REPORT TO CONGRESS:
    NONPOINT SOURCE POLLUTION IN THE U.S.
                PREPARED BY THE

UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
     OFFICE OF WATER PROGRAM OPERATIONS
           WATER PLANNING DIVISION
                JANUARY 1984

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                    with  the
                     Contract
        report, the  existing
        studies  on  nohpoint
        Interviews  were  con-
       staff,  Federal  agency
The  information  in  this  report was  prepared
assistance  of The Synectics  Group, Inc.  under
No.  68-01-6629.   To  prepare  this  report,  the
body  of  literature   and   research
source  pollution  was  reviewed.
ducted with  State water  pollution
personnel,  research  foundations, and  national  represen-
tatives  of  a  variety  of  organizations.    Preliminary
findings  were  identified  and presented  to a  workgroup
for comment  and  revisions.  The  information presented  in
this  final   report  reflects   an attempt   to  present   a
balanced and  representative .analysis of current  informa-
tion available  on  the subject.
ii

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                        TABLE  OF CONTENTS
                                                             PAGE
rKtrACti.........  .  .......  ..,,,,,,   IX

EXECUTIVE SUMMARY	,	  ,  ,  ,   xii

CHAPTER 1: NATURE AND EXTENT OF THE NONPOINT
SOURCE PROBLEM  	  ,,,,,,,,.  	   1-1
     INTRODUCTION	,,,,,.,.   l-i
     WATER QUALITY: PROGRESS HAS BEEN MADE  ...  	   1-1
     NONPOINT SOURCE POLLUTION is A PERVASIVE
     PROBLEM	1-3
     A CONTINUING PROBLEM: NONPOINT SOURCE
     POLLUTION DEFIES GENERALIZATION NATIONALLY	1-9
     COMPARING POINT AND NONPOINT SOURCES OF
     POLLUTION is IMPORTANT TO DECISION-MAKING  ......   1-12
     NONPOINT SOURCES ARE DIFFICULT TO MANAGE.  ......   1-16
     ECONOMIC BENEFITS^FROM CONTROLLING NONPOINT
     SOURCES OF POLLUTION.  .	1-17
CHAPTER 2: IDENTIFICATION OF HIGH-PAYOFF PROBLEM
AREAS AND EXPECTED RESULTS  ...... 	  ...  2-1
     SKILLFUL TARGETING LEADS TO HIGH PAYOFF .......  2-1
     TARGETING: A NARROWER Focus YIELDS RESULTS. .....  2-1
     FOUR BASIC ELEMENTS CREATE EFFECTIVE
     TARGETING ......  	  2-2
     THE SELECTION OF BEST MANAGEMENT PRACTICES
     INVOLVES KEY CHOICES	  2-3
     TIMING AFFECTS IMPLEMENTATION OF BMPs ........  2-4
     TARGETING STRATEGIES: A SUMMARY ...........  2-4
     INTRODUCTION TO NONPOINT SOURCE CATEGORIES	2-5
                               iii

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                                                             PAGE
 AGRICULTURAL NONPOINT SOURCES	2-6
      NATURE OF THE PROBLEM 	   2-6
      BEST  MANAGEMENT PRACTICES  FOR  AGRICULTURE  	   2-12
      SUMMARY:  REDUCTION OF AGRICULTURAL NONPOINT
      SOURCE PROBLEMS is ACHIEVABLE  	   2-13
 SlLVICULTURAL  NONPOINT SOURCES  ,  ,  ,  ,  ,	,  ,  ,   2-14
      NATURE OF THE PROBLEM	,	,   2-14
      SlLVICULTURAL BEST MANAGEMENT  PRACTICES  	   2-17
      SUMMARY:  METHODS  FOR  ADDRESSING  SILVICULTURAL
      NONPOINT  SOURCES  ARE  WELL  UNDERSTOOD,  ,  ,  ,  	   2-18
 MINING NONPOINT SOURCES,  ,	,  ,  ,  ,   2-19
      NATURE  OF THE PROBLEM 	   2-19
      MINING  BEST MANAGEMENT PRACTICES	   2-23
      SUMMARY:  ABANDONED  MINE  PROBLEMS CONTINUE
      TO PRESENT SERIOUS  WATER QUALITY CONCERNS  .  	  2-25
CONSTRUCTION NONPOINT  SOURCES,  ,  ,  ,  ,	.  ,  ,  ,  2-26
      NATURE  OF THE  PROBLEM  ,  ,  ,  ,	2-26
     BEST MANAGEMENT PRACTICES FOR CONTROLLING
      CONSTRUCTION  EROSION	2-28
      SUMMARY: NONPOINT SOURCE POLLUTION FROM
      CONSTRUCTION  CAN BE CONTROLLED,  , ,  	  2-30
URBAN NONPOINT SOURCES	,,,,,,	2-32
     NATURE OF THE PROBLEM  ,  ,	2-32
     BEST MANAGEMENT PRACTICES FOR URBAN AREAS .,,,,,  2-35
     SUMMARY: CONTROL OF NONPOINT SOURCE RUNOFF  FROM
     DEVELOPED URBAN AREAS WILL BE DIFFICULT	 ,  2-36
                               IV

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                                                            PAGE
CHAPTER 3: CURRENT PROGRAMS DIRECTED AT
CONTROLLING NONPOINT SOURCE POLLUTION, ,,,,,,,.,,  3-1
     INTRODUCTION, , ,	  3-1
     AN OVERVIEW OF STATE NONPOINT SOURCE PROGRAMS ,  ,  ,   ,  3-2
     AN OVERVIEW OF FEDERAL PROGRAMS  ,,,,,,,,,.,  3-5
     NONPOINT SOURCE PROGRAMS IN AGRICULTURE ,,,,.,,  3-6
     NONPOINT SOURCE PROGRAMS IN SILVICULTURE	,   ,  3-10
     NONPOINT SOURCE PROGRAMS IN MINING, ,	  3-11
     NONPOINT SOURCE PROGRAMS IN CONSTRUCTION	3-13
     NONPOINT SOURCE PROGRAMS FOR URBAN AREAS, ,,,,.,  3-14
     PROGRAMS OF THE ENVIRONMENTAL PROTECTION
     AGENCY, ,  ,  , ,	,,,,,,,,	3-16
CHAPTER 4: LOOKING AHEAD: MANAGING NONPOINT SOURCES.  ,  ,   ,  4-1
     INTRODUCTION, , ,  	 ,,,,,,,,.  4-1
     WATER QUALITY MUST BE SYSTEMATICALLY
     MANAGED AT THE STATE LEVEL, ,,,,,,,. 	  4-1
     KEY COMPONENTS OF SUCCESSFUL STATE PROGRAMS:
     HIGH PAYOFF, CORRECT STRATEGY, AND COOPERATION,  ,  ,   ,  4-2
     FEDERAL NONPOINT SOURCE PROGRAMS CAN PROVIDE
     IMPORTANT ASSISTANCE TO STATE PROGRAMS	4-12
     CONCLUSION.  ............. 	  4-13
APPENDIX A: EXAMPLES OF BEST MANAGEMENT
PRACTICES FOR SELECTED NONPOINT SOURCES. . 	   .  A-l
APPENDIX B: FEDERAL AND STATE PROGRAMS
TO CONTROL NONPOINT SOURCE POLLUTANTS	B-l
APPENDIX C: GLOSSARY .....  	  C-l

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                          LIST OF TABLES
 TABLE 1,1



 TABLE 1,2

 TABLE 1.3

 TABLE 1.4



 TABLE 2,1


 TABLE 2.2


 TABLE 2,3


 TABLE 2.4


 TABLE 3.1

 TABLE 3.2


 TABLE A.I


 TABLE A.2


 TABLE  A.3


 TABLE  A.4


TABLE  A.5
 SUMMARY OF TRENDS IN SELECTED WATER
 QUALITY CONSTITUENTS AND PROPERTIES AT
 NASQAN STATIONS 1974-81 	  ,
 NONPOINT SOURCE  PROBLEMS BY STATE .  ,

 NONPOINT SOURCE  WATER QUALITY IMPACTS
 POINT  AND  NONPOINT  SOURCE  CONTRIBUTIONS
 OF  SPECIFIC  POLLUTANTS  (AVERAGE  OF
 STATES'  PERCENT  CONTRIBUTIONS)	

 PRIORITY AGRICULTURAL POLLUTION  PROBLEMS
 BY  STATE,	,	

 GENERAL  DISTRIBUTION  OF  AGRICULTURAL
 NONPOINT SOURCE  PROBLEMS	
                         I,,,
ACRES OF LAND DISTURBED BY  SURFACE
MINING  (JULY 1, 1977)  	  ,
MOST FREQUENTLY DETECTED  PRIORITY
POLLUTANTS IN NURP URBAN  RUNOFF SAMPLES  ,

SUMMARY OF STATE NONPOINT SOURCE PROGRAMS

EPA's MAJOR NONPOINT-SOURCE-RELATED
PROGRAMS	 .  ,

EXAMPLES OF MANAGEMENT PRACTICES FOR
AGRICULTURE 	  	

EXAMPLES OF MANAGEMENT PRACTICES FOR
SILVICULTURE	,	

EXAMPLES OF MANAGEMENT PRACTICES AND
RECLAMATION TECHNIQUES FOR MINING .  . ,   .
EXAMPLES OF
CONSTRUCTION

EXAMPLES OF
URBAN AREAS
SEMENT PRACTICES FOR


GEMENT PRACTICES FOR
0  ,  ,  I  ,
                              I  I  <  I
 PAGE




 1-2

 1-5

 1-10




 1-14


 2-10


 2-11


 2-21


 2-34

 3-3


 3-17


 A-l


 A-3


 A-6


A-8


A-9
                               vi

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                   LIST OF TABLES (CONTINUED)
TABLE B.3  SUMMARY OF STATE SILVICULTURAL WATER
           QUALITY MANAGEMENT PROGRAMS ,  , , ,
                                                     I t a
TABLE B.5  FEDERAL PROGRAMS AFFECTING MINING
           NONPOINT SOURCES	, , ,
                                                            PAGf
TABLE B.I  STATE PROGRAMS ADDRESSING AGRICULTURAL
           NONPOINT SOURCES, , , , ,	B-l

TABLE B,2  USDA PROGRAMS AFFECTING AGRICULTURAL
           NONPOINT SOURCES, ,,,,,,.,. 	  B-3
B-M
TABLE B,4  USDA PROGRAMS AFFECTING SILVICULTURAL
           NONPOINT SOURCES	, ,  , ,  B-6
B-7
TABLE B,6  STATUS OF STATE LEGISLATION FOR SEDIMENT
           CONTROL IN CONSTRUCTION ,	B-8
                              VI 1

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                          LIST OF FIGURES

                                                             PAGE
 FIGURE 1,1  RELATIVE CONTRIBUTIONS OF POINT AND
             NONPOINT SOURCE LOADINGS BY STATE	1-15
 FIGURE 2,1  PERCENTAGE OF CROPLAND ON WHICH THE
             RATE OF SHEET AND RILL EROSION EXCEEDS
             THE SOIL Loss TOLERANCE LEVEL (1977)  , ,  ,  ,  ,   2-7
 FIGURE 2,2.  UNITED STATES PESTICIDE USAGE:  TOTAL
             AND ESTIMATED AGRICULTURAL SECTOR
             SHARE,  1964-1980	,   2-9
 FIGURE 2.3  DISTRIBUTION  OF COMMERCIAL FOREST LAND
             BY  REGION  (JANUARY  1,  1977)	2-16
 FIGURE 2,4  OWNERSHIP  OF  COMMERCIAL FOREST  LAND
             BY  REGION  (JANUARY  1,  1977)	2-16
 FIGURE 2,5  REGIONAL DISTRIBUTION  OF CONSTRUCTION
             SITE  SEDIMENT Loss	2-27
 FIGURE  2,6   EROSION  FROM  CONSTRUCTION  SITES,  	   2-27
 FIGURE  2,7   COMPARISON OF SEDIMENT  YIELDS FROM  A WELL
             PLANNED  AND A POORLY PLANNED DEVELOPMENT , ,  ,  2-29
FIGURE 2,8   EFFECT OF GROUND COVER  ON  URBAN RUNOFF ,  , ,  .  2-33
FIGURE A,l   COST  EFFECTIVENESS OF URBAN BMPs  IN
             ORANGE COUNTY, FLORIDA	,  ,  , ,  ,  A-10
                             vm

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                                    PREFACE
PURPOSE OF THE REPORT

The U.S.  Congress  is addressing  the  problem of  nonpoint  source water  pollu-
tion.   The House Report No. 98-223 requested that  the  Environmental  Protection
Agency (EPA):

     "analyze the extensive body  of past  research  in  nonpoint  source
     problems to  identify  and rank the highest payoff  problem areas
     and  submit a  report by January  1, 1984,  outlining  specific
     strategies  and  approaches  recommended  for addressing  nonpoint
     sources  in a cost-effective  manner."

In  response  to  this  Congressional  request, the  report that  follows  examines
the  nature  and  magnitude  of  nonpoint   source   water  quality  problems  and
outlines  the  key components  of   State  strategies  to  prevent  and  control  such
pollution.    The  focus of the  report is  the  identification of  high-payoff
approaches:  i.e..,  approaches  to nonpoint  source  control  that are likely  to
result in the greatest  water  quality  improvements.

Recently, many  have  identified the  need to focus more attention on controlling
nonpoint  sources  in specific  areas  in order  to  achieve water  quality  goals.
This report  is  designed to respond to  the Congressional  request and to  assist
EPA,  States,  and local  governments with  their continuing  efforts  to  develop
nonpoint  source control programs.

The report:

     •   Describes what is  known  (and  not known) about the nature and
         extent  of water  quality problems caused  by  nonpoint  source
         pollution  and  some  available  best  management  practices  to
         address  these  problems (Chapters 1 and 2);

     •   Compares  point  and  nonpoint source pollutant  loadings
         nationally  (Chapter  1);

     •   Identifies   an  approach  for   targeting high-payoff  problem
         areas (Chapter 2);

      •   Examines the technical,  institutional,* and economic  factors
         and  data gaps that affect the  successful control of nonpoint
         source  pollution  (Chapters 1,  2 and 3);

      •   Identifies   current  Federal,  State, and  local  programs that
         address the problem  (Chapter 3);
 *For purposes  of this report,  "institutional"  refers to  the  range of public
  and private  entities  that constitute  the  framework through  which nonpoint
  source control  programs are implemented.

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       t  Highlights  successful  strategies  for  controlling  nonpoint
          source pollution  and  identifies  some innovative  approaches
          (Chapters 2 and 3); and

       t  Outlines  the key  components  of  State strategies  to  prevent
          and  control  nonpoint source  pollution (Chapter  4).
 SCOPE OF THE  REPORT

 Nonpoint sources  of water pollution are both  diffuse  in nature and difficult
 +Ln?,!£l'!eK*    In  general,  nonpoint source  pollutants  are  carried  over  and
 through the ground  by rainfall  and snownelt,  but  a  variety  of legal distinc-
 r0nlBpC7pPln1Cat?nS thVSSf% V***-™** is collected and discharged through
 a  pipe  (e.g., in combined  storm and  sanitary sewers, or in  cases  of runoff
 from active mines),  it  is usually considered to be a  point source   There ar*
 exceptions, however, such as the" Clean  Water  Act's definition  of  irrigation
 rot"™ H I?**5  I nonP°Jnt  s°ur(Le.* even  tnou9h  the  water  is  collected  and
 returned to the stream through a discrete channel or pipe.

 Given the  expansive  definition  of nonpoint  sources,  the potential  scope  of
 this report was  tremendous.  EPA,  therefore,  elected  to  limit its  focus  to
 those nonpoint  source categories that are  generally  recognized as  the  maior
 causes  of  nonpoint  source  pollution:    agriculture,   mining, urban  runoff
 silviculture,   and  construction.    The  categories addressed  are  both  tradi-
 tionally considered  to  be within the  framework of a  nonpoint  source  program

 roblemsPre      ^^  °f th6  m°St  w1desPread and/or  serious water  quality


 Other sources which are sometimes considered  nonpoint  sources  are not
 ?r™ScSnf,-H    ?  Kar1lty  of  reasons-   The management  of leachate and runoff
 from solid  and  hazardous waste  residuals   is  directly  addressed  under the
 JSiai1V5 frame,work Prov1ded b*  the  Resource Conservation and Recovery Act
 MabrHtfiUbh,er,^7Prehe"siye  Environmental  Response,  Compensation, and
   5 J   £•  ?  <9ERCLA)-   Combined sewer overflows  are managed  as  point  sources
 and handled  within  the context  of  EPA's  Construction  Grants  Program.
 Pollution  from individual,  small-scale wastewater systems  is  addressed  bv a
 component  of  EPA's  Construction  Grants Program—the  Small  Alternative  Waste
 System  Program.   Because of  time  constraints, water  quality  impacts  due to
 instream hydrologic  modifications such as  dams, dredging, and channelization
 are  not  addressed in this report.   The nature  of  these water quality problems
 and  associated strategies and solutions is quite different from those arisinq
 fran  other  nonpoint  sources.  With the exception of  the  Clean  Water Act's
 section  404 program  (addressing  the disposal  or  deposit of dredged  or  fill
material  in water  bodies),  programs  to  address  pollution  from  hydrologic
modification are  largely experimental  in  nature.  In  addition, data  gathering
 is  hampered  by the extremely diverse nature  of research and program informa-
11 on •

Finally, the report  focuses on surface water,  although ground  water concerns
are  identified  and described  where appropriate.  The  Agency is in the process
of  developing   a  comprehensive ground  water  strategy.   This  strategy  will
provide a central framework for ground water management.

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FOLLOW-UP ACTIONS

The issue of nonpoint source pollution control and management has been identi-
fied by  the  Administrator  and  EPA's  Regional  Offices  as a  significant  and
national   environmental  concern  for  the  1980s.    The  Agency  recognizes  that
pollution  from  nonpoint  sources  has  adverse effects  on  water  quality  in
certain areas across the country.  EPA will continue to focus its efforts to:

     t  Coordinate its policies  and activities with Federal agencies
        implementing programs related to nonpoint  source control;

     •  Encourage  States  to  implement  nonpoint  source  control
        programs;

     •  Encourage  States  to  use  available   funds  under  Sections
        205(g),  205(j),  106,  and 314  of  the  Clean  Water  Act for
        nonpoint source programs;

     •  Disseminate information  to States  to develop or update  their
        nonpoint source programs  for specific  water bodies;

     •  Continue distributing  information  on  methodologies for
        nonpoint  source  analysis gathered  through  its   Nationwide
        Urban Runoff Program; and

     •  Evaluate,  docunent, and  distribute  information  on innova-
        tive,  cost-effective  techniques  for  controlling  or   miti-
        gating nonpoint and  point sources  of  pollution.

