Abstract |
The Storm Water Enforcement Strategy for FY 1994-1995 focuses on getting regulated entities 'into the system' by identifying and taking action against Municipal Separate Storm Sewer System (MS4) entities and facilities that have not filed a permit application. Some approaches utilize 'sweeps' which concentrate activity in a watershed or geographic location. Regions will also want to review any active judicial cases to determine whether a facility is subject to the storm water regulations, coordinate with municipalities regarding facilities within its jurisdiction, and inquire as to the status of a facility's permit application during routine NPDES inspections. |