) generated credits by reducing pollutants
more than is required by law; (b) has not discharged its allocation of
pollution into the watershed; or (c) has installed an improvement that results
in quantifiable pollution reductions. So, buyers and sellers should be aware of
what credits are actually available for sale (must be credits ‘certified’ by PA
DEP). Like any other regulatory program, the Pennsylvania Trading Program is
revised periodically.
The
regulatory acceptance of nutrient credit trading, coupled with the possible
financial benefits, makes nutrient credit trading an approach to consider and
analyze as a component of York County’s pollutant reduction strategy. It is
important to remember that the financial benefits of this Program could be a
savings realized for the purchaser of credits, as well as an income producer
for the seller of credits. Furthermore, these financial benefits could result
in more funds being available to implement additional BMPs.
A
second aspect deals with Conservation Plans, Nutrient Management Plans, and Manure
Management Programs. Although municipalities are not responsible for compliance
under these Programs, benefits of complying with the associated regulations may
well have positive impacts for municipalities. There are various reasons why
countywide compliance with Conservation Plan requirements has not been achieved,
but limited resources are most likely a primary cause. The YCCD works with farmers
to develop and implement Conservation Plans that address not only the conservation
plan requirements, but also nutrient and manure management regulations. The
limited resources of the YCCD have resulted in a backlog of Conservation Plans
in need of development, review and/or approval. A potential consideration worth
analysis for this Plan could be obtaining municipal assistance in hiring
independent technicians to work with YCCD to administer the Program and attain
compliance. Should the analysis prove the benefits (pollution reductions) would
keep stricter MS4 requirements away from municipalities, they could achieve
some cost savings.
A
third aspect is the administration of stormwater management (SWM) regulations under
the Pennsylvania Stormwater Management Act (Act 167). This task falls to each County
municipality who is required, by the Act, to adopt a SWM Ordinance consistent with
the County’s approved and adopted countywide SWM Plan. This requirement, to date,
has not been fulfilled by all County municipalities, although most, if not all,
are working in that direction. Compliance with Act 167, and subsequent
enforcement of the adopted SWM Ordinances, will help prevent urban stormwater
runoff pollution from getting worse, thereby allowing the benefits of BMPs
installed outside of Act 167 to have a greater impact toward achieving the
target reductions.
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