It  is  hoped  that this report  to Congress  will provide data to assist ongoing
and  future  nonpoint  source  control  efforts.   The  report  incorporates  the
latest information  on  nonpoint source pollution problems and their resolution
that  could  be  gathered  from  current  literature  and  interviews  with  those
knowledgeable  in the  field.  'Although gaps  in  problem  assessment, control
technology,  and  program  approaches  remain,  many nonpoint   source  control
efforts have  been  initiated at the State  and  local levels  and  provide a sound
basis for  intensified nonpoint source management  activities.
                                     xi

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                               EXECUTIVE SUMMARY
SOME REMAINING WATER QUALITY PROBLEMS
ARE CAUSED BY NONPOINT SOURCES

Significant  achievements  toward  attainment  of water  quality objectives  have
been accomplished  by controlling  point  sources of  pollution in the  11  years
since  the  passage  of  the  Clean  Water  Act.    Reductions  in  point  source
pollution  has  illuminated  the  nonpoint source  contribution  to water  quality
problems.   A variety  of  data gaps  preclude the development of a  consistent
national  summary  of  nonpoint-source-related water  quality  problems.   Data-
related difficulties  reduce our ability to  accurately quantify  the  nature and
extent  of  water  pollution  caused  by   these  sources.   Nationally  available
reports,  such as  State  305(b)  reports,  are  not consistent with  each other and
are not complete with respect to  all  nonpoint  source  types.  Thus,  this report
presents  what  is  known  about  nonpoint  sources across  the  U.S., rather  than
providing  a national  sunroary  of nonpoint  source  data  into a single bottom
line.

A review  of information  submitted  by EPA Regions  and  the States on  nonpoint
sources is  illuminating,  however.   Six  out  of  the  ten EPA Regions  assert that
nonpoint  source  pollution  is  the principal  remaining  cause of water quality
problems.    Half  of the  States  report  that nonpoint sources  are   a  major or
significant  cause  of  their remaining  water quality  problems, and virtually
every  State  reports  sane  kind  of  water  quality  problem  related  to  these
sources.   Additionally,  11 States identify nonpoint sources as the  major cause
of water  quality  problems.

Technical  evidence from a  variety of  sources  suggests  that  lakes,  reservoirs,
and  estuaries  may  be  particularly  vulnerable  to  pollution  from  nonpoint
sources.


STATE  MANAGEMENT AND IMPLEMENTATION
IS THE KEY TO  IMPROVED WATER QUALITY

Managing   nonpoint  sources  of  pollution  presents  complex   control  problems.
Nonetheless-, effective  steps  can  be   taken  to  reduce  pollutant   loads   from
nonpoint  sources.  The  localized nature of nonpoint  source  pollution makes  a
national  strategy  ineffective  by not providing enough  flexibility  and speci-
ficity to solve  local  problems.   State management  of nonpoint source control
programs   is the  key  to  achieving  water  quality  objectives.   As  the central
manager of the water quality program, the State must establish whether a  water
quality problem  is  related to  nonpoint sources,  and  determine which of  these
problems will  receive  its  priority  attention.   It  is at  the State  level  that
 local  conditions can be properly weighed to determine what type of  strategy is
needed, whether progress toward achievement of objectives is being  made,  and
what adjustments are needed for a more  effective strategy.
                                      xii

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 FIVE SIGNIFICANT NONPOINT SOURCES
 ARE DISCUSSED IN THIS REPORT

 The principal  sources  of nonpoint pollution  vary between Regions and  between
 States, but agricultural sources are  identified as the most  pervasive  nonpoint
 source in every Region.  Pollutant  loadings caused by runoff from urban  lands
 and by mining  activities are the next  most comnonly reported nonpoint  source
 problems. Urban runoff  contributes  to localized water quality problems and  is
 a  source  of concern because  it may  contain  toxic heavy metals.   Where  they
 occur, water  quality  problems  from  abandoned mines  can  cause particularly
 severe impacts,  in some cases  resulting  in  the  devastation  of stream  life.
 For abandoned mines and densely developed  urban areas, cost-effective  remedial
 measures  may be hard  to implement.   Additional  nonpoint sources of localized
 concern include silvicultural activities  and  construction erosion.   The  water
 quality impacts from both of  these  sources are not as pervasive on a  national
 level  as  the other sources  described  in this report.


 TARGETING HIGH-PAYOFF NONPOINT SOURCE PROBLEMS HAS
 PRODUCED  SUBSTANTIAL HATER QUALITY IMPROVEMENT

 For most  water quality problems caused  by nonpoint sources,  substantial water
 quality improvements can be—and have been--achieved  cost effectively through
 careful targeting  of control  activities.  Targeting high-payoff areas requires
 identifying  both   the  priority  water  bodies   for  which  the  adoption   of  a
 nonpoint  source control  program will have  significant  benefits and  the best
 management practices that will  lead  to the greatest improvements for the least
 cost.   While  general  statements  about  problems  and  potential  solutions are
 possible  at  the national level, the  analysis  and  decision-making required for
 effective  implementation of  targeted  controls  must take  place on   a  local
 level.

 The key to careful targeting  of control activities to maximize  water  quality
 benefits  is  a watershed-based analysis.  A thorough watershed  analysis  will:
 (1)  identify those use  impairment  problems that  are  caused specifically by
 nonpoint  sources,   (2) rank  priority  water  bodies  for concentrated  attention,
 (3)  pinpoint  the  specific  land   management   practices   giving  rise  to  the
 problems,  and  (4)  design a  system of  cost-effective management  practices  that
 can  reduce the  nonpoint  source pollutant load  to the  watershed.
SITE-SPECIFIC DECISION-MAKING,  NOT UNIFORM
TECHNOLOGICAL CONTROLS,  IS REQUIRED

The basic  approach  taken by the Clean  Water Act for managing point  sources—
that  is,   the  application  of  uniform  technological  controls  to  classes  of
dischargers—is  not  appropriate  for  the  management  of  nonpoint   sources.
Flexible,  site-specific, and  source-specific  decision-making  is  the  key  to
effective  control of nonpoint sources.  Site-specific decisions must  consider
the nature of  the  watershed,  the  nature  of  the waterbody,, the  nature of  the
nonpoint source(s), the  use  impairment  caused  by the nonpoint source(s),  and
the  range  of  management  practices  available  to  control   nonpoint   source

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pollution.  The actual  site-specific  selection  of  particular management prac-
tices to  control  nonpoint source pollution  (called  Best  Management Practices
[BMPS])  will involve  local env ironmental  and economic  considerations,  as well
as considerations  of effectiveness and acceptability of the practice.


CURRENT ACTIVITIES ARE ADDRESSING
THE NONPOINT SOURCE PROBLEM

Currently, some activities and resources are devoted to the identification and
control  of nonpoint source problems at the Federal, State, and local levels of
government.    Although most  of these programs  do not receive  their   impetus
from  a   high-priority  concern   for  water  quality, many of  these  efforts,
nevertheless, hold promise for significant improvements in water .quality.  For
example:

     t  Agricultural  pollutants  are  addressed  by a variety of State
        programs containing  educational,  training, and cost-sharing
        components  and  are coordinated  at  the local  level  by soil
        and  water  conservation districts, with  assistance from
        several  branches  of the  U.S.  Department  of Agriculture.
        These programs  are successfully encouraging the  adoption of
        conservation practices that reduce erosion from farmland and
        pollution from other agricultural practices.

     •  Water  quality  problems caused  by  silviculture   are  being
        addressed  in  some areas  by State regulatory and  educational
        programs.   Regulatory  programs  address  nonpoint  source
        pollution  from  forestry  practices   in  11  States.   Various
        educational  and  training  programs  are  being provided  to
        small  woodlot  owners  and  operators  to   encourage   better
        management  practices  that  will  reduce  nonpoint  source
        pollutant  loads.    Some  of   these   programs were developed
        jointly by the  U.S.  Forest  Service and EPA.   In addition,
        national  forest  timber  sale  contracts require  control  of
        pollutants from forestry activities  on  Federal  lands.

     •  Sixteen States  have  enacted  construction  erosion and sedi-
        mentation  laws  to control  runoff of sediment  from construc-
        tion  sites.   In  addition, many  localities  in other  States
        have adopted  local  ordinances  to control   construction
        erosion.
ECONOMIC BENEFITS CAN BE ACHIEVED  BY
CONTROLLING NONPOINT SOURCES OF  POLLUTION

Studies completed by  EPA,  the  U.S.  Department of Agriculture, and others  show
that  it  "pays to control  nonpoint  source  pollution."   For example, economic
benefits can  accrue  to  the farmer from reduced cultivation costs  if conserva-
tion  tillage  is  employed  as a  means of controlling  erosion.   Additionally,
offsite  benefits, both  direct and  indirect, can  accrue to local  communities.
For  example,  improved  recreational  opportunities  and  reduced dredging costs
can  result from  decreasing  siltation caused  by runoff from  nonpoint sources.
                                     xiv

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 GAPS EXIST  IN MANAGEMENT APPROACHES
 TO NONPOINT SOURCE CONTROL

 A  variety  of  land  management  practices  (BMPs)  to  control  nonpoint  source
 pollutants  have  already been  shown to  be  effective.   Additional  research  to
 identify  and demonstrate the effectiveness  of  BMPs  is not necessary for  most
 nonpoint  sources.   Programs  to  ensure technical  transfer of  these  proven
 management  practices provide the means to  fill  the gaps.

 Notwithstanding  the  demonstrated  effectiveness  of many BMPs, and  despite  the
 range  of programs being mounted, significant  gaps  remain  in  the manner  and
 extent  to which  specific  nonpoint  source  problems  are  addressed.  Although
 some of  these gaps  have to  do with  technical  difficulties in identifying  and
 characterizing the nonpoint  source problem, many more  relate, to the management
 of these  problems.   For  example, although  agricultural  nonpoint  sources  are
 thought  to  be  the most  pervasive type  of  nonpoint  source pollution, only  19
 States administer  assistance  programs  for  the  implementation of  BMPs.
 Additionally, most of  these  agricultural programs were originally  established
 for the purpose  of  controlling soil erosion, not  for  achieving water quality
 goals.    Recently, a  few States  have modified  their  programs to include water-
 quality objectives.


 INTERAGENCY COOPERATION HAS
 ADVANTAGES AND LIMITATIONS

 Effective implementation of  nonpoint source  controls requires close coordina-
 tion  between  State  water quality agencies  and  those   agencies with  outreach
 programs that provide  a  network  of services designed  to  reach  landowners and
 operators and help them change the way  they manage their land.  These services
 are  derived  from Federal, State,  and local  programs  oriented primarily toward
 other missions.   Only EPA and  State/local  water  resource  agencies have under-
 taken protection  of  water quality  as a  primary goal.   Although  relying  on the
 outreach  capability  of other agencies  for implementation of nonpoint  source
 controls  works due  to  the   record of   mutual  trust and  effectiveness  these
 agencies  have forged  in  the field,  there  are also  some  drawbacks to  such  a
 dependency.   For instance,  the   differing  priorities   and  objectives  of  the
 parent  agencies   may  slow efforts toward  tackling nonpoint  source pollution
 problems.


 VOLUNTARY EDUCATION AND TRAINING  PROGRAMS ARE NOT ALWAYS ENOUGH

 State programs  to manage  certain  nonpoint sources currently rely  heavily  on
 voluntary  education  and training  programs  to encourage adoption of controls.
 While we have had these voluntary programs  for a  long time,  the  results  appear
 spotty  because there ha?  not  been a focused  approach  that  targets  resources  to
meet water quality objt tives.   Additionally,  improving management practices
to control some nonpoin:  sources  of pollution  is  sometimes  beyond the economic
 interest  of  the   people generating  this  pollution.   In  such  cases,   sole
reliance on  voluntary programs  is  not likely  to accomplish  adequate  reductions
 in pollutant loads and,  as  a  result,  other approaches may  be  needed (e.g.,
economic incentives or  regulations).   Because of the diversity of options  and
                                     xv

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the high  public  costs  associated with  implementing  and  enforcing  nonpoint
source control programs, supplements to  voluntary programs must  be  carefully
evaluated  on  the basis  of need,  social  and economic equity, and effectiveness.


CONCLUSION

The development of carefully planned management strategies at the State level
is the key to controlling nonpoint sources and achieving water quality goals.
Targeting of  specific  areas  is necessary  to  ensure that  voluntarily-
implemented controls will  achieve water quality goals.   Voluntary implementa-
tion  of   management  practices  can  be  successful  but  must   be  targeted  to
specific   areas.    Where  they  are  not  successful,   problems  could  remain
unaddressed   until  new  approaches  are  tried,  including  effective  State
cost-sharing, incentive, and/or regulatory  programs.    While  development  of
effective management strategies at the  State  level  is  key to achieving water
quality  objectives,  implementation of  appropriate control measures  will
require a coordinated  effort on the  part of  all levels of government.
                                    xvi

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                               CHAPTER  1
       Nature  and Extent of  the Nonpolnt Source  Problem
 INTRODUCTION

 Eleven  years ago  the  United  States made  an unprecedented  commitment  to the
 restoration  and enhancement  of  the physical,  chemical,  and biological  Inte-
 grity of its waters.  The drafters of  the  Clean  Water Act clearly recognized
 that  achievement of  its  goals would be expensive; would require major  conmit-
 ments from all  levels of government,  industry, and   private individuals; and
 would necessitate  the  reduction  of pollutant loads being discharged from both
 point and  nonpoint*  sources.

 Significant  achievements  have been  made  nationally  in  the  protection and
 enhancement  of  water quality.  Much of  this  progress,  however, has been accom-
 plished  by controlling the many  industrial  and municipal point  sources.  In
many  parts of  the  country,  pollutant  loads  from nonpoint sources present con-
 tinuing  problems for achieving water  quality goals and maintaining designated
 uses.


 WATER QUALITY:  PROGRESS HAS  BEEN  MADE

 In the face  of  mounting populations and pollution  loads, the progress that has
 been  made  in water quality  can be regarded  as a substantial achievement.  The
 population of  the  United  States  grew by 23  million  between  1970 and  1980.[1]
 During  this  same  period,  a major  indicator of economic  activity—the gross
 national  product—experienced  a  36% increase. [2]   Analysis  of water quality
 data  gathered from across the  nation during  that same decade shows that trends
 in water quality conditions have remained stable for most water bodies.  Water
 quality data are aggregated nationally by the U.S. Geological Survey (US6S)  in
 its  National  Stream  Quality  Accounting Network  (NASQAN).    For  all  water
 pollutants monitored nationally, most NASQAN stations show no change in levels
 (see  Table 1.1).  The National  Fisheries  Survey  (also  known as  the  Aquatic
 Life  Survey) conducted jointly by EPA  and  the  U.S.  Fish and Wildlife Service
 (FWS)  indicates the  same stability in the condition of fisheries in rivers and
 streams. [3]
*Nonpoint  source pollution  is  generally  carried  over  and  through soil  and
 ground  cover  via rainfall  and  snownelt.   Unlike "point" sources of pollution
 (mainly industrial  and municipal  effluent  discharge  pipes),  nonpoint  sources
 are  extremely diffuse  and  can come  from  any  land  area.  It must  be  kept  in
 mind  that  these definitions  are  very general;  legal  and regulatory decisions
 have  sometimes  resulted in certain sources being assigned to either the  point
 or  nonpoint  source  categories because  of considerations  other  than  their
 manner  of  discharge (for  example, irrigation return flows are  designated  as
 "nonpoint  sources"  by  law, even  though  the  discharge  is through  a discrete
 conveyance).
                                    1-1

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             TABL£  1.1   SUMMARY OF TRENDS IN SELECTED WATER QUALITY
             CONSTITUENTS  AND  PROPERTIES AT NASQAN STATIONS 1974-81

Constituents
and Properties
Temperature
PH
Alkalinity
Sulfate
Nitrate-nitrite
Ammonia
Total organic carbon
Phosphorus
Calcium
Magnesium
Sodium
Potassium
Chloride
Sil ica
Dissolved solids
Suspended sediment
Conductivity
Turbidity
Fecal coliform bacteria
Fecal streptococcus bacteria
Phyto plankton
Dissolved trace metals
Arsenic
Barium
Boron
Cadmium
Chromium
Copper,
Iron
Lead
Manganese
Mercury
Selenium
Silver
Zinc
*The terms "increasing" and
Number
Increasing*
Trend s
39
74
18
82
76
31
36
39
23
50
103
69
104
48
68
44
69
42
19
2
22

68
4
2
32
12
6
28
5
30
8
2
1
19
of Stations with:
No
Change
218
174
207
182
203
221
230
232
198
208
173
193
164
213
183
204
193
199
216
190
234

228
81
15
264
152
83
258
232
250
194
201
32
251
"decreasing" refer to the
Decreasing*
Trend s
46
56
79
40
25
30
13
30
83
46
28
42
36
41
51
41
43
18
34
78
44

11
1
3
7
2
6
21
76
19
2
21
0
32
change in the
Total
Stations
303
304
304
304
304
282
279
301
304
304
304
w w^
304
304
302
302
W V/ b
289
305
259
269
270
300

307
86
20
303
166
A W
95
307
313
299
204
224
33
302
recorded
^^^^^^^^^^^-^ •  »••»• vw>»vv*vww»v vi  ff t ^f "** * J     *^  W* Mill V • W • VII I   * I • WI bW^ II IU VI W IIU  III L/l I
is  an  improvement,  but  an  increasing  trend  in  dissolved  solids  indicates
degradation.

Source:   Unpublished data from USGS (Smith and Alexander, 1983, in press).


                                      1-2

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It must be noted,  however,  that  both the NASQAN network data  and  the  National
Fisheries  Survey  information  have  significant  limitations   in  terms of  the
scope  of  their  coverage and the nature  of  the information gathered.   Neither
source, for  example,  addresses water  quality  in lakes or  estuaries.   Indeed,
nationally  aggregated  data often  fail  to  show the whole  picture.    The  most
extensive water quality data  are  generally collected  at  the State and  local
levels  of government.   These  data  are collected for  the  purpose of  managing
individual  water  quality   programs, and  are  rarely   recorded   in  a  uniform
manner.  Thus,  this  valuable  local  information  rarely can  be  statistically
compared  or  even  compiled to  build a  valid  profile  of  the nation's  water
quality.*   Although extensive  State water  quality data  are  stored  in  EPA's
computerized  STORET system, the lack of  comparable  monitoring  systems  and data
across  States makes national organization of this data  difficult.

