HomeMy WebLinkAboutWPO201600031 Review Comments WPO VSMP 2020-04-30COUNTY OF ALBEMARLE
Department of Community Development
401 McIntire Road, Room 227
Charlottesville, Virginia 22902-4596
Phone (434) 296-5832 Fax (434) 972-4126
VSMP Permit Plan Amendment Review
Project title:
Whittington-Ph.B - VSMP — Amendment 2
Project file number:
WP02016-00031
Plan preparer:
Dustin Greene, EIT—Roudabush, Gale & Associates [dgreene(&,roudabush.com]
172 S. Pantops Drive, Charlottesville, VA 22911
Owner or rep.:
Jeremy Swink, Stanley Martin Homes — 404 People Place, Suite 303
Charlottesville, VA 22911 (swinkjw@stanleymartin.com )
Plan received date:
26 Jul 2019
(Rev. 1)
5 Nov 2019
(Rev. 2)
13 Mar 2020
(Rev. 3)
23 Apr 2020 —digital (4/23/20 7:12 PM email)
Date of comments:
29 Aug 2019
(Rev. 1)
6 Dec 2019
(Rev. 2)
23 Apr 2020
(Rev. 3)
30 Apr 2020 —Approved pending deed /easement plat recordation
Reviewer:
J. Anderson
A. Stormwater Pollution Prevention Plan (SWPPP) —Update SWPPP (Rev. 2) Addressed. 2019
VPDES VAR10 Permit Registration Statement updated. [email, Dustin Greene, April 22, 2020 11:31 AM]
B. Stormwater Management Plan (SWMP)
VSMP Regulation 9VAC25-870-108 requires the VSMP authority to approve or disapprove a SWMP. This
plan is approved.
1. Amendment appears to propose eliminating SWM9 and SWM10. Confirm that this is the case. (Rev. 1)
Addressed.
2. If so, please confirm proposed Amendment increases total phosphorous load from 19.73 to 19.91 lb., and
provide rationale, both for Amendment request (which appears unrelated to development area
classification), and statutory basis to approve; that is, consider, outline and support path to approval for
Amendment request to eliminate approved SWM facilities. (Engineering sees no rationale at the moment.)
(Rev. 1) Addressed. As follow-up: provide photo image on plans showing — 20,000 SF of woods on Lots
70 and 71 that will be preserved by not constructing SWM9 and SWM10. Feel free to use images, below
(sample images removed with Rev. 2 comments), which approximate locations of SWM9 / SWM10.
(Rev.2) Addressed. Ref. 17 Feb 2020 RGA comment response letter, p. 5, e-attachment, April 22, 2020
11:31 AM (image below). [removed with Rev. 3 comments]
[I 7-Feb 2020 RGA letter]
) (removed with Rev. 2 comments)
-Piet ,.., etfy i satellite imager-5, (3 n 0/20 8) (removed with Rev. 2 comments)
3. Provide calculations, VaRRM.Xls, etc. that are basis of phosphorus load values on sheet 2. Do not simply
reference WP0201600031. Engineering requests a complete submittal with details sufficient to outline
proposed Amendment. Engineering cannot `fill in the blanks,' or guess at design intent, or commit time to
research request to eliminate SWM9 and SWM10. No narrative is provided to support this Amendment
Engineering Review Comments
Page 2 of 3
request (no letter, no title sheet narrative —there are significant gaps with Amendment 2 request). (Rev. 1)
Addressed.
4. Provide Narrative explaining /supporting: (Rev. 2) Addressed pending response to email request for copy
of DEQ New Development VaRRM.xIs ref. on sheet 39 and sheet 1. The .xls will show that 1.00 Ac. Forest
/Open Space (any soil type) is more than sufficient to offset 0.18 lb/yr TP removal provided by SWM9 and
SWM10. SWM9 /SWM10 are not needed for phosphorus removal if 1.00 Ac. (any soil type) is placed in
Forest /Open Space Easement providing 0.30 — 0.36 lb/yr. TP removal (reduction varies with soil type: A -
type soils provide max [0.36 lb/yr], D soils, least [0.30 lb/yr]).
[ 1.00 Ac. Forest /Open Space Easement plat, SUB202000052 is under review. 4/18/20 Engineering
review comments request minor revisions to easement plat.]
Applicant (April 23, 2020 letter /email April 22, 2020 11:31 AM):
RESPuNSE: See narrative on the cover sheet. The water quantity calculations have not changed from the
original plans, to amendment nl and to amendment #2. On 2/13/20 I met with John Anderson and Frank Pohl to
talk about the discrepancy of the originally approved calculations and the routed calculations on the plans.