Individual  reports from the  States and  from  EPA  Regional offices,  however,
suggest that  pollution  control  investments  by  industry, by States and munici-
palities, and by  the  Federal  government have  paid  off.   The gross levels  of
water  pollution common  at  the  time the  Clean  Water Act  was enacted,  for  the
most part,  have been  abated.   Improved water  quality—including  better biolo-
gical  health, fisheries, and recreational opportunities—has been noted in all
parts  of  the  country.    In  1980,  EPA  documented  achievements   in pollution
control for  a variety  of water bodies.[4]   The list of improved  water bodies
is  extensive:  some  major  ones are the Savannah  River  (forming the  border
between Georgia and  South  Carolina),  the  Potomac River (between  Maryland  and
Virginia, below Washington, D.C),  the Willamette River (in Oregon),  Escambia
Bay (in Florida),  and some  of  the  Great  Lakes.
NONPOINT SOURCE POLLUTION  IS A  PERVASIVE  PROBLEM
Nonpoint Sources Are a Significant  Cause
of Remaining Water Quality  Problems
Nonpoint  sources  play  a  major  role  in  contributing  to  many  of  the  water
quality problems  that  remain.   The NASQAN trends  analysis  indicates  that many
of  the pollutants are  showing  worsening  trends  more  often  than  improving
trends.[5]   Some  of  those  pollutants  that  are  showing  worsening trends  are
contributed  primarily by nonpoint rather  than point sources.   These pollutants
are  nitrate-nitrite,  phosphorus,  sodium,  chloride, and  sediment  (measured  as
dissolved  solids  and  turbidity).   In  the  draft  EPA/FWS National  Fisheries
Survey, State  fishery biologists  cited  nonpoint  sources more  frequently  as the
cause  of fair  or  poor quality  fishery  waters  than  point sources.

Evidence gathered under the Clean Water  Act's Clean  Lakes  Program  suggests
that  lakes  and  impoundments may be particularly  affected by  nonpoint  source
pollutants.   In a recent  survey  conducted  by the  North  American  Lake  Manage-
ment  Society,   all  but  one  of 38  States  participating  stated that  nonpoint
*The  EPA has  provided  a  grant  to  the  Association  of State and  Interstate  Water
 Pollution  Control Administrators  to develop a  system for aggregating  State
 data  on water  quality.   The result of this  project—a comprehensive report  on
 the  status of  water quality—is  planned  for presentation to Congress  in  1984.
                                     1-3

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 sources  are seriously affecting lake water quality.  More  than  three-quarters
 of  all  lakes in EPA  Regions  2,  5,  6,  7,  and 10 were reported by States to be
 seriously affected  by nonpoint source pollution.  Fourteen States with  24,000
 lakes  (and 7.3 million  acres of water) reported  that  more than 75% of lakes
 were  seriously  affected.[6]


 Virtually Every State Identifies Nonpoint
 source Mater  Pollution Problems

 The 1982  State Section 305(b)  reports—water  quality  reports  submitted
 biennially by the  States to EPA pursuant to Section  305(b) of the Clean Water
 Act—indicate  that  virtually  all  States  have some water  quality problems
 caused by nonpoint sources.   Approximately one-fifth  of  the States identify
 nonpoint  sources  as their major cause of water quality problems.[7]  Half of
 the  States  say that  nonpoint  sources are  a  major  or significant  cause of
 remaining  water quality problems.   Table  1.2,  which  illustrates  these
 findings,  is derived  primarily  from  the  State Section 305(b)  reports.   Its
 detail is  limited  by  the fact  that reporting  on  nonpoint  sources  is neither
 complete  nor  consistent  in these State reports.

 Six  out  of the ten EPA  Regions assert  that pollution  generated  by nonpoint
 sources  is the principal remaining cause of water  quality problems in their
 Region.[8] On  a  national basis, the principal  sources of  nonpoint pollutants
 vary  between Regions  and between  States  and  have  been  characterized  in the
 following  manner.    Agricultural ^activities—including  those  resulting  from
 tillage  practices  and animal  waste management—constitute the most  pervasive
 nonpoint  source problem  in every  Region.   Nonpoint source pollutant loadings
 caused by runoff  from urban  lands  and  from mining activities  are the two  next
most  commonly  citednonpoint source  problems.  Urban  runoff  contributes to
 localized  water quality  problems   and  is  a source  of  concern  because  it is
 likely  to  contain  heavy metals.    Mining  problems, where  they occur,  can
 present particularly  severe water quality impacts  (e.g., acid mine drainage).

 Nonpoint source pollution due to silvicultural  activities is primarily a local
 problem.   Silvicultural   activities  can  degrade the  very  high  quality  waters
 that flow  through forested areas and support cold-water fisheries and drinking
water supplies.  The  large  amounts of sediment  associated with construction
 runoff cause  localized water quality  problems  in  those parts  of the country
 experiencing/  significant  development pressure (e.g.,  the Southeast, mid-South,
 and Northwest).


 Understanding the Nature  of Nonpoint
source Pol lotion

 Nonpoint  sources may  generate both  conventional and toxic  pollutants, just as
 point sources  do.   It is important to understand  that, although nonpoint  and
point  sources  contribute  many  of the  same  kinds  of   pollutants,   these
 pollutants  are  generated in  different volumes, combinations,  and  concentra-
tions  during  different  flow regimes.   Pollutants  from nonpoint sources  are
mobilized  primarily during storm events.  Pollution episodes,  therefore, occur*
with lower  frequency  and  for  shorter duration  than occurs  in  the discharge of
                                     1-4

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                 TABLE 1.2  NONPOINT  SOURCE  PROBLEMS BY  STATE
1

REGION 1 CT
ME
MA
NH
RI
VT
REGION 2 NJ
NY
PR
VI
REGION 3 DE
DC
MD
PA
VA
WV
REGION 4 AL
FL
GA
ICY
MS
NC
SC
TN
REGION 5 IL
IN
MI
MN
OK
VI
REGION 6 AR
LA
NM
OK
TX
REGION 7 IA
KS
MO
NE
REGION 8 CO
MT
'KD
SO
UT
WY
REGION 9 AZ
CA
HI
NV
REGION 10 AK
ID
OR
HA
Nonpolnt
Sources
Cause A
Problem?
Yes
Yes
Yes
Yes
Yes
Major
Major
Major
Major
Yes
Yes
Yes
Yes
Major
Yes
Major
Yes
Major
Major
Major
Major
Yes
Yes
Major
Yes
Yes
Yes
Major
Major
Major
Major
Yes
Yes
Yes
Potential
Major
Major
Yes
Yes
Yes
Major
Major
. Major
Major
Yes
Yes
Yes
Major
Yes
Yes
Major
Major
Major
Nonpolnt Source Category
Agriculture Mining (Oil,
(Including Silviculture Gas, Coal, Construction
Feedlots) «nd Noncoal)
O - O
A •
A O O •
• - - 0
A - - 0
O • •
A
• A •
• 0 0
• A
0
A 0 •
A • •
A - - -
A - •
• O O O
O - , O 0
A ' -
A •
A • •
A - -
A • •
A • •
1 : :
O • • -
A • • •
A • - • •
A A - •

Urban/
Suburban
Runoff
O
A
O
A
O
O
0
O




   A Identified as a primary or
     major problem source
Identified as a problem
O Identified as a
  potential problem
- Not reported upon
Source:  State 305 (b) Reports as updated by EPA Regional  Office personnel.


                                      1    1-5

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                                   CASE  EXAMPLES:
      SPECIFIC NONPOINT SOURCE WATER  QUALITY  PROBLEMS FROM AROUND THE COUNTRY


  Chesapeake Bay; Point and Nonpoint  Source Controls  are  Necessary

  The Chesapeake Bay  has  undergone  degradation  from  both point  and  nonpoint
  sources of  pollution.   Nutrient  levels have  increased in many  areas of the
  Bay,  causing  algal bloons  in  some parts.   Low dissolved  oxygen  levels have
  been  observed in large expanses of  the  Bay; the  amount  of  Bay water  exhibiting
  low or no dissolved  oxygen  has  increased by  a factor  of  15  over the past 30
  y?arsl  j  ,vy  "ratals  and  toxic   organic  compounds  have  been detected  at
  elevated  levels  in both the  water column  and sediment,  and evidence of the
  bioaccumulation  of  some  of   these  toxic  contaminants   has   been  observed
  Harvests  of shellfish and  freshwater  spawning fish  have  declined.   Submerged
  aquatic vegetation has  decreased throughout  the  Bay,  and the  diversity and
  abundance  of  benthic organisms  have  declined  as  a result  of  the polluted
  waters.

  A recent exhaustive study  of the Chesapeake Bay  has  shown  that  point and non-
  point  sources  contribute  significantly  to  nutrient  loadings;   point  sources
  {primarily sewage  treatment  plants)  are the major  contributors  of phosphorus
 while  nonpoint  sources  are the  main  contributors  of nitrogen.    Nonpoint
 sources  of  nitrogen  include agricultural   activities  and urban  runoff   the
 principal  source being runoff  from  cropland.   Like nitrogen and  phosphorus
 toxic organic  compounds  and heavy metals are  also  contributed  by  both  point

 ?jSl,rH°onPf«^4.SO-UriCeJ' -,Wnt  STCeS  °f tox1c  meta1s  and Or9an1c  compounds
 include industrial  facilities   and  sewage treatment  plants;  nonpoint  sources
 include urban^ runoff, dredged  material  disposal, atmospheric deposition, and
 acid mine drainage.  Many of these  sources  do not discharge directly into the
 Bay, but rather to  tributaries  which ultimately empty  into  the Bay.f9]


 Nutrients  in North Carolina Coastal  Rivers Come From Nonpoint Sources

 Several  coastal  rivers  in   eastern  North  Carolina  have  very  serious water
 quality  problems.   The impacts  include  massive blooms of noxious algae, major
 fish kills,  and  declining  commerical/sport  fishing  and  other recreational
 opportunities.    Catch  reductions of 50  to  80% have been  noted  for herring',
 striped  bass, and  catfish.   In response, an  intensive investigation of point
 and  nonppint  source  nutrient   loadings  was   conducted  in  the  Chowan  River.
 Results  indicate that 97% of the  nitrogen  load and 94% of the phosphorus load
 for  1979 can  be attributed  to  nonpoint sources,  primarily those  related  to
 agriculture such as animal  operations and cropland runoff.[10]


Erosion  Problems in Tennessee Prove  to  be Costly

An  area  in  ^   tern Tennessee  located  within  the  Mississippi  Embayment  is
experiencing  i  severe  erosion problem.    More than 460,000 acres   in  an  eight-
county area are  seriously affected by sheet and gully erosion.  Soil  losses  in
the more highly  eroding  areas are producing  sediment  at  the rate of  200  tons
per  acre per  year.  These  erosion rates are one  of  the  greatest contributors
to nonpoint source water pollution in the Tennessee  Valley.  As a result, many
                                     1-6

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                            CASE EXAMPLES (CONTINUED)
acres  are  subject  to crop and timber kills from excessive flooding and loss of
agricultural  and  timber lands from  infertile  sediment  deposition  and  impaired
drainage.   A TVA study has estimated  annual  damages from excessive bottomland
sedimentation  at more  than  $11  million,  including  cropland, grassland,  and
timber production  losses  as well  as losses in land values.[11]


Urban  Runoff Can Affect Drinking  Water Supplies

The  Occoquan Reservoir located  in  the Virginia  Piedmont is the major  water
source for the northern  Virginia communities  that  surround  Washington,  D.C.
By  the  late 1960s,  this  waterbody  had  begun  to  show  significant signs  of
cultural eutrophication,  including  fish kills, algal blooms, oxygen  depletion,
and  clogging of filters  at  the water treatment works.   High  levels of  sewage
treatment  were  implemented  and existing treatment  plants  in the  watershed  were
upgraded.  Recent  stvlies have shown that nonpoint  sources  (principally  urban
runoff)  account for" as  much as  85%  of the  nitrogen  load  and 90%  of  the
phosphorus  load to  streams  entering the reservoir.[12]


Sediment Affects Recreation in the  Tennessee Valley

Improperly managed  surface  mines  and access roads  have  led to the washing  away
of massive  amounts  of  soil  or  sediment.   At a  TVA public  use  area on  the
Nickajack  Lake  on  the Tennessee River, siltation  from  unreclaimed  strip mines
entered  an embayment to  such a  degree  that dredging  was  required  to keep  a
boat launch  useable.[13]


Nonpoint Source Water Quality Problems are Severe  in Pennsylvania

The  primary nonpoint  sources of pollution in the  State of  Pennsylvania  are
mine drainage  and   agricultural  activities.   Tn that State,  nonpoint sources
contribute  the  bulk of  nutrient  loads  in  the  17  lakes  studied,  and  are
responsible  for many waters  that do not meet  bacteriological standards.    In
addition,  the toxic properties of heavy metals and  acid  (from mining  runoff),
coupled with the smothering effects of iron precipitates, render many streams
generally  unsuitable for  aquatic life.   A 1982 report to EPA stated that  21%
of  stream  miles  would  not  meet  1983 water  quality  objectives;  acid  mine
drainage is  responsible for 85% of  these  stream miles.[14]


Montana Nonpoint Water  Quality Problems Stem from
Agricultural, Silviculture!,  and  Mining Activities

In the State of Montana, the three largest water quality problems are sedi-
ment,  salinity,  and water  depletion.   Most  of these, problems are the conse-
quence  of   intensive agricultural  practices  on   an  erosive,  salt-rich,   and
sometimes  water-poor landscape.   Acids and  metals from coal  and metal mining
cause  other  serious water  quality problems.   Of the 209  stream segments with
water  quality  problems,  84  are  affected  by  agricultural  practices,  29  by
inactive mining, and 33 by  forest practices.[15]
                                     1-7

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  pollutants  from point  sources.   The timing  (intermittent discharge  caused by
  rain  or  snow), concentration,  and dilution  of  the  pollution  from  nonpoint
  sources  constitute only  part  of  the picture when  one  considers  the  nature of
  associated  water quality impacts;  the transportation and ultimate fate of the
  pollutant constitute  the other part.
    n«*».              of  the  P°11utant.  «  well  as  the  total  load
 generated  by  the nonpoint  source, depend upon the nature of  the  source and the
 climatic  conditions transporting the contaminants.   The potential  dilution  of
 pollutants during high  flow must be considered against the velocity with which
 pollutants are  dislodged  and  transported.    Thus,  it  is  difficult  to  make
 generalizations   about  the  concentration  of  loads  from  nonpoint  sources
 Studies  of sediment  from  agricultural  sources,  for  example,  have  suggested
 that  concentrations of sediment  are  at their  highest during the  continuing
 long- lived,  and  heavy  rainfalls  that  are  typical  of spring  rains  in  the
 Midwest.   On  the other  hand,  concentrations of pollutants in urban runoff may
 be  at their highest  during  a medium  or intense rainfall of short  duration
 The initial  downpour  may "clean"  city  surfaces,  and  subsequent runoff may  be
 cleaner and have lower  pollutant  concentrations.

 A given pollutant  loading may or may not have  an  impact  on water quality    The
 mea*ure. °f. actual imPact must  come from examination  of instream   effects,  as
 reflected  in terms of impaired uses.

 The movement  of  pollutants  downstream may  be a  cause of  further pollution
 problems.   For  example,  sediment and  the  pollutants  associated  with it may
 move  some  distance  from their  original  source, and may  be a source of  future
 contamination and turbidity when stirred up during  subsequent storm events.

 Important Pollutants from Nonpoint Sources

 Sediment—that  is,  sand,  silt,  clay,  and  organic materials-is  the largest
 contributor  by  volune  to  nonpoint  source  pollution.    Many  of  the  other
 pollutants  contributed  by  nonpoint sources  are  associated with  (bound  to)
 sediments.   The water quality impact of these sediment- bound  pollutants may be
 different  than the  impact of  the same  pollutant dissolved in a  free form via
 water  runoff,  or from  a  point  source  discharge.   For example,   phosphorus,
 nitrogen, many pesticides, and metals may be  more  biologically  available when
 delivered   unbound  to  the  stream  in  water  runoff  than  when  delivered  in
 association- with  sediment.   One  explanation for this  observation  is that the
 sediment  binds- at least temporarily-other materials  to it  that mitigate the
 impact of  the  particular pollutant  in question.   In addition, as sediments
 settle out,  they  bury  their  associated pollutants   so  that they are  less
 available.    Whether  or not  sediments continue  to mitigate  the   effects  of
 contaminants  depends on  a number of factors,  including how easily  and  quickly
 the  pollutant  will  dissolve,  as well  as  the  degree to  which  future  storm
 events stir  up  bottom  sediments  and  stimulate  the process  releasing  the
material .

 The  impact  of nonpoint-source-generated pollutants depends upon the nature  of
 the  water  body  to  which  they  are  delivered.   Although  it is  difficult  to
 generalize  at  the national  level, it does appear  that certain types of  water
 bodies may  be more vulnerable  to  pollutants  from nonpoint sources than  others.
 Streams that  support  cold-water  fisheries,  for example, may be particularly
                                     1-8

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 sensitive  to the  temperature alterations  and  habitat  changes  typically
 associated  with sedimentation.   Slow-flushing  lakes,  reservoirs, ponds,  and
 estuaries  retain the  pollutants  delivered to them  for long periods of  time.
 Such  water  bodies  may  be  particularly  vulnerable  to  sediment  deposition.
 Sediment  buildup,  coupled  with accumulating  nutrient  poTTution, hastens  the
 eutrophication  of impounded  waters.   Table 1.3 describes  nonpoint source  water
 quality impacts.


 Nonpoint Sources May  Be  an  Important
 Cause of Ground  Mater Contamination"

 Although  there  is  no  national data  base  to  confirm  it, there are examples  of
 the  contamination  of  ground  water  by   nonpoint  sources.    Pesticides  and
 nutrients  applied on  agricultural  lands  seep  into  ground water, as  does  acid
 and metal  drainage from deep mines.*   In Arizona,  for example, public  wells
 containing  a pesticide called dibromochloropropane  (DBCP) have  been  closed  due
 to  contamination.[16]   In  Wisconsin, contamination of  ground  water  by  the
 pesticide  aldicarb  is being  evaluated for possible  public health  concerns.[17]
  Iowa  is  concerned  about  the increased  concentrations of  nitrates  in ground
water  in  its  karst   regions.[18]    Nitrate  contamination  of  ground   water
 presents  important  public health  concerns  when  that  ground water  is a source
of drinking  water.

Where it occurs, ground  water contamination  is particularly troublesome.   Once
contaminated,  ground  water  is difficult  if  not  impossible  to  clean  up.
Natural cleansing  processes  may  take decades or  even  centuries.   The  self-
cleansing  mechanisms  common  to  surface waters  generally do not exist under-
ground.  Because ground  water generally moves very slowly (on a  scale of  only
tens  or  hundreds of   feet  per year),  very  little dilution  takes  place,  and
pollution  levels may  remain high.   The  slow rate of  movement,  however,  can
 also  restrict contamination,  leaving some  parts  of an  aquifer  safe for  use
while others remain polluted.[19]


A CONTINUING PROBLEM:  NONPOINT SOURCE POLLUTION
DEFIES GENERALIZATION NATIONALLY

A great  deal is known about  nonpoint  source  pollution.    During  the past  10
years,  enormous volumes of  data  have  been  gathered  and   research  has  been
conducted, but  that information continues to be  intractable  to generalization.
 Little of  it has been  pulled together to  create  a national  picture.   Much more
is known  about  nonpoint sources at  the State and  local  levels of government
than  is  available  through  national   docunents.   More  than  200 water quality
management  plans conducted  under Section 208  of the  Clean  Water Act analyzed
nonpoint source water  quality problems in every  part of the  country.  Numerous
demonstration projects to control  nonpoint  source  pollution have reported  on
the water  quality problems  to which   they were directed and  the results of the
demonstration efforts.
*0ther  important sources  of contaminants,  such  as seeptic  tanks, hazardous
 waste  sites,  and  hydro!ogic  modifications are  outside  the  scope  of  this
 report.
                                     1-9

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                          TABLE  1.3   NONPOINT SOURCE  WATER QUALITY  IMPACTS
 Polluttnt
 Nonpolnt Source(s)
                                             Water OuaHty and Associated Impacts
 Sediment
 Agriculture
 Silviculture
 Urban Runoff
 Construction
 Mining
                                             • Decrease 1n transmission of light through water

                                                -  Decrease 1n primary productivity (aquatic plants and phytoplankton)
                                                   upon which other species feed, causing decrease 1n food-supply.

                                                -  Obscures sources of food, habitat,  hiding places, nesting  sites:  also
                                                   Interferes with mating activities that rely on sight and delays
                                                   reproductive timing.

                                             •  Direct effects on respiration and digestion  of aquatic  species  (e.g.
                                                gill  abrasion).

                                             •  Decrease 1n viability  of aquatic  life—decrease 1n  survival rates of  fish
                                                eggs  and therefore 1n  size of fish  population;  affects  species
                                                composition.

                                             •  Increase in temperature of surface  layer  of  water—Increases
                                                stratification and reduces oxygen-mixing  with  lower  layers, therefore
                                                decreasing  oxygen  supply for  supporting aquatic life.

                                             •  Decrease 1n value  for  recreational  and commercial activities:

                                                -   Reduced  aesthetic value.

                                                -   Reduced  sport and commercial fish populations.

                                                -   Decreased boating and  swimming activities.

                                                -   Interference with navigation.

                                             •  Increases drinking water  costs.
Salts
                   Agriculture
                   Mining
                   Urban Runoff
                         •  Favors salt-tolerant aquatic species and affects the types and
                             populations of fish and aquatic wildlife.  Fluctuations in salinity
                             may cause greater problem than absolute levels of salinity.

                         •  Reduces crop yields.

                         •  Destruction of habit and food source plants for fish species.

                         •  Reduced suitability for recreation through higher salinity levels
                             (skin/eye irritation)  and higher evaporation rates.

                         •  Affects quality of drinking water.
Pesticides and
Herbicides
Agriculture
Silviculture
Urban Runoff
Construction
 •  Hinders photosynthesis  in  aquatic  plants.

 •  Sublethal  effects  lower organism's resistance and  Increase
    susceptibility  to  other environmental stresses.

 •  Can affect reproduction, respiration, growth and development
    in aquatic species as well as reduce food supply and destroy habitat for
    aquatic species.

 •  By definition these chemicals are poisons: if released to the aquatic
    environment before degradation, can kill non-target fish and other
    aquatic species.

•  Some pesticides/herbicides can bloaccumulate in tissues of fish and otr
    species.

 •  Some pesticides/herbicides are carcinogenic and mutagenic and/or
    teratogenlc.

 •  Reduces commercial/sport fishing and other recreational values.

 •  Health  hazard fron human consumption of contaminated fish/water.
                                                       1-10

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               TABLE  1.3   NONPOINT  SOURCE WATER QUALITY  IMPACTS  (CONTINUED)
Pollutant
Nonpolnt Source(s)
Water Quality and Associated  Impacts
Nutrients
 (Phosphorus,
  Nitrogen)
Agriculture
Silviculture
Urban Runoff
Construction
   Promotion of premature aging  of lakes  and  estuar1es--eutroph1cat1on.
   -  Algal blooms and decay of  organic materials  create turbid conditions
      that eliminate submerged aquatic vegetation  and destroy habitat and
      food source for aquatic animals  and waterfowl.
   •  Blooms of toxic algae can  affect health of swimmers and aesthetic
      qualities of water bodies  (odor and  murklness).
   -  Favors survival of less desirable fish  species over
      commercial1y/recreat1onally more desirable/sensitive species.  '
   -  Interference with boating  and fishing activities.
   -  Reduced quality of water supplies.
   -  Reduced dissolved oxygen levels  can suffocate fish species.
   -  Reduction of waterfront property values.
   -  NO,  (Nitrates) can cause Infant  health  problems.
Metals
Urban Runoff
Mining
   Accumulates 1n bottom sediments,  posing  risk  to  bottom-feed ing
   organisms and their predators.
   Can bloaccumulate in animal  tissues.
   Can affect reproduction rates and life spans  of  aquatic species.
   Disrupts food chain of aquatic  environment.
   Can affect recreational and  commercial fishing.
   Can affect water supplies.
Bacteria
Agriculture
Urban Runoff
•   Introduction of pathogens—disease-bearing  organisms—to surface
    waters.
•   Reduced recreational  usage.
•   Increase in treatment costs  for  drinking  water.
•   Human health hazard.
Sulfates
Mining
•  Significant changes in acidity of streams.
0  Leaching of toxic metals fron soils  and  rock  surfaces.
•  Elevated levels of acidity and metals  can be  lethal to fish and eliminate
    entire aquatic communities.
•  Severely limits domestic and  industrial  water use.
                                                       1-11

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Show even  the
     s
                                                             national  profile  is
  problens have  been  identified  and summarized  varies  between  Stages.   Thus

                             th6  Stat6S  choose'  t£> rep°rt  make «  difficult to
                             c    this  report  represents  the best  information
         h   i  *  -H         Sever,al  States that ^viewed  the draft  report said
           e^2*dlKin°J accu™tely reflect the nonpoint source problem in their
                tab,1e  has  subse(luently  been updated  by EPA  Regional  offices-
  add       Ki;° ""Ji IT* afed t0 reVlew ?he results of the 305(
                    '             accurately reflect the nonpoint
 Other  individuals wrote  to help correct  information  derived  from  nationally
 summarized  data  sources  such  as  the  Department  of  Agriculture's  Resource
 SnnSe7^Kn  ^^^ Appraisal.   These  corrections provide  further  indica-
 tion  of the  inadequacy  of existing  national  data  sources.   Wisconsin   for
 example, informed  us  that animal  waste is  a  priority nonpoint  source of pollu-
 tion.   Again,  EPA  Regional  office  staff  reviewed tables  describina  StatP
          and  act1v1t1es  and updated  information  obtained  fr^basi'c9 sour cl
 COMPARING POINT AND NONPOINT SOURCES
 OF POLLUTION IS IMPORTANT TO DECISION-MAKING

 Decision-makers are interested  in  comparing  the pollutants generated by point
 ?Stifn£?J I  ^S°UrCeS-?u and  in  understanding  the water quality  impacts  asso-
 SSSl,  *     ?• ,ThelT.eason  for the  interest  is  the need  to  prioritize
 problems in  order to  achieve  the  most  cost-effective approach  for reach 1 no
 ^nnrf,qnfa1Vty  g^f'   ComPar1son  of Point  and  nonpoint  source  pSlu?1on  B
 actions               governments  and agencies  that  must  identify  priority


 Several  farctors make  universal  comparison  of point  and  nonpoint  sources  of
 pollution  difficult.    For  example,  in  many  instances,  point  and  nonpoint
 sources discharge  into and affect  different  water  bodies.  Other difficulties
 of  comparison  have  been discussed earlier.    Some of them  include differinq
Il??irC,?int : ltlol)s*  "n.cer!ain  knowledge of transport mechanisms,  and  technical
M£*£ »5J? deteminin9 Aether a particular  water  body is dominated  by
point or nonpoint  sources  of pollution or by  natural  conditions.
Decision-Making Must Have a Local  Basis

A determination of whether specific water quality problems  are caused by point
or nonpoint sources must be based on an assessment of an individual receivinq
water body   States need  to identify priority water bodies  and make determina-
tions of needed control measures for these waters by carefully analyzing water
                                    1-12

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quality problems  and  the  nature of the watershed.   In  many  cases, controlling
both  point and  nonpoint  sources  may  be  necessary  to achieve water  quality
objectives.   In  other instances,  point  source  discharges may  already  be  con-
trolled  to such  a degree  that  it  is more cost effective  to  control  pollutant
loads from nonpoint  sources.   In the  Lake  Erie  Basin, for example, implementa-
tion  of  point source controls has  already  resulted  in  high  levels of  phos-
phorus  removal,   and  additional increments  are now  being  sought through  the
control of agricultural nonpoint sources.

It  is difficult  to compare the impact of  point and nonpoint sources on  water
quality  at a  national  level.   The  Section 305(b)  reports  from the  States,
mentioned  above,  indicate  that nonpoint  sources  are  more  important  in  some
States than  in others.   Although  States  may  generalize that  nonpoint source
pollution  is  a  greater  or  lesser  problem  within  their borders, evaluation  of
relative  importance  for the  purpose  of determining  priority control measures
must  be  made  on  the basis  of a local  evaluation  that  pinpoints  specific
sources of pollutants.


Data Are Appearing that Make  Point/Nonpoint
Source Comparisons Possible on  a National  Level

Resources  for  the Future  (RFF) developed  a  national water transportion model
of  pollutant  loadings  (as opposed  to  water quality  impacts)  from  point  and
nonpoint  sources.  Comparison  of  loading data offers information for  under-
standing  the  relative amounts  of  pollutants generated by  point  and nonpoint
sources.   Of the  16  pollutants  analyzed by  RFF, 11  are discharged principally
by  nonpoint  sources  and   four  are discharged  principally by  point sources.
Table  1.4 displays  the  relative  national  percentage  of  pollutant loadings
generated  by  point sources and by nonpoint sources for 13 of the pollutants
included in the  RFF  study.

Nonpoint  sources  contribute  95%  of  the  average  daily loading  of sediment
(measured  as  TSS—total  suspended solids)  and 90%  of the  nitrogen loading.
Organic matter (measured  as BOD—biological  oxygen demand) and phosphorus  are
also more  likely  to be contributed by  nonpoint  sources  (roughly two-thirds  are
from nonpoint  sources).   It is likely  that  the dominance of nonpoint  sources
as  sources of nutrients  and  oxygen-demanding   materials  is  a  result of point
source control  measures  implemented  in recent years.[20]   In addition,  BOD
loadings also,reflect natural inputs  such  as debris  from  forests,  leaf  litter,
etc.

Figure 1.1 shows  the  State-by-State dominance of point  or nonpoint sources  for
three pollutants:  phosphorus,  lead,  and copper.   Although pollutant loadings
cannot  be  equated  with  water  quality  problems   (i.e.,  the  impact  of   the
pollutant  load  on the  particular  water body), these figures  further  support
the possibility that  certain  States may  experience  pollution  problems that  are
dominated  by nonpoint sources.   Climate, topography, soils, and the  nature of
water bodies  may  all play  a  role  in  this tendency.   In other States, it is
clear that a  mixture of  sources is  the rule,   and tradeoffs between point  and
nonpoint   sources  to  achieve  water   quality   goals  may  be  possible.    The
possibility of  such  tradeoffs, however,  can  only  be  evaluated  at  the local
level.
                                      1-13

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 TABLE  1.4  POINT AND NONPOINT SOURCE  CONTRIBUTIONS  OF  SPECIFIC  POLLUTANTS
                (AVERAGE  OF  STATES'  PERCENT  CONTRIBUTIONS)*
Pollutant
Chemical Oxygen Demand (COD)
Total Phosphorus
Total Kjeldahl Nitrogen
Oil
Fecal Col i form
Lead
Copper
Cadmium
Chromium
Zinc
Arsenic
Iron
Mercury
% from Point
Sources
30
34
10
30
10
43
59
84
50
30
95
5
98
% from Nonpoint
Sources
70
66
90
70
90
' 57,
41
16
50
70
5
95
2
*The data  presented in this  table  represent the average of  individual
 States' percent  contributions,  based  upon average daily loading   data
 for 50 States and the District of Columbia.


Source:  Preliminary data  developed  by Resources  for  the  Future  under
         contract with  US6S,  the National Oceanic  and  Atmospheric
         Administration, and EPA.
                                   1-14

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   FIGURE 1.1  RELATIVE CONTRIBUTIONS OF POINT AND NONPOINT SOURCE  LOADINGS
                                         BY STATE
                                                                       LEAD
                                                                       PHOSPHORUS
                                                                      COPPER
                                                                      Point source
                                                                      contribution 701 or more

                                                                      Nonpolnt source
                                                                      contribution 70S or more


                                                                      Neither category
                                                                      contributes 70 S or nore

Source:  Preliminary data developed by Resources for the Future under contract with USGS, National  Oceanic
        and Atmospheric Administration, and EPA.
                                            1-15

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HONPOINT SOURCES ARE DIFFICULT TO MANAGE

Despite  improvements  in our  knowledge and  understanding  of nonpoint  source
water  quality  problems, gaps  still  exist  that  complicate their"  management.
Some aspects  regarding  the extent and  magnitude  of the problem remain to be
clarified.    These  gaps   can  frustrate  the  control  of  nonpoint  sources.
Economic,  legal,  and  institutional*   problems  can  further  complicate  our
ability to manage nonpoint source pollution.


The First Challenge:  Defining a
Nonpoint Source Problea

As part  of  their water quality  planning  and management programs,  States are
identifying and  updating the  identification of priority water bodies.  After
this identification  process  is  complete, the  initial  challenge  faced by the
State water quality manager is to determine  whether or not  an  identified water
quality  problem  is  caused  by  nonpoint sources.    The manager's  ability to
define  a nonpoint  source  problem  is  made  more  difficult  by  the  following
factors:

     •  A certain portion of nonpoint source  runoff is  due to
        natural conditions"!   Separating  natural  background  condi-
        tions from nonpoint source pollution generated  by  people  is
        an  essential  step toward  determining  future management
        actions.

     •  It is difficult to segregate the impacts of point  and non-
        point sources.Both sources may contribute to a use  impair-
        ment  or  a criteria  violation.    Separating  the effects of
        each source is a complex technical issue.

     t  Baseline information is lacking.    State  water  quality
        programsRaveSeenhistorically  guided  by  point   source
        concerns.   As a result, both  the  numerical  criteria  that
        support water quality standards (and establish the  levels of
        a  particular  pollutant  that  support  or  fail  to  support
        designated uses) and  water  quality  monitoring  programs  are
        designed for  the low-flow conditions under  which the  impact
        of "point  sources  is  of greatest  concern.    Use  of  numerical
        water  quality  criteria may  not  be  appropriate  for   the
        management  of  nonpoint sources.    However,  alternative
        baseline approaches are  lacking and  there  is  a  general  lack
        of  monitoring  programs  oriented  toward nonpoint  source
        controls.
*For purposes  of  this  report, "institutional"  refers  to  the range of public
 and  private  entities  that  constitute  the  framework  through which  nonpoint
 source control programs are implemented.
                                      1-16

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Other Difficulties

Nonpoint  sources  are difficult to manage  for  various  other  reasons: physical,
historical,  and  institutional.    First,  it  is hard  to establish  cause-and-
effect  relationships  between  many  nonpoint  sources  and  particular  water
quality problems.  Nonpoint sources are  by  nature diffuse  and result from many
different  land  management   activities  within  a  watershed.    In  addition,
alterations  to the  landscape of a given  watershed may change  the  manner and
the  amount of water  moving  through  it.  Such hydrologic  changes add  to  the
difficulties  in pinpointing  sources  of  nonpoint pollutants.

Second, some streams  appear  to   have  been dominated  by nonpoint sources  for
virtually  as  long  as  there  are  records available.   The  Missouri  River,  for
example,  has  been  called  "The   Big  Muddy"  throughout  much  of our  nation's
history.   The carrying of eroded soil by  streams  is  a natural  phenomenon, and
in  some  cases a  reduction  of   loads   from  nonpoint  sources   may  result  in
increases  in naturally  generated sediments.   A related  problem is  the  fact
that the  sediment load within a  stream  absorbs some of that  stream's energy.
The removal of sediment  loads will  release energy  and  some  streams will seek a
new equilibrium by  taking  fresh  sediment loads from the streambank.  [21]

Third,  sediments  and other pollutants  released years ago and  stored  in water
bodies  may continue  to  act  as   sources  of water  contamination.    In  certain
water bodies,  for example, a significant  source of sediment may  be the sedi-
ment deposited during  previous storm events,  which  is  now  a  part of the stream
bed.  This sediment causes continuing  water  quality problems  and  complicates
the evaluation of the impact of  current activities generating  nonpoint source
pollutants.