Originally SWM 4F8 routed the 2yr and ioyr storms. The final plan which ended up being the originally approved
plan used a splitter structure so that only the iyr storms went to the biofilter. This resulted in the 2yr and toyr
storms flowing to SVvivi 48 oeing undetained. The original, approved calculations show SWM #8 as detaining the
2yr and ioyr storms while the routed calculations on the approved plans show the SWM #8 as undetained. It was
determined that the calculation pacxet did not need to be updated as the plans themselves show the correct flow
numbers. I have provided the discrepancy in calculations for clarity. The county had asked me to demonstrate a
`no effect in water quantity from the original approved plan through both amendments so I started from the
calculations and moveu iorward through the amendments and found this error in the original calculations. (Rev. 3)
Addressed. Ref. Applicant email: April 30, 2020 2:20 PM.
a. Eliminating approved SWM facilities.
b. Elimination in context of calculations.
c. Elimination in context of code /VAC.
d. Include Narrative for Amendment 2 similar to 4-20-16 Sheet 1 Narrative for Amendment 1. (Rev.
1) Partially addressed. As follow-up: Cloud revision, 1111119 VSMP Amendment Narrative 3`d
sentence (sheet 1) reads: `The biofilters were not used for water quantity in order to satisfy
channel and flood protection.' Furnish graphic (plan sheet) and additional narrative to tie
Amendment 2 to approved Amendment 1 to illustrate `No effect' on post -developed approved
runoff release rates; specifically, provide: Amendment 1 design event velocity /volume runoff
rates; rates if SWM9 and SWM10 are replaced with 1.000 Ac. Forest /Open Space Easement
(assume rates identical); and corresponding graphic plan information that makes the point.
Reprint /include sheets as needed from WPO201600031 (or Amendment 1) to demonstrate no
effect on water quantity.
5. Clarify plan set, beginning with title. At first glance, reviewer and other staff mistook plan as initial
Amendment. It is not. Sheet 1 Amendment Note for Amendment approved 7/7/16 should figure less
prominently. Revise plan title to `Amendment 2 for Erosion & Sediment Control and Stormwater
Management Plan for Whittington Subdivision -Phase B, WP0201600031. Approved Amendment 1 (9-
sheet plan set; much more detail) is available at:
hgps:Hlfweb. albemarle. org/weblink/search. aspx?dbid-3 &searchcommand=%7b%SbCDD -
Planning%5d:%SbApplicationNumber%5d—%22WPO201600031%22%7d (Rev. 1) Not Addressed.
image below (removed with Rev. 2 comments) is Sheet 1 of 9-p. Amendment approved 7/7/16. Please revise
current submittal plan title to ref. Amendment 2 (see initial review comment; please call if questions).
(Rev. 2) Addressed.
6. Include with Amendment 2 approved design data for SWM9 and SWM10. (Rev. 1) Addressed.
7. Include revised post -developed grades, if approved SWM facilities are eliminated. (Rev. 1) Withdrawn.
8. If review comments miss the mark, recommend meeting 16-Sep, 2PM. Reviewer is out of office thru 16-
Sep, and welcomes meeting to discuss Amendment 2 at earliest convenience. (Rev. 1) Note: Applicant and
County met to discuss. (Rev. 2) Note: County and Applicant met 2/13/20 to discuss project; several
questions resolved.
New:
Engineering Review Comments
Page 3 of 3
9. Sheet 3 of Amendment Q9 of WP0201600031): Show 1.000 Ac. Forest /Open Space Easement on this
sheet. Label easement. (Rev. 2) Addressed. See sheet 39.
10. Provide 1" =50' (or similar) plan view of SWM9 and SWM10. Since these SWM Facilities are proposed to
be removed, it is important to show approved design with the amendment that removes them. Details of
these best management practices are indiscernible at 1" =200' scale (sheet 39). (Rev. 2) Addressed. See
sheet 28.
11. Pending Forest /Open Space Easement Plat submittal: Include ties to two (2) permanent monuments.
Additional Easement Plat review comments are possible. (Rev. 2, 3) Persists /in process at
SUB202000052; ref. 4/18/20 Engineering review comments.
C. Erosion and Sediment Control Plan (ESCP) — NA
D. Pollution Prevention Plan (PPP) — NA
The VSMP Amendment 2 (WP0201600031) may be approved once 1.00 Ac. Forest /Open Space Easement Plat is
recorded
Process:
Prior to Amendment 2 approval, (SWM) Forest /Open Space Easement Plat must be approved /recorded. Please see
email sent to Applicant, 12/6/2019 3:43 PM.
A Maintenance Agreement is required for Forest /Open Space Easements. Contact Ana Kilmer at 434.296-5832 -
x3246 to request Maintenance Agreement for WP0201600031, Amendment 2.
Note: DEQ VPDES VAR 10 permit forms (2019 VPDES VAR10 Permit Registration form submitted, acceptable)
may be required since permitted facilities will not be constructed with this Amendment. WPO Plan bond is not
required. Applicant may request SWM Plan bond reduction since SWM9 and SWM 10 will not be constructed, a
reduction corresponding with SWM Plan bond expense assigned to these 2 facilities (once Amendment 2 is
approved).
County forms can be found on the county website forms center under engineering;
httD://www.albemarle.orL)/deDtfor-ms.aSD?deDartment=cdenewDo
WP0201600031 Whittington Ph-B, VSMP Amend2 043020rev3