Finally,  management  of  nonpoint sources  is  complicated   by   the  fact  that
decisions   on  appropriate management controls  must  be  made  on a site-specific
and  source-specific basis.   Chapter 2  provides extensive  discussion of  the
nature of  these control  measures.  The  complex nature of  pollutants generated
by  nonpoint   sources  means that  there  is no  single prescription  that  will
provide  an  answer   as   to  what   control actions  are  needed.    Site-specific
decisions  on  control  measures   are  made still  more  difficult by  political
elements.     To the  degree  that decisions  on  appropriate  nonpoint  source
controls  affect   the  manner  in   which  individuals  manage their lands,  these
decisions  can be very  controversial.


ECONOMIC BENEFITS CAN  BE ACHIEVED BY CONTROLLING
NONPOINT SOURCES OF POLLUTION

Significant  economic  benefits can  result from  effectively  managing  nonpoint
sources.   These  include onsite  net  benefits  to  the fanner  such as  reduced
tillage  costs (e.g.,  from  conservation  tillage)  or  increased  crop  yields
(e.g., from controlling  salinity  on  irrigated  croplands).  Offsite benefits  of
managing nonpoint sources  of pollution  can be  substantial  as well and  can  be
categorized  in  the  following  manner:    (1) protection  of  aquatic ecosystems,
(2) enhanced  recreational  opportunities,  (3)  protection of  water storage  and
navigation  facilities,  (4)  protection  of  commercial  fisheries,  (5)   reduced
flooding,  and  (6) reduced damage  to  water  conveyance and treatment facilities.
                                      1-17

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 Several   recent  studies  have  estimated  the  offsite   economic  benefits  of
 controlling nonpoint sources or the combination of point and nonpoint sources.
 The  direct and indirect economic benefits of maintaining current water quality
 and   reducing   future  (1988)  eutrophication  by  controlling  nonpoint  source
 pollution in Dillon  Reservoir (located  in  Suinnit  County,  Colorado)  are esti-
 mated to  be substantial.[22]  Property values for seasonal  residences adjacent
 to  St. Albans  Bay  on Lake  Champ!ain  in  Vermont have been  reduced  due  to the
 degradation in  water  quality caused  by  both point  and  nonpoint  sources.[23]
 It  is estimated  that significant  dredging  and spoil disposal  costs  could be
 saved in  Michigan as a result of managing cropland erosion.[24]


 Results are Possible

 The  fact  that nonpoint  sources  of pollution are difficult  to manage  does not
mean  that  control  is  hopeless.   Much has  been  learned  from research  in the
 last  decade.  It is now known which EMPs will work and which will  be  the most
 cost  effective  under specific conditions.   For  example,  while  control of sane
 nonpoint  sources,  such  as  urban  runoff,   can  present   technical  challenges,
 evidence  drawn  from Federally sponsored  demonstration projects  indicates that
many  types  of  nonpoint  sources of  pollution  can  be  controlled   cost
 effectively.

There  are  State and  local  programs  controlling  runoff  from  agricultural,
 silvicultural,  construction, and  urban areas which are  highly  effective (see
Chapter 3  for  a  more  complete  discussion).   EPA,  the  U.S.  Department  of
 Agriculture (USDA),  and  others  are   exploring  new management concepts  for
nonpoint  sources of  pollution which  are proving  to be  very   cost  effective
 (e.g., risk sharing,  trading  of pollution  control requirements between  point
and nonpoint sources,  and  conservation tillage).  Substantial cost  savings can
be obtained by managing nonpoint  sources rather than requiring further  point
source controls for achievement  of water  quality goals.

 In summary, a great deal more  is  known today about  controlling  nonpoint  source
pollution  than  was known  a few years ago.   While all   problems  are  not  yet
solved  or  even  identified,  initial   steps  can be  taken  by   the  States  to
determine if the management  of nonpoint sources  are warranted.
                                      1-18

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CHAPTER 1:   NOTES
 1.  U.S.  Census 1980.
 2.  Economic Report of the President,  Transmitted to Congress, February 1983,
     p. 164.
 3.  Aquatic Life Survey, Briefing Document,  U.S.  EPA,  Monitoring  and  Data
     Support Division,  June 1983.
 4.  National Accomplishments  in  Pollution  Control;   1970-1980 — Some Case
 5
 6.
 7
 8.
 9.
10.
     Histories, U.S.
     Unpublished data from US6S.
     North American Lake Management Society,  1983  State Lake Survey.
     National  Water Quality Inventory 1982  Report  to Congress,   Final   Draft,
     U.S.  EPA, Monitoring and Data Support  Division, December 1983.
     Unpublished reports from U.S. EPA Regions,  completed  in Spring 1983.
     Chesapeake Bay; A Framework  for Action,  U.S.  EPA, September 1983.
     Alfred M. Duda,  "Municipal Point  Source and  Agricultural Nonpoint Source
     Contributions to Coastal  Eutrophication,"  Water Resources Bulletin, Vol.
     18, No. 3, June 1982, pp. 397-407.
11.  Tennessee Valley Authority Environmental  Assessment:   Stream  Renovation
     Program, West  Eight County  Association  of  Soil Conservation Districts,
     State of Tennessee, September 1982.
12.  Water Quality and Urban Stormwater;   A Management Plan,   North  Carolina
     Department of  Natural  Resources and  Community  Development,  Division of
     Environmental Management.
13.  Coal Mining and  Water Quality;   The Effect of Coal  Mining on Water
     Quality in the Tennessee Valley Region, September 1980.
14.  Pennsylvania Section 305(b) Report.
15.  Montana Section 305(b) Report.
16.  Unpublished reports from U.S. EPA Regions.
17.  Ibid.
18.  Interview with Iowa State Official  in Chicago, Illinois,  October 1983.
19.  Groundwater Protection, U.S. EPA,  November 1980, p. 3.
20.  Preliminary  data  developed  by  Resources  for  the Future under  contract
     with USGS, National Oceanic and Atmospheric  Administration, and U.S. EPA.
                                     1-19

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21.  Dr. Edwin  H.  Clark, II,  and  Jennifer A.  Haverkamp,  Off-Farm Impacts of
     Soil Erosion, forthcoming publication from The Conservation Foundation.

22.  National Institute  for  Socioeconomic Research, Importance of Lake Dillon
     Water Quality to the Economy of Summit County, Colorado,PreparedTor
     Northwest Colorado Council of Governments, Boulder, Colorado, 1983.

23.  C.  Edwin  Young, Perceived Water Quality and the Value of Seasonal Homes.
     Economic Research Service, USDA, 1983.                                ~~

24.  Alfred Birch, Lazmen Sundretto, and Lawrence W. Libby, Toward Measurement
     of the Off-Site Benefits of Soil Conservation, Department of Agricultural
     Economics, Michigan state University, East Lansing Report #431, 1983.
                                     1-20

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                               CHAPTER 2


           Identification of High-Payoff Problem  Areas

                        and Expected Results
SKILLFUL TARGETING  LEADS
TO HIGH PAYOFF

In  the  preceding  chapter,  we discussed   in  general  terms what   is  known
nationally  about the water  quality  problems caused by  nonpoint  sources,  and
some  of  the difficulties  in managing these  sources.   Chapter 2  describes how
taking  a  well  aimed  approach  to  those problems  can  lead to high  payoff in
water quality improvements.   We often use the term  "targeting" in this discus-
sion  to refer to two components:  water quality and management.  Targeting for
water  quality  involves  identifying  the priority  water  bodies for  which  the
adoption of a  nonpoint source  control  strategy will  yield  significant water
quality  benefits.   Targeting  for  management means  selecting  those  abatement
activities  that will lead to  the greatest improvements for the least cost.

Once  a priority water  body  is  determined  to  have a nonppint-source-related
water quality problem,  a most  logical  and  effective  way  to  address nonpoint
source problems is  to devise  strategies for  control within the confines of the
surrounding  watersheds.   Then,  within  watersheds,  particular land  areas  and
activities  giving   rise  to   nonpoint  source pollution  can be identified  and
managed  for  control.    Narrowing  the  focus yet  again,  decisionmakers  must
analyze  the  feasibility  of  implementing   nonpoint  source control  measures.
Abatement techniques must be  selected that  are the most suitable and effective
for locations targeted  for  action.   The institutional  framework  through which
controls  are  to  be  implemented  must  be  identified  and,   in  some  cases,
designed.

This  chapter examines  both  the  water-related  component  and the  management
component  of developing  a  targeted  and  "high-payoff"  approach to  managing
nonpoint sources of pollutants.  Because all of the decisions in  this area  are
both  site-specific  and  source-specific,  much  of  this chapter  addresses  the
differing nature and  impacts of different  nonpoint  sources,  and the  kinds of
management  practices utilized to achieve water quality improvements.


TARGETING:   A NARROWER FOCUS  YIELDS RESULTS

The  problem  of  pollution  generated  by nonpoint  sources,  when viewed  from  a
nationwide  perspective, can  appear  overwhelming.   The sheer  size of  the  land.
area  involved,  the  vast number  of  activities that are  and may  contribute to
nonpoint source pollution, and  the institutional considerations that  come  into
play  in managing  sources  and  solutions  can   lead  to the  feeling  that  the
nonpoint  source pollution  problem  is  too  big  to   address.   However, as  was
pointed out in  Chapter  1, such is not the  case.   The  tools  and  knowledge  for
managing nonpoint source problems do exist.

What  is required is a narrowing of  focus  on the problem.  Recent  research  has
shown that, for many nonpoint source pollutants and affected  water bodies,  a
                                     2-1

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                         °Vh*t P°11ution load and water  quality problem comes
                  Portion of  the watershed.    Targeting  management  efforts  to
                  ?  "".^"r^ Pay  off.   Water  quality improvements  can  be
            by implementing  the most effective management practices on those kev
  land  areas.                                                                   J
 FOUR  BASIC  ELEMENTS  CREATE  EFFECTIVE TARGETING

 1-  Pinpoint those Water  Quality Problems 1n Priority
 Water Boaies that Are Caused  by  Nonpo-int "Sources -

 The State  water quality  agency  must first determine in which  of  its  priority
 water  bodies  are water quality  problems caused  by nonpoint  sources.    This
 determination  is  the first  step  in  targeting a State's strategy  for  nonooint
 source control   For a  variety of reasons (discussed in Chapter 1). it  can  Se
 difficult  to  determine  the  extent  to  which  nonpoint  sources degrade  water
 quality. ^ The- task  is  not  impossible,  but nonpoint-source-related  problems
 must  be  identified  carefully.   Statistical  and biological monitoring  proce-
 dures are  under development  for evaluating  nonpoint  source impacts  on  water



 2-   Rank Priority Water Bodies for Concentrated  Attention

 To  maximize the effectiveness of limited funds, it will probably  be necessary
 for States to  further narrow their focus on  non'point  source  management in  this
 second step.   Two important  considerations  will  be  addressed  at this ooint-
 the source of pollution (i.e., nonpoint, point, or natural  background sources
 of  pollution)  and the need  to prevent degradation of those water bodies  that
 are now clean,  but upon which planned  land management activities will  have an
 effect..  One  important  question  is  whether  the water body  has the potential
 for improvement if nonpoint  sources are controlled,  or  whether other  sources
 will  preclude such improvement.   Another  important  question concerns  whether
 new activities  in a watershed will  lead  to  deterioration  of water quality if
 not managed  properly.

 States  use  a  variety  of approaches  to establish  priorities   among  problem
 water  bodies.    In  general,  the  approaches chosen reflect a State's view not
 only  of  cr-itical  water values   and  public  trust  concerns,  but  also  of  how
 practicable  available  solutions  may  be  in  addressing  the nonpoint  soucce
 problem.   For  example,  the  State of Illinois establishes priorities  for  the
 control of  nonpoint  sources  by assessing  where  the affected  water resource is
 being  used and where  there is  a public trust  concern.  The highest priorities
 for  nonpoint  source  management  are  lakes  that  provide  water supplies  and
recreational opportunities.  Wisconsin's  water quality priorities are oriented
toward the  protection of  cold-water  fisheries and lakes used for  recreation
 Its  extensive  nonpoint  source water pollution  abatement  program  identifies
 priority  projects on  a  watershed  basis—the  natural  hydrologic  area within
which  nonpoint  source problems occur— and then  identifies  priority management
areas  within the  watershed— areas  within  the  watershed  containing the most
significant  sources.
                                     2-2

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3.  Identify the Key Nonpolnt Sources and Activities

A variety of land-use activities may be taking place within a given watershed.
Any one  of  these  may contribute  to  a water quality  problem.  A  key step  in
targeting appropriate  nonpoint  source  controls  is the  identification of the
critical land-use activities that are the source of the water quality  problem.


4.  Choose Best Management Practices

Either explicitly or  implicitly,  virtually  every State with a nonpoint source
control  program further  targets  its  efforts by emphasizing the implementation
of  the most cost-effective  "best management  practices"   (BMPs)  available  to
control  a  specific source.   BMPs are  those methods, measures,  or  practices
designed to  prevent  or  reduce pollution.   They include,  but  are  not  limited
to, structural  and nonstructural  controls and operation and maintenance proce-
dures.   They  are  often used  in varying combinations  to prevent  or  control
pollution from a  given  nonpoint  source.  One  example of a BMP for pollutants
generated by agricultural  practices  might  be management  of fertilizer appli-
cation  to   ensure that  no  more  fertilizer  is  applied  than  is  absolutely
necessary.

In practice, the  targeting  of  reasonably available BMPs sometimes affects the
selection of  priority  water  bodies.    For example,  although  water  quality
problems caused by acid drainage  from abandoned mines present some of  the most
severe problems in a number of States, high  cost and  feasibility of technology
have  limited the  BMPs for their  control.   Thus, these problems  often do not
receive  high priority:   energy  and  money  are  being  directed toward  problems
that have more straightforward solutions.


THE SELECTION OF BEST MANAGEMENT
PRACTICES INVOLVES KEY CHOICES

The basic approach taken  by the  Clean Water Act  for  managing point  sources—
that  is, the  application  of  uniform  technological   controls  to  classes   of
dischargers—is  not  appropriate  for  the   management   of nonpoint   sources.
Flexible, site-specific,  and  source-specific  decision-making  is  the key   to
effective control of  nonpoint sources.

Any given  category of  nonpoint   sources  of pollution--agriculture,  silvicul-
ture,  construction, etc.—is composed of a  variety of sources.  Many different
activities are associated with  each  type  of nonpoint  source.   In the  agricul-
tural  category,   for  example,  animal  waste  pollution  can  cone  from small,
confined  animal   feeding  areas;  barnyards; application   of  animal   waste   to
fields as fertilizer; or animal  grazing activities.   The first "site-specific"
question to  ask is:   "What  are  the major nonpoint sources affecting  the water
body?"   For  any  source  within  a  particular  category, a variety of BMPs may  be
available.   The selection of the  appropriate BMP or system of BMPs for any one
site will depend  upon a variety of factors,  including:

     •   Environmental Considerations—Cl imate,  nature of  the water
         body,natureofthe  aquifer  and  surrounding  strata  (if
         ground water  is  involved);
                                      2-3

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      t  Land Considerations—Soil s. slopes,  permeability  of  soils,
         depth to ground  water;

      •  Effectiveness—The portion of  the pollutants  of  concern  that
         can  be  expected  to be  effectively  managed  by the  selected
         practice;

      •  Economic Considerations—Cost   of the  BMP,   short-term   and
         long-termbenefitsana  costs to  the landowner,  size   and
         nature of the  land holding (and associated benefits  and  cost
         considerations),   and   cost  effectiveness  with   respect  to
         achieving water  quality goals.   (In  this  discussion,  cost
         effectiveness means -the  consideration   of  alternative
         approaches   and  selection  of  the  least-cost  approach  to
         control  or  mitigate  nonpoint source  pollution.); and

      •  Implementation  Considerations—Acceptability   of   the
         practice,  need   for  training  and  education,  need  for
         incentives, etc.

Effective  nonpoint  source  control  programs  select  BMPs that  are designed to
meet  specific  watershed and  site-specific  needs,  rather than applying a single
BMP to all "similar" nonpoint sources.


TIMING AFFECTS IMPLEMENTATION OF BMPS

The implementation  of  BMPs  takes time.  The  amount of time needed to implement
control  strategies  depends  upon  the  nature  of  the  BMP.    Even  the  simplest
BMPs—such  as  changing   crop  rotations   to  reduce  sediment   loads—require
reaching individuals with  education and  training.   Some  BMPs  may require the
phasing  out  of old  equipment and  the  purchase of new.  The speed  with  which
this takes place depends upon a number  of economic considerations.

Other  timing  issues  include  the  amount of time needed  for  adoption of regula-
tory  and/or  cost-sharing  programs.    In  urban  areas,  for  example, it may be
necessary to  develop and  adopt  construction  erosion  and  stormwater management
ordinances, a  process that may be quite time consuming.*


TARGETING STRATEGIES:  A SUMMARY

Targeting as  a means of achieving  relatively  high-payoff  returns  on  nonpoint
source control efforts  relies upon highly flexible approaches at  the State and
local   levels.   It requires both the willingness and  the capability:

     •  To identify  specific  areas  where  nonpoint  sources  are
        clearly the cause of water quality problems,  either alone or
        in  combination  with point sources;

     •  To  establish clear priorities   for  water  bodies and  stream
        segments with demonstrated  water quality problems;  and
                                     2-4

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     •  To  identify  site-specific  BMPs  or systems of BMPs that  will
        provide  the  most pollution  abatement  at the least  cost  and
        have the greatest likelihood  of  being  implemented.

Such an  approach makes  it  possible  to  focus  resources upon the  worst  and/or
most  solvable  problems  first.    Of course,   targeting  is  also  likely  to
highlight certain  unwelcome  realities:   for example, the conclusion  that seme
severe  water  quality  problems caused by nonpoint  sources  currently have  no
acceptable  BMPs that  can  reasonably be implemented  at  the  State  or  local
levels.   A  number  of States do not target water quality problems due to acid
mine drainage because  of the lack of practicably  available  solutions to these
problems.

Although  general  identification  of nonpoint  sources  and  associated  problems
can be  accomplished  at a national  level, the targeting of  critical  areas and
practices must  be  based  upon more  detailed  analysis  and evaluation done  at the
Regional  and State levels.   Those  specific water bodies that have been  brought
to public attention  for  nonpoint source control  (e.g.,  the  Chesapeake  Bay and
Lake Erie)  achieved  this status only after  extensive field  study and regional
identification  as  a  high priority  water  body.


INTRODUCTION TO THE  NONPOINT SOURCE CATEGORIES

The discussions that follow address five nonpoint source categories:

     a  Agriculture

     •  Silviculture

     t  Mining

     0  Construction,  and

     •  Urban Runoff.

The kinds of problems caused  by each activity  are  described,  as are some  of
the considerations  involved in selecting BMPs for their control.   Although  it
is  clear that  the  targeting   of   land  areas  and priority  water bodies  for
control of  pollutants  mobilized via nonpoint sources must  take place  at  a very
localized  level, policymakers  must have a  good grasp   of the  source-specific
concepts  related to  such targeting.
                                      2-5

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                         AGRICULTURAL  NONPOINT SOURCES
NATURE OF THE PROBLEM

Agriculture;  The Most Pervasive  Cause of
Nonpoint source .water quality  Problems'

As 1s  the  case with most  types  of non point  source  pollution, the  nature  and
extent of the  agricultural  nonpoint source problem  is directly  related  to  the
way in which the land is used.  The agricultural  sector  generally manages land
resources very  intensively.   Row  cropping,  for example, usually  involves  not
only  a good deal of land  disruption, but also  the application  of chemicals
such  as fertilizers  and  pesticides.   About 63% of the non-Federal land  in  the
United States  is  used  for  agricultural purposes, including  crop  and livestock
production.[l]   It  is  not  surprising, therefore, that agricultural  activities
constitute  the  most pervasive  cause  of  water  quality  problems  from  nonpoint
sources.   Indeed,  it is considered the most serious cause  in most  of the  EPA
Regions J2]    National   studies  suggest  that  agricultural  nonpoint  source
pollution adversely  affects  portions of over two- thirds of  the  nation's river
basins. T31

Nonpoint  source  pollution  from  agriculture  actually  has  several  different
sources with different associated  impacts.  These sources  are:
*
      •  Non irrigated  croplands,  both  row (e.g.,  corn and  soybeans)
        and field (e.g., wheat),

      a  Irrigated croplands,

      •  Animal production  on rangeland and pastureland,  and

      •  Livestock facilities.

This  range  of  sources  indicates that  the  agricultural nonpoint  source problem
is not only pervasive,  but also  multifaceted.   The primary pollutants  from
nonirrigated cropland  are  sediment,  nutrients, and  pesticides.   While  irri-
gated  farming  is  a source  of these  pollutants, too,  it  is  also the  major
agricultural source  of  polluting  salts and other minerals.   Runoff  from barp-
yards  and  feedlots  primarily  contributes nutrients, organic  matter,  ammonia,
fecal  bacteria, and  other microorganisms to receiving water bodies.    Over-
grazing of  range! ands and  pasture! ands often  contributes  sediment and  nutrient
pollution  through runoff.   The  related   surface disruption and  reduction  in
natural  cover  increases the credibility  of  these  lands.    Livestock grazing
freely along streambanks  compact  and  damage  them, thus  increasing erosion  and
sedimentation  problems.  Livestock  wastes also contribute  to stream pollution.
Sediment  froa Cropland  is  a  Major Potential  Cause of Water Pollution

The  most  obvious  cause  of  surface water  contamination  from  cropland  is
sediment, which  is  carried off eroding lands via  rainfall,  snownelt,  or  heavy
wind.   Research  suggests  that  25 to 40% of  the soil  that runs off a  field
                                       2-6

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 reaches a water body.U;!    Because  of  this disparity  between cross  erosion *n*
 sediment  delivery, calculated  erosion  rates  may not  te  diA7tly correlated

 ? vS W^T «"al1Vr£blefns-   A look at erosion rates, however, gives a re?a^

 problems    *          6 PartS  °f  the  C°Untry most  likel* to'hVe  sldSSt
annul
                        Inventories  conducted  by USDA in 1977 (to be updated  in

                        °St  °f the 41,3 m11l1on C™p1and acres are eroding at an
                fo    S  ^  aCre °r 1eSS<  H0**^.  about  68 million  acres are
   r            tonsrPfr acre P«r year» «nd 26 million acres have erosion rates
 exceeding 14  tons.rsi   As  a result,  it  has been  estimated  that 10%  of the

 and rill ^fS rlfi re!P°ns1bl,e ,for  ™  of •" U.S. soil  loss  due  to sheet
 nrnH.rrV-  erosi.on^6lu  F^we  2.1 provides,  for  each of the nation's  crop
 ESS « W  reg1ons«  the  Percentage of cropland eroding at  levels  exceeding 5
 tons per acre per  year.   The  actual  potential  for  sediment delivery deoends
 upon a sit£s soil  characteristics,  slope, climate, and  proximitv to surface
 waters.   The pollution  generated  is  also  directly  related   to  crop  Jype

 1nrtJSpP2«lCe/it'nd*?ther  faC^PS   t1ed  to  ma"i«"ent techniques.    for
 instance, wheat  cultivate generally produces less erosion than row  cropping
                  FIGURE 2.1  PERCENTAGE OF CROPLAND ON WHICH
                       THE RATE OF SHEET AND RILL  EROSION
                  EXCEEDS THE SOIL LOSS TOLERANCE  LEVEL (1977)
Sources:
         Sandra S.  Batie and  Robert G. Healy, editors, The Future of American
         Agriculture as  a Strategic Resource. The Conservation  Foundation,	
         iyou,  p.  so.


         Unpublished data from EPA, Water Planning Division.
                                    2-7

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The potential water quality Impacts caused by sediment are numerous.  Sedimen-
tation  directly affects  aquatic  habitat  and  spawning  areas  and indirectly
affects  temperature  and turbidity.   In  addition, chemicals  attached  to the
sediment—such  as  pesticides  and  nutrients—cause  other  water quality
problems.


Additional Problems are Caused by Nutrients. Pesticides, and Salts

Many  nutrients  ultimately  delivered  to  surface and ground  water result from
the excessive application  of  fertilizers or manure  to  cropland.   These  addi-
tives  contain  nitrogen, phosphorus,  and potassium.   Nitrogen and phosphorus
are the major contributors  to  the accelerated eutrophication of water bodies,
and  the former  may  cause  high  nitrate  levels in  ground water.   Cropland,
pasture!and, and range!and contribute over  6.8 million tons  of  nitrogen and
2.6 million  tons of phosphorus  to U.S. surface  waters  each year, accounting
for 68% of the  total  load^s of these  pollutants.r?]   The Corn  Belt (Illinois,
Indiana,  Iowa,   Missouri,   and  Ohio)  uses  39%  of  the  nation's  phosphorus
fertilizer and 32% of its nitrogen fertilizerJBJ

Pesticides are   usually  present  in  streams, rivers,  and  lakes  at  quite low
concentrations.  Delivery  of pesticides to  water  bodies varies,  depending on
crop  adsorption  rates,  the  propensity  of  the  chemical   toward  water  or
sediment-attached transport, rainfall,  slope, soil type, and the proximity of
the land to  a waterway.  Over  time, pesticide delivery  averages only about 5%
of  total  pesticides  applied;  however,  when more than an  inch  of  rainfall
occurs  within   one  week  of  pesticide  application,  delivery  rates  increase
substantially and may result in  fish  kills.T9]

The characteristics  of  pesticides  used in agricultural  production have  under-
gone  changes in  recent  years,  tending to reduce environmental  impacts.   Also,
application  requirements mandated  by  EPA regulations are designed to minimize
problems.  Newer pesticides  are  less  persistent in the  environment and  there-
fore  have  fewer long-term impacts, but  these pesticides are also more  likely
to be water  soluble.HOI  Thus,  water  (rather than sediment)  is the vehicle by
which  these  chemicals  enter  water bodies.   While  sediment  control  measures
also  control  runoff water, concern remains as to whether they  provide adequate
protection.   In addition,  toxic water-soluble  chemicals in  pesticides  may be
more  biologically available when freely  waterborne than  they are when bound to
sediment.   Thus, they  may cause  acute  short-term  surface  water impacts and
eventually have  serious effects  on ground water resources  through percolation.

Herbicides are  the  most commonly  used  pesticides.  In  1980, farmers  used 445
million  pounds  of  herbicides,  and 306 million  pounds  of insecticides.    Total
agricultural use of  pesticides in  1980 is estimated  at 846 million pounds—72%
of  the  total national   consumption?; 11],  and  this  usage  continues  to increase.
Projections  made in  1979  indicate  that by 1985  annual  use  will  reach 2.5
billion  pounds.fl21   Figure  2.2  provides  an  illustration  of the growth  in
American pesticide use.
                                       2-8

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         7t 9fi    farm^9. too.  is  a  source of sediment,  nutrients,  and pesti-
  nti   i    CaUS6S .S]?ecia1 agricultural  pollution  problems.    Salts  and
  other minerals are  carried  to water  courses by irrigation return flows and to
  ground water resources by percolation through soil  arKl  rock layers    The Soil
  Conservation Service  (SCS)  estimates that  half  of the 90 to  100  mil ion tons
  f A«M«el1v*ered  In!i!aJly  to streams 1s  frm •ar1cu1ture.[l3]   Th Is can make
  habitat andaniJ;Srtr1bUt1*0n  t0 Sa1inity   *>*«t™».  which  if feet, "
  naoitat and downstream water  users at  great cost.
        n              Jhofe  state*  «* which  control of  specific  agricultural
  nonpoint source pollutants  is a high  priority.
                     FIGURE 2.2  UNITED STATES PESTICIDE USAGE:
             TOTAL AND ESTIMATED AGRICULTURAL SECTOR SHARE (1964-1980)
   o
   to
      1200
      1000
      no
      «00-
      400-
      200
                                   70  71  72  73 .74   75   76   77  78  79  80
                                        ""•                 ••I^H

   Source:  Nonpoint Source Runoff:  Information Transfer System.  EPA  Office
           "of Water, July 1983, p.2.7.     "               	
Range!and  and Pasture!and Contribute to the Problem

Rangeland  and pastureland,  although  usually not  used  as  intensively as crop-
land, can  contribute  significant amounts  of  sediment and  nutrients  to water
?c ln«*  "Pecially where overgrazing is taking  place.   Sheet and rill erosion
«Ltho^ «?  exceed 3 tons per  acre  per year in some rangeland  in  western and
southern States    Wind erosion  in New Mexico and Texas exceeds 2 tons per acre
¥  JEiar.*[1/3 ,  Shallow S0lls  (themselves  often  the  result of erosion)  and
insufficient  plant cover are among the  factors that contribute most frequently
to erosion.   Erosion  rates  are  thus  closely correlated to the condition of this
                                     2-9

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             TABLE 2.1   PRIORITY AGRICULTURAL  POLLUTION  PROBLEMS BY STATE
ErvitoA/ lull F»dl*tt/
SiUnlty Nutr1mt> Srttacxmton FtrtllUfrl F*(t1cUt< AnlMl Witt
At ' • •
AC
A2 • • • •
A» • • • •
CA • • • « •
CO • • •
CT • •
DC • •


SA • •
 • • • • •
VI «
* Blank spaces do not necessarily indicate  the absence of a particular problem 1n a State; Instead, they may
  reflect Information in the two documents  used as the basis for this table, and the priority problems
  Identified  in then-.  High priority problems are denoted by " • ".


Sources:

1.  Implementation Status of State 208 Agricultural Programs. Draft, EPA, Water Planning Division, September 1980,
    Appendix A.!

2.  RCA Potential  Problem Area II Water Quality:  Problem  Statement and Objective Determination. USDA, July 1979,
    pp. 65-67.

3.  Unpublished information from EPA Regional personnel.
                                                   2-10

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 lands.   Management practices that maintain  or  improve  the  condition of range-
 and  pastureland  can  therefore  significantly reduce  the  erodibility  of  these
 lands.

 The  rates  of sheet and rill erosion are slightly lower on  pastureland than  on
 rang elands.   Rangeland  and  pastureland erosion  is  a problem  in many Midwest
 and  mid-Atlantic  States  and  in Arkansas,  Colorado, and New Mexico.[15]   In
 addition,  animal  production on  rangeland and pastureland results  in runoff  of
 animal  wastes, which  can seriously  deplete dissolved oxygen  in streams and
 lakes.

 Livestock  on American  farms and  ranches  produce roughly  1.8 billion metric
 tons  of wet manure  each year.    These solids  contain  about 7 million metric
 tons  of nitrogen, 1.7  million  metric  tons of  phosphorus,  and  318  million
metric  tons  of  potassium.[16]  This is a widely dispersed  problem nationally,
 with  sources  scattered  throughout  agricultural  areas.    Runoff  from  more
 contained  livestock areas  (e.g.,  from  feedlots  and  barnyards) contributes a
 great amount of nutrients, organic matter,  ammonia, fecal  bacteria,  and  other
microorganisms  that pollute  receiving water bodies.   The  National  Pollutant
Discharge Elimination  System  (NPDES) permit program regulates  only the
concentrated  feedlots  which are large  operations;  it  is  the small  operations
that  are  of concern  for  nonpoint  source  management.     In  addition,  NPDES
permits  regulate   only  the actual  animal   feedlot,  not the  disposal or  land
application  of animal  waste.   Thus,  the  disposal   of animal  waste from all
feedlots is  of concern to  nonpoint  source managers.

Table  2.2  summarizes  in  general  terms   the   distribution   of  agricultural
nonpoint problems  across  the nation.
   TABLE 2.2  GENERAL DISTRIBUTION OF AGRICULTURAL NONPOINT SOURCE PROBLEMS
 Agricultural Activity


 Cropland


 Rangeland


 Pastureland


 Irrigated Cropland
 Livestock Facilities
Location of Problem Areas
Widespread,  but  worst  problems   are   in  Delta
States, Southeast, Corn Belt, and  in Appalachia.

Problems  occur  in  the western half  of the  U.S.
Wind erosion mostly in New Mexico  and Texas.

Sheet  and  rill  erosion is worst  in  the Midwest
and mid-Atlantic States.

A problem primarily in the West.   The effects of
recent  increases in  irrigation  in the Southeast
have   not  been  documented.    Sediment  from
irrigated  croplands  is  a  problem  in   the
Northwest.                           *

Widespread across U.S., highest concentration in
the Midwest.
                                     2-11

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Socioeconomic Forces Affect the Agricultural
Nonpoint Source Problem
Agricultural  activities  are  changing  in  ways  that  are  important  to  -the
management of nonpoint  source  problems.   Economic  trends  have  resulted in:

     •  Conversion  of  pasture!and,  range!and,  and  forest  land  to
        cropland, which generates  more profit,  and

     •  Shifts  from  field   to  row  cropping  (e.g.,  from  wheat  to
        corn).

American  farmers  farmed 57  million more  acres  in  1980  than they  did  a decade
earlier,  an  increase of nearly 20%.[17]   In the Northern  Plains States, the
proportion  of row  crop acreage between  1974 and 1980  increased  from  23% to
32%.[18]

Both of these trends  are leading  to  increased total  soil  erosion  and a growing
amount  of sediment and other pollutants.   A recent study  of increasing crop
acreage  in  Georgia found that,  compared to  erosion  rates  on  the pasture and
range!ands  prior  to  conversion,  crop production increased  the sediment yield
by  between  18 and  35 times.l"19]   Dramatic  increases in  phosphorus, nitrogen,
and pesticides  in  runoff were also reported.  Research  has  also shown that row
cropping  produces  significantly  more sediment  than  non-row  cropping because
row crops provide  less  natural  cover to  shield  the  soil  from erosion-causing
rainfall.

Another  important trend is  the  consolidation of small  farms  into much  larger
ones,  often  absentee-owned  and/or  corporate-held.    Recent  research  on the
adoption  of  conservation tillage practices in an Iowa watershed found that the
probability  of  adoption was inversely related to the  size  of the farm opera-
tion. [20.]  This suggests that  the trend in  increasing farm  size  will present
difficulties  for  voluntary  programs  promoting  the  adoption  of  conservation
tillage.  The same study also found,  however,  that  increases  in  energy  prices
have the  effect of increasing  conservation  tillage  adoption rates, even with-
out encouragement from nonpoint source pollution policies.[21]


BEST MANAGEMENT PRACTICES FOR AGRICULTURE

The diversity of agricultural activities that result in nonpoint  source  pollu-
tion  requires  a  variety  of  control  techniques.    Table   A.I in  Appendix  A
provides  an example  of some agricultural BMPs, their  costs,  and  their  effec-
tiveness.   Some  of  these  may provide  immediate  benefits  to  the farmers who
adopt  them,  as  well  as  to the downstream  water  users and society at  large.
For example, careful  attention to the  frequency and timing of fertilizer and
pesticide use may  act  to reduce  both the amount of these  chemicals entering
water  bodies and  the  costs to  farmers in  terms  of the  amount  of chemicals
purchased.  Management  of quantity and timing of irrigation water can cut down
both  the runoff of salts and the  costs  to farmers of irrigation water.[22]  As
another  example,  in  the  mid-South  some  farmers   are  moving toward   double
cropping of  winter  wheat   and  no-till  soybeans.    This  BMP  provides  almost
continuous  soil cover  and  ah additional  crop for the farmer.[23]
                                      2-12

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 Other control  techniques may  yield  a  benefit  to the  farmer,  but short-term
 costs, in  some instances, may  interfere with  the  fanner's  ability  to adopt
 these practices.   Conservation  tillage practices are  a  series  of practices
 that retain  crop  residues on  the  land to  reduce  runoff of  sediment.   These
 practices  are   considered to  be  very  effective  and  of  direct  benefit  to
 fanners,  but may require specialized equipment and additional costs.

 Finally,  a number  of agriculturally related water quality problems can only be
 addressed by BMPs  beyond  the economic  self-interest  or means  of the farmer.
 For  example, reduction of some severe erosion problems may require terracing—
 a  costly technique that breaks  up  a  long slope  into a  series  of shorter ones
 and  reduces  erosion  by interrupting downhill water  flow.   Control  of animal
 waste problems  may require the fencing  of streambanks to keep out animals.


 SUMMARY:   REDUCTION OF AGRICULTURAL
 NONPOINT  SOURCE PROBLEMS IS ACHIEVABLE

 Although  agriculture  presents the  most pervasive  nonpoint  source  pollution
 problems,  the BMPs available  for addressing  agricultural  nonpoint sources  are
 generally well  known.   In  addition, many—but not all—of the problems in this
 nonpoint  source category  can be  ameliorated by adoption  of BMPs  within  the
 economic  self-interest  of  the  landowner  or  farmer.    In  fact,  management
 practices  designed to  stop  erosion—and the movement  of soil  and  associated
 pollutants  from the land—may increase  the  long-term  productivity of the land.

 Substantial  achievements in water quality can be made by  targeting  resources
 education,  and  training  programs to the land  areas  and  activities that are  the
 source  of  agriculturally  generated  pollution  problems.   Effective  delivery
 systems for many of  these programs are  already  in place  as  a result  of  the
 excellent  outreach agencies  developed  by  the  USDA.    The Experimental  Rural
 Clean  Water  Program,  for example,  has  demonstrated  the  effectiveness   of
 targeting  and training in a  number of  watersheds throughout  the  country  (see
 Chapter 3).   Barriers  to widespread adoption  of  agricultural  BMPs, in  general,
are  not  technical.   These barriers include:   educational ones  (farmers  lack
knowledge  about BMPs);  economic ones (adoption  of  certain BMPs is  beyond  the
farmer's economic  interest);  and  programmatic ones  (programs  that  specifically
address nonpoint sources and that  provide  technical  and financial  assistance
and/or an  appropriate  regulatory framework  are often lacking at the State and
local level-s).
                                     2-13

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                         SILVICULTURAL NONPOINT SOURCES
 NATURE  OF THE  PROBLEM

 The  smaller  area!  extent of forest management  activities, less intensive site
 preparation,  infrequent harvest, and  lower frequency of pesticide and nutrient
 applications  in a given year  all  result in silviculture  generating  a smaller
 volune  of  total  nonpoint  source  pollutants than  agriculture nationwide. [24]
 However, 38  States addressed  forestry impacts  in  their  water quality manage-
ment  plans,  and silvicultural  management activities  can  generate  major local-
 ized  nonpoint  source  pollution problems.

 One  factor  in  understanding the nature  of the silvicultural  nonpoint problem
 is  the  frequency  with  which  land  disturbance  takes place  and the  nature  of
 that disturbance.  The  time intervals  at which  forests  are cut is  an  important
 factor  in the  potential for nonpoint  source pollution.   Rotation  periods vary
 from  20 to more than 100 years  for different species of trees.  Thus, harvest
 sites  in  the  pulp and  paper  producing  areas  with shorter  (20-year)  cutting
cycles  have  more  frequent opportunities   for  contributing   nonpoint  source
pollution.

Silvicultural  activities  are   actually  comprised  of  a  number  of  different
operations,  each  of which has a different   potential   for   nonpoint  source
pollution.   These activities  include road  building, pesticide and  herbicide
application,  harvesting  and  logging  operations,  removal of  trees   from  the
harvesting site, and  preparation of the  site for  revegetation.  Poorly planned
 road  building  and  poorly  managed  site  preparation   activities  offer  the
greatest potential for  pollution impacts.   The likelihood of  such impacts  is
dependent upon such  factors as road   design, extent of  soil  disturbance,  and
time  required  until  cover  is  reestablished  (generally  2  to  5 years, and,  in
certain terrains substantially longer).

A mature forest may experience  extremely low  soil  erosion rates when  undis-
turbed  by  the  activities  of  people  (0.5  tons  per acre  per year or  less).
While average  erosion  rates from  carefully  managed  logging activities may  be
fairly  low (less  than  an additional ton per acre)  erosion rates  from 10 to  15
tons per acre  per  year  are  not uncommon.  Losses due to  intensive  site  prepa-
ration  (preparing  soil  for  replanting) can exceed  100  tons  per acre  per  year.
 [25, 26]

Nonpoint  source  impacts  on  water quality  from  silviculture depend  on the
characteristics of the  forest  land (e.g.,   soil  type and slope), on  climatic
conditions, and on the  type of  forest practices  and  the care  with which  they
are  undertaken.   As  is  the  case with agriculture,  sediment  is  the major
pollutant  by  volume  and,  as   was  discussed more   fully  under "Agricultural
Nonpoint Sources," the  soil  type,  slope, and climate markedly  alter  the  rates
of erosion and  sediment delivery to water  courses.  Although  fertilizers and
pesticides  have been  increasingly used  in  silviculture,  they are  typically
applied only  once or  twice during a  20- to 35-year period,  as  compared  to
annual agricultural appl ications.[27]
                                      2-14

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 In addition,  there  is  evidence that  forest chemical  application results  in
 little water degradation because chemicals are sprayed  relatively  infrequently
 in comparison to agricultural applications,  and delivery  rates  to  water bodies
 are low.[28]   In years for  which  data are  available,  less  than 1% of forest
 lands received  chemical  treatment  nationally.[29]   However,  there  is   still
 concern about  water  quality where  chemicals  are  aerially  sprayed  near the
 water course.   In  heavily drained watersheds, avoidance  of water courses may
 be particularly  difficult.[30]   Thus, while the  contribution of chemicals  to
 lakes and  streams  is  less  frequently a problem  for silviculture than  agricul-
 ture,  serious  pollution  problems  can  result  at  the  local  level  in certain
 instances.

 Other water quality  problems associated  with forestry practices include  slash
 or debris  from  forest operations  that  contribute  organic  matter  to   water
 bodies  and   water   temperature   alterations  resulting  from   removal  of the
 vegetation that shades water bodies.

 The significance of nonpoint source  pollution  from  silviculture  goes beyond
 the total  pollutant  load  contributed by  this   source.   Forested watersheds
 often  have the nation's highest quality waters.   These  areas are the source of
 many municipal  water supplies and are prized  for cold-water fisheries, aesthe-
 tics,  and  other values.[31]  Thus, maintenance and enhancement of these waters
 is  a major goal.

 When   not  properly  planned, constructed,   and  maintained,  roads,  drainage
 ditches,  and  road   cuts  expose  soil  to  erosion  for  long  periods of  time.
 Evidence   suggests  that as  much  as  60%  of  sediment  generation  comes  from
 roads.[32]  Improper road   location and construction  on  less  stable slopes can
 also  cause  landslides with  accompanying erosion  and  sediment  delivery.[33]
 Heavy  equipment  crossing  streams  without benefit  of culverts or  bridges can
 cause  a  loss of  stream  channel  integrity and, in  certain instances,  increase
 stream erosion.[34]

 As  with  agriculture,  there are  regional  variations  in  the types  of  nonpoint
 source water quality problems caused by silviculture.   In the Northwest,  some
 of  silviculture's  effects  on water  quality  can  be severe.   Characteristics
 like steep slopes,  unstable  and immature soils, and  high  rainfall  can lead to
 significant  silviculture-related problems.[35]  The Northeast  is  characterized
by  the production of hardwood timber usually managed  on an uneven-aged silvi-
cultural system designed to  regenerate the  more  valuable tree species.   The
terrain  is  relatively gentle,  but  new  road construction  will  affect water
quality  unless  precautions  are  taken.  Disturbance  from   site preparation  is
the major  issue  in  the Southeast,  where softwoods  harvested for pulp  and paper
are grown  with  shorter rotations.[36]  The fewest problems are  experienced  in
the Great  Lakes  States, where flat  terrain  and  rapid  revegetation assist  in
reducing the  effects  of site disturbance.[37]

Sane general  trends are also discernable  between  Regions.  In  the Northwest,
the level  of pollution from  timber operations may  not  increase as much as  in
other  areas  because  of  depletion  of  "old  growth"  timber  inventories   and
reliance on  existing access  roads to  harvest second and  third growth  stands.
Expanded activity is  expected in the Southeast.[38]   As silvicultural  activi-
ties intensify, there will  be greater use of  nonindustrial land,  and more  land
is likely to be put  into intensive production.  Figure 2.3 shows  the amount of
                                      2-15

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      FIGURE 2.3  DISTRIBUTION OF COMMERCIAL  FOREST LAND BY REGION
                                   (JANUARY 1, 1977)
                                    (In million tcres)
                                                                    South. Atlantic
                                                                   47.7"
  Source:   An Analysis of the Timber Situation In the United States 1952-2030.  Forest
           Service, USDA, December 1982, pp. 344-349.                   ~—
FIGURE 2.4   OWNERSHIP OF  COMMERCIAL FOREST LAND BY  REGION  (JANUARY  1, 1977)
       New  England
       Mid-Atlantic
       Lake
       Central
       South Atlantic
       East Gulf
       Central Gulf
       West Gulf
       Pacific Northwest
       Pacific Southwest
       Northern Rockies
       Southern Rockies
mZZZZZZ&ZZZ^^
                             10   20   30   40    50    60   70   80   90  100
                            Federal
                                       Other Public
                           Forest
                           Industry
| Finer ind
 Other Pr1v«te
      Source:  An Analysis of the Timber Situation in the United States 1952-2030.
              Forest Service, USDA, December  1982, pp. 344-349.
                                      2-16

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 commercial forest  land  in  major  timber growing regions.  Figure 2 4 shows  the
 percentages  of  ownership  of  conmerciaf  forest  land  in  each  region  of  the
 country.

 The future demand  for forest  and timber  products  is  subject  to debate.   Recent
 estimates by  the U.S.  Forest Service  predict  an  increase in demand of  32% by
 2030.[39]    Industry representatives  are  less  optimistic   and characterize
 growth potential as more moderate than Forest  Service estimates.[40]


 SILYICULTURAL BEST MANAGEMENT PRACTICES

 As  is  the case  with other  nonpoint sources,  no one  mitigation  approach is
 appropriate for  controlling  all  the  sediment  and other pollutants associated
 with silvicultural operations.  Anong the  individual site characteristics that
 determine the  effectiveness  of  a particular practice or  combination  of prac-
 tices are  slope, aspect, hydrology, elevation, weather patterns for  rain and
 snow, and  geological stability.   Each  site  requires  a  combination  of tech-
 niques best tailored to its particular characteristics.[41]  The types of BMPs
 that are likely to prove effective include:

      •  Better pre-harvest planning;

      •   Better planned  and constructed roads;

      •   Less  soil-disturbing  techniques for harvesting,  storage, and
         hauling procedures;

      •   Less  intensive  site preparation;

      •   New logging techniques (balloon,  high-lead, etc.);

      •   Revegetation  and closing  of roads after use; and

      t   Careful  application of fertilizers  and  pesticides.[42]

Although the  evidence  is  incomplete, less  intensive site preparation may  be
beneficial  at  certain locations.   Practices such  as chopping  (using a  bladed
roller),  instead  of shearing  and  windrowing, are not only  less costly  and less
disturbing, but  possibly may  increase timber yields through  soil  conservation.
Studies  show that less  intensive site preparation  can actually decrease  costs
up to $100 to  $400 per  acre and  increase  timber yields.[43]

Economies  of  scale  may  be problematic for  small tracts.  On  smaller acreages,
it may  be  difficult to  justify  use  of  certain  equipment  that  could  reduce
nonpoint  source  impacts.  Good information on  the sizes,  types, and reqional
distribution  of  forest  land  holdings  is   limited,  and  would   be  useful   in
identifying regionally  appropriate BMPs  and  in estimating  resource needs  for
various types of  program  efforts.  Table  A.2 in Appendix A shows  sane examples
of silviculture!  BMPs.
                                      2-17

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It is  estimated  that  there  are over 4 million  private  owners of forest  land.
As  detailed  in  Figure  2.4,   SBl  of  all  commercial  forest  land  is  held by
private owners.  Seventy-three  percent of this  is estimated to be  in  holdings
of 500 acres or  less, with an  average  size of about 70  acres.[44]


SUWARY:  METHODS FOR ADDRESSING SILYICULTURAL
NONPOINT SOURCES ARE VEIL UNDERSTOOD

Although  silvicultural   activities  do  not  appear to  cause  nonpoint  source
pollution problems  as  pervasive as those  caused  by  agriculture, or as  severe
as those  related to mining,  they can  still  lead to  localized  water quality
problems  in places where  they are  not  well managed.   Water quality impacts
associated  with  excessive erosion can  cause  use impairment.   The  main  nonpoint
source pollutants  fron  silvicultural  activities are sediment, chemicals  (from
pesticides  and herbicides),  and organic debris.   Principal sources are  roads,
logging activities, preparation of sites  for revegetation,  and aerial  spraying
of  pesticides.    Management practices to control these  pollutants  are  well
known and well understood.  Major implementation  concerns  are  institutional  in
nature.

As  in  agriculture, adoption  of some  BMPs will  be both within  the means  and
self-interest of the  owner  or  operator.   For  example, proper construction  of
logging roads intended  for  long-term  use  may  lower operation and  maintenance
costs.    In many  instances,   however,  adoption  of  BMPs  will  not be in  the
economic  self-interest  of the  operator.   Needs for specialized  equipment  may
put sane  BMPs  beyond  the means of  the small landowner or operator.   Finally,
certain  BMPs  may  be  unattractive because  they  result in  lost  timber  sales
(e.g., streambank management  zones  that leave  a buffer strip  in  both  sides of
the stream).

As we will  see in Chapter 3, in cases  where  the self-interest  of  the landowner
or operator has  not been  enough  to cause adoption of  BMPs, many  States  have
effectively encouraged   compliance  with  regulatory or  quasi-regulatory  pro-
grams.  In  other States,  educational and  training  programs  are used.
                                      2-18

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                             MINING NONPOINT SOURCES
 NATURE OF THE PROBLEM

 Mining cannot be viewed as  a homogeneous source of  nonpoint  pollution.  Many
 different minerals   are  mined,  each  with  its  own  set  of   nonpoint  source
 problems.  Coal  and metal mining are  the sources  discussed here, because both
 are  associated   with  serious water   quality  problems   in  large  geographic
 regions.  ,  '

 For the purposes of this  discussion, nonpoint sources of pollution from mining
 operations  are  considered  to be  those  sources  that are not  designated  as
 "point"  sources.   Mining  nonpoint sources  include  discharge  from  inactive
 mining operations,  as well   as  runoff  from  inactive road  networks and  old
 tailings  and  spoil  piles.   Although active mine* sites may pose  water quality
 problems, these  are  considered  to  be point source problems  and  are regulated
 under  State  and  Federal  National  Pollutant  Discharge  Elimination  System
 (NPDES) permits.  In addition, the  Surface Mining  Control  and Reclamation Act
 (SMCRA)  of 1977  includes requirements  for collection of runoff  from  active
 coal  mines  and  treatment  of  such runoff  to meet point  source  discharge
 requirements*.

 The main  nonpoint source  problems at mining sites  are:

      0 Runoff   of  sediment   from  haul  roads  at  both  active  and
        inactive mine sites;

      •  Drainage of  pollutants including acid, sediment,  salts,  and
        metals from  inactive mines;  and

      • Drainage and  leachate containing acid, metals, and sediment
        from  the spoil and  tailings piles generated   both  by  active
        and inactive  mines.


 Sediments. Acids .and Heavy  Metals Are the Pollutants
 of Concern fro«  Mining  Nonpoint Sources

 Although  mining  is not  as widespread as agriculture,  the water  quality effects
 resulting  from  mining  are  normally much more harmful.    Sedimentation rates
 from  mining can  be  extraordinarily  high.  Furthermore, whole  streams may be
biologically  dead  as a result of acid  mine  drainage.  Other  pollutants with
potentially serious effects  include  heavy metals and  radioactive  materials.
*Active  coal  mining  sites  and  associated  haul  roads  may  continue  to cause
 runoff-related  water  quality  problems  if,  although  required  by  law,  all
 runoff  is  not  collected and  treated  due to delays or  technical  problems  in
 implementing SMCRA  or NPDES  requirements.   These  problems  are not addressed
 in this  report because  the  regulatory mechanisms are  those associated with
 point source controls.
                                       2-19

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For  mining, as for  agriculture and silviculture, erosion  and  delivery of the
resulting  sediment  to  surface  waters  is a recurring  problem.   Because mining
operations  expose large  areas  of soil and rock  to  the  elements,  the erosion
potential  is  great.   Erosion  ars  sedimentation are  associated  with  almost
every  abandoned  surface coal mine.[45]  Haul  roads are a significant source of
sediment at  both  active and abandoned  mining  sites.   In Kentucky, for example,
erosion  from  abandoned  coal   roads,  which  average  65  feet  wide,  has  been
measured at  between 2,000  and  4,000 tons  per  mile per year, depending on soil
type.[46]   Spoil  and tailings  piles are also easily  eroded  and  contribute to
sediment loadings.  Most mineral  extraction  involves  grinding  the  ore down to
200 to 300  mesh  size; thus, mill  tailings  usually consist  of fine  dust in the
50  to 74 micron  range that is  easily  eroded  by water and  wind  processes and
transported  directly or indirectly  into water courses.[47]

Other  pollutants  associated with mining operations can  have even more serious
water  quality  impacts than those associated with sediment.  Acid drainage, for
example, is  associated with runoff from surface  coal mines and drainage from
deep  coal  mines[48]  and  a  variety  of noncoal mines,  as well  as  runoff  from
spoil  and   tailings  piles.    Acid  drainage  results  when  sulfide-containing
materials  are  disturbed  and  exposed to oxygen  in the presence  of water.[49]
Acid  water can  devastate  stream  populations.   Highly   acidic  water  inhibits
fish spawning, enhances the availability of toxic metals, and is an unsuitable
habitat  for many  of the organisms  upon  which fish and  other  aquatic species
depend.

Desirable metals  such as  gold, silver, copper, and vanadium are often found in
conjunction  with  unrecoverable  quantities of   heavy  metals,  such  as  lead,
arsenic, zinc, cadmium, mercury,  and  cobalt.   When  the desirable  metals are
separated  from these  heavy metals, the  resulting waste piles  are  subject to
erosion and  acid  leaching with  subsequent  delivery of waste metals to surface
waters.

Mining activities  can degrade ground water as  well.   Mine shafts and prospect-
ing wells driven  into underground strata provide pathways for contamination of
aquifers that  were  previously protected   by  impermeable  layers  of  rock  and
soil.[50]   The destruction  of  geologic formations and  the  impact  of precipi-
tation  on   mine  shafts  releases  minerals into  ground  water  from  both  the
bedrock and  the  mine  shaft.   Although mining has frequently been  reported to
cause  water  quantity problems  by  lowering  water tables, the extent of ground
water pollution  impacts from mining is unknown.

Table  2.3  shows  the amount  of  land disturbed  by  surface mining  activities in
1977.    Although  this  does  not   present  a  full picture  of  mining-related
activities,  it does give an  indication of the distribution  of surface mining
problems.
Nonpoint Source  lapacts froa Metal Mines
Occur 1n the West
Water quality  problems associated with mining  are  found in many  parts  of  the
country.   In the  West,  water quality impacts  from metal  and uranium mining  are
more serious than those from other types of mining.  Although  a  great  deal  of
coal mining is taking  place, much of it began  recently  and is  subject to NPDES
                                      2-20

-------
      TABLE 2.3   ACRES  OF  LAND DISTURBED  BY  SURFACE MINING (JULY  1,  1977)'



Land Needlnq
Declamation not required by any taw
State
AL
Alt'*
AZ»«
•R
CA
CARIB."
CO
CT"
D£*«
FL
SA
HI
ID
II
IN
IA
KS
KY
LA*»
ME
W
HA«*
HI
W
KS
HO
MT
Coal Mines
72.29?
2,700
«nn
5.623
I"
n
7,n*o
n
n
n
l,6nn
n
0
iifi,7ii
75.KR2
13.997
41.2S6
101,*37
n
n
6.412
n
147
A
n
70.6*1
1.955
Sand and
Rravel
IMH
4.3no
M"0
21.4R3
7.070
2,550
R.334
1S.740
2,012
11.1*7
3.313
15
5.100
70,330
11,«75
10.147
ll.isn
9«0
37.324
2R.B33
7,430
32.041
3«,424
30.047
45,066
4,473
4.R55
Other Mined
Areas
19,929
4 ,000
60,900
11.470
R0.99R
1,000
I5,«l
7R7
K3
235.700
74,008
US
1.500
14.10?
«,S2?
6.421
10.159
4.712
2,540
2.075
1.1R1
10.330
73.422
44. MI
7.H21
7R.1B7
18.340
Reclamation


Peclamatlen required by law
Sand and Other Mined
Coal Mines Crave! Areas
34.H07
0
0
2.MS9
soo
0
1,195
0
0
0
764
0
0
40.R99
74.5HI
341
ftlS
154,216
0
0
5.703
0 '
0
0
0
H.772
4,766
5.498
0
0
20
17.642
0
11,672
0
0
3,3«
4.623
n
1R.200
R.582
4.176
R.4S7
3.634
2,299
0
2,293
9.741
0
15.662
12.444
0
1.046
4.492
6,252
0
0
1.592
51.316
0
6.513
0
0
20.922
13.772
0
3.500
4,557
1.894
9.638
3.978
2,780
0
923
1.734
0
4,072
7.891
0
6,055
6.598
Land Not
Need Ing
Reclamation
85.673
4,000
121.800
9.449
59,061
.710
14,023
4.590
1.498
61.266
23.247
0
2.500
88,860
64,711
10,519
20,117
154.495
10,467
6,794
19,824
11.750
27,600
66,919
14.415
22.051
12.528
Total Land
Disturbed
241.062
15.000
189.500
52.505
217,497
4.260
64,687
22.117
4,473
332,415
71.447
130
30,800
296.131
189.641
59.520
91.109
421.121
50.340
40.918
52.025
54.121
110.322
162.102
6H.202
141.272
53.334
•Based on Information from Soil Conservation Service State offices.
••No state law when survey completed; therefore, no reclamation required by law.
                                             2-21

-------
                            TABLE 2.3   ACRES  OF  LAND  DISTURBED
                      BY  SURFACE MINING  (JULY  1,1977)  (CONTINUED)
Land Needing Reclamation
State
N£«
NY»"
NH
NJ«
NH
NT
NC
NO
OH
OK
OR
FA
RI-
SC
SO
TM
TX
irr
VT
VA
VA
uv
VI
VY
Total
Reclamation net required
Sand and
Coal Mines Sravel
0
0
0
n
?2
0
0
l.osn
196,709
36.118
0
240.000
n
0
8on
29.583
3.310
635
0
23,724
49
84,R6ft
0
9,657
1, 097,081"
17,696
1,221
12,725
74, Mf)
11,860
30.917
11,908
2,010
22,621
6.659
3.521
11.000
2.W
9.065
10.153
4.«so
1S7.4S7
3.099
3.877
3,788
9,701
4.«4
41,607
3.673
799.042
by any law
Other Mined
Areas
4,029
2.555
417
5.570
1.806
19,251
4,792
200
18,923
14.105
17.568
20.SOO
0
2.128
S.»9
2,305
37.104
4.414
2.078
1,251
8.174
995
7.555
12.376
830.407
Land Not
Total Land
needing Disturbed
Reclamation required by law Reclamation
Sand and Other Mined
Coal Mines (ravel Areas
0
0
0
0
3.709
0
0
(.725
77,050
6.298
3
(0.000
0
0
0
3.127
3.725
133
0
8,222
1.190
7.658.
0
62.028
570.088
0
0
0
0
1,057
15.979
7.096
0
16.659
2.766
6.814
15.000
0
4.395
6.826
810
6.289
4.637
377
3.929
11.822
0
11.884
7.665
257.851
0
0
0
0
26.072
5.037
3.909
0
8.427
4.110
1.538
25,000
0
3,194
695
1.135
4.989
10.216
60
2.003
1.073
0
2.865
12.787
267.097
11.005
1.953
547
8.263
2.207
18.477
7.000
38,595
190.578
16.255
7.387
250.000
3.470
9.815
7.149
104,596
48,456
7,521
1.536
70.060
10.245
137.105
21.605
5.511
1.898.203
33,003
5.729
13.M9
38.443
46.733
89.661
34,705
48,580
530.967
86.311
36.831
621,500
6,062
28.597
30.972
146.506
256.330
31.555
7.928
112.977
42.253
235.180
85.516
113.697
5.719.776
**No state law when survey conpleted; therefore, no reclamation required bjr law.

Source:  Soil and Water Resources Conservation Act 1980 Appraisal, fart I. Soil
        States;  Status, Conditions, and Trends (EC*). USOA. 1981. pp. 181-1BZ.
Mater, and Related Resources 1n the United
                                               2-22

-------
 permit  requirements and  reclamation  requirements  under SMCRA.[51]   Abandoned
 coal  mine  sites  are  also not  a significant  concern in  the  West.   Noncoal
 mining  is  the primary concern; it has been estimated  that  SOS  of water pollu-
 tion  from  inactive noncoal mines occurs  in four  areas:   Colorado, California,
 Idaho/Montana, and  Missouri .[52]   The  impact  of  nonpoint  source  pollution
 caused  by  mining  in  the West  is  increased  by  the  scarcity  of  surface  and
 ground  water resources.

 Noncoal  mining activities  that  generate heavy metal  contaminants  are  second
 only  to  municipal treatment facilities as a  source  of toxics  in  water courses
 within  EPA's  Region 8  (consisting  of  Colorado,  Montana, North  Dakota,  South
 Dakota,  Utah, and Wyoming).   Several  streams  in Colorado  have very high levels
 of  copper, zinc, and  arsenic.[53]   Contamination  of  water with  heavy metals
 and other  hazardous pollutants  is viewed as  an emerging problem in  the  West,
 due  to  the  expansion  of  municipalities  and  the  need  for   more  water  for
 domestic  use;  continued  development  will  inevitably  bring  more  people  into
 contact  with  contaminated water  in  what  have  heretofore been  remote areas.[54]


Acid Drainage from  Coal Mines  Occurs  In the East  and Midwest

The mid-Atlantic and  Appalachian regions  are severely  affected by  drainage
 from  abandoned   and  inactive  coal  mines.    EPA's Region 3  (consisting  of
 Pennsylvania, Maryland, Delaware, Virginia, West  Virginia,  and  the District of
 Columbia)  reports  that  49% of   its  streams—more   than  3,000  stream  miles-
 suffer  severe water quality problems  caused  by  acid mine drainage.[55]  Two-
thirds  of  these  problem  streams are  in western  Pennsylvania  [56], with  the
remainder  in  West Virginia,  parts of  southwest Virginia,  and western  Maryland.
Underground  coal mining   is  not as  widespread  in  the  Midwest  (or  interior
regions) as  in the  East.   Abandoned coal mine lands are  only  a  small  percen-
tage of  the  total land  area, and  water  pollution  problems are generally  not  as
extensive  in the Midwest  as  those in  the  East.    Nonetheless, drainage from
 coal mines  does  affect  waterways  in  the  Midwest, and  is considered  to  be
serious where it  occurs.


MINING BEST MANAGEMENT PRACTICES

Despite  the fact that  nonpoint   source  impacts  from  inactive  mines  are well
understood,  it  is difficult  to develop feasible control strategies because  of
the high cost'of control  measures,  limited  success  of control  techniques,  and
complexity of  enforcement.[57] Techniques  for control of mine  runoff  include:

     t  Sealing  of  abandoned  mines  to minimize  oxygen  contact  and
        reduce acid  formation, thus reducing  contamination  of
        drainage;

     •   Revegetation  of eroding   surfaces (which  itself is  inexpen-
        sive  but  often   requires regrading  of   the mine  site  and
        replacement of top soil);

     t  Mixing  of fine and coarse materials  to  help stabilize  mill
        tailings;
                                      2-23

-------
     •  Addition  of hypochlorite  to  gold tailings  piles  to  render
        their cyanide  component  harmless;

     •  Alkaline  treatment  of uranium  wastes  to  reduce  their
        solubility;

     t  Compounding  of  highly   hazardous  material  with  asphalt  or
        concrete  or  capping with  clay  to provide permanent storage
        and reduce  leachate contamination;

     •  Removal of waste materials  from  streams  and gulches  that are
        subject to washing, and  placement  of these wastes  on higher,
        impervious ground;  and

     0  Containment  of leached  materials within ditches, dikes, and
        impoundments where hydro logic conditions permit.

Although  many of the  management  issues  are similar, there  are  significant
differences  in  the  technical  and  cost  considerations associated  with
installing  BMPs  on  different kinds  of  mining sites.  In  all  cases,  the most
effective control of nonpoint source pollution  from mining  sites is prevention
by proper planning of  the site  as  it begins  operation.

Abandoned  underground .mines   pose  some of the most challenging  control
problems.   When mines  were  constructed  below the water  table  and  mine shafts
were used for  access,  they  were often reinforced with brick or stone linings.
These shafts are  resistant  to natural closure by weathering  and infilling, and
are  difficult  to seal.[58]   In fact,  BMPs  calling  for sealing of  mines (to
prevent  oxygen  contact) and  for alleviation of subsurface drainage problems
are  not only  expensive, but  have met  with little  success;  their  technical
validity  is currently considered  questionable  and   plugs so  emplaced  often
leak.   The  expert  consensus  is that such techniques generally require long-
term (if not perpetual)  maintenance, and that research and  development efforts
would be  useful  in developing  effective technologies  for  abatement  of pollu-
tion from underground  mines .[59]

Abandoned surface coal mines pose  a different  challenge.   Sedimentation  and
acid mine  drainage result  from road construction,  removal  of the overburden
(the rock  overlying the coal), topography,  and the  mining  activity itself.
BMPs  involve  a  variety of  land treatment  techniques such as  regrading  and
revegetating"  spoil  and refuse,  in  combination  with  neutralization to control
mine acid.   Removal  and burial  or  reprocessing of  spoil  and refuse banks  can
also alleviate mine  drainage, as can covering toxic  "spoils" with impermeable
clay or capping  them with  synthetic material.   A relatively recent innovation
is  the  use  of anionic  detergent  to  control  the  bacteria that  aid  in  the
oxidation of pyrites.[60]

Reclamation practices  for surface  metal  mining  are  diverse and must be chosen
on  the  basis of  the  environment  in which  the  mining is  done,  the physical
nature  of the mining  operation   (e.g.,  the use of quarries  and large open  pit
mines), and the climate.[61]  The ability  to  reclaim the mine and  return it to
its  natural state may be severely  limited.   Most  commonly, little overburden
accompanies  minerals that  are  excavated  from flat-lying  deposits. [61]
Restoring the land to  its original  contour where massive ore bodies  have been
                                      2-24

-------
mined  could  require  expenditures roughly  equal  to  the  costs of  mining.[62]
Location  of  metal   mining   in  the  arid  West  further  inhibits  revegetation
possibilities.

 »
SUMMARY:  ABANDONED  MINE  PROBLEMS CONTINUE TO PRESENT
SERIOUS WATER QUALITY CONCERNS

Mining-related  nonpoint  source  water quality problems are found  in many parts
of  the country.   Because mining activities are  typically  concentrated  in  a
limited area, water  quality  impacts  are also localized in nature.   Where they
occur, however, the  resulting impact can be quite  serious.

Techniques  for  controlling  pollution  from operating mines  are widely  avail-
able.  Proper site planning  of  a  new mining operation is  the  key  to preventing
pollution, and  is  required  by SMCRA for all  new mines.   In  many parts  of  the
country,  however,   it  is  the  inactive  and  abandoned  mines,  the  design  and
operation  of which  were  completed  a  number  of years ago,  that pose  serious
water quality problems.

Techniques  are  available  for  solving  many  of  the water  quality  problems
associated with  surface  mining.   In some   instances, significant  costs  may be
associated  with  regrading  land  areas  and  adding  topspil  for  revegetation in
abandoned mines  where improper  planning for reclamation makes  after-the-fact
problem solving difficult.   Correction of drainage problems  from deep mines is
both more  technically difficult  and more  costly.    In addition,  correction of
these  drainage  problems may  not  last,  and  will  usually  require  long-term
monitoring and maintenance.

Although  techniques  are available  to  address many abandoned  surface  mine
problems,  institutional   issues  and  costs continue  to  present  barriers  to
effective  control.   Mine   owners   are  sometimes   reluctant   to  cap  or  bury
tailings  piles,  and  to  take other  steps   that might make  future  recovery  of
mineral values more  difficult.    Furthermore, ownership and responsibility  for
abandoned mines is often  difficult or  impossible  to establish.
                                      2-25

-------

-------
                          CONSTRUCTION NONPOINT SOURCES
NATURE  OF THE PROBLEM

On  a national basis, the  water  quality degradation caused by  nonpoint source
pollution  from construction  activities is not  nearly  as great  as  the anount
caused  by other  major  nonpoint  sources.   Sediment  is  the main  construction
site  pollutant, but  it  represents only  about  4 to 5% of  nationwide  sediment
loads in receiving  waters.[63]

Where construction  activities are intensive,  however,  the localized  impacts on
water quality may be severe because of the high  unit  loads involved.   Erosion
rates from  construction sites  typically  are  10 to 20  times  that of  agricul-
tural lands,  and  runoff  rates  can be  as high  as 100 times that  of agricultural
lands.[64]  Thus, even  a  small  amount  of construction may have  a  significant
negative impact on  water quality in  localized areas.

Construction  site erosion  rates are highly variable because site characteris-
tics are  many and  varied.   Climate,  soil type, slope,  and  the type  of  con-
struction activity  conducted  are all  involved.   The characteristics  associated
with severe erosion problems  can occur  locally  anywhere  in  the  country.

Construction  sites  also  generate pollutants other than  sediment, including:

     •  Chemicals from  fertilizer,  such as phosphorus,  nitrogen,  and
        other  nutrients, that can be attached to sediment  particles
        or dissolved  in  solution;

     •  Pesticides,  used  to  control  weeds  and  insect  pests   at
        construction  sites;

     •  Petroleum  products  and construction  chemicals,  such as
        cleaning  solvents,  paints,  asphalt, acids,  and salts; and

     •  Solid  wastes, ranging  from  coffee cups  to  trees and   other
        debris left at  construction sites.

Pesticides,  petroleum products,  and  construction  chemicals  can be toxic  to
aquatic organisms  and  seriously impair their  fitness  for  human consumption.
These pollutants  can also degrade the water  itself,  impairing its  use  for
drinking and water-contact  recreation.

Projections by the  U.S. Census  Bureau  indicate  that population  is growing most
rapidly in the South  Atlantic,  South Central, and Southwest areas.   Typically,
these areas do not  have State  erosion control programs and, thus, construction
erosion  problems might  be  anticipated.   Figure 2.5 shows the regional  distri-
bution of construction site  sediment  loss  in  the United  States.  In 1979,  the
U.S. Soil Conservation  Service reported that 60% of  the nationwide construc-
tion site erosion occurs in  ten  States, as shown  in Figure 2.6.  These  figures
are likely to  change  if growth  patterns shift.
                                      2-26

-------
    FIGURE  2.5   REGIONAL DISTRIBUTION  OF  CONSTRUCTION SITE SEDIMENT LOSS
Renions Tons of Erosion Percentage
69 °ns (in thousands) of Total
Northeast (14 States)
Southeast (12 States, Puerto
Rico, Virgin Islands)
Midwest (12 States)
West (12 States)
Total
9,798
49,473
13,679
6,990
79,940

g^

^^^^^^^^^^^

§§^^

^

10 20 30 40 50 60
Source:  Nonpoint Source Runoff:  Information Transfer System. EPA, Office
          ~ Water, July 1983.
of
                FIGURE 2.6  EROSION FROM CONSTRUCTION  SITES
-. . Tons of Erosion Percent of
(in thousands) National Total
Alabama
North Carolina*
Louisiana
Oklahoma
Georgia*
Texas
Tennessee
Pennsylvania*
Ohio*
Kentucky
Total
13,653
6,674
5,071
4,231
3,817
3,528
3,280
3,126
3,004
2,970
49,354

^^^^^^^^^^^^^^^^^^^^^^^
VMMUM%$MM%

^^^i^i^^j

^^^^^^^^^

%%%%%ffi%%%t

%%%%%%%%&

W%ffi%%%%

^^^^

%%%%%%$>

%%%$$$jh

2 4 6 8 10 12 14 16
*States with erosion and sediment control laws in effect.
Source: Nonpoint Source Runoff: Information Transfer System, EPA, Office
                                  2-27

-------
It  is  estimated  that  a  total  of  1.6 million  acres  of  land  are  disturbed
annually by  construction  activities,  with highway and other heavy  development
accounting  for  the  vast  majority  of  this   acreage,  and  urban  residential
housing  (84,000 acres)  and  urban  nonresidential development  (79,000  acres)
representing  the  remainder.[65]  However,  fewer and  fewer new highway  miles
are being  and will be  constructed  as  highway  reconstruction  and  maintenance
are now being emphasized.[66]  The  latter activities  still  cause  some nonpoint
source problems, but they are somewhat  less  severe than the problems  caused  by
new highway  construction.   The effectiveness  of highway  construction  erosion
control is likely  to  reflect  the  availability of resources  and varying levels
of sensitivity  to  the problem in different  States.


BEST MANAGEMENT PRACTICES
FOR CONTROLLING CONSTRUCTION EROSION

Solutions  to construction  nonpoint  source  problems  are  well  developed  and
understood.   The  various  control  alternatives  involve  protecting  disturbed
areas  from rainfall  and  from flowing  runoff  water,  dissipating the  energy  of
the  runoff,   trapping  sediment  that  is  being  transported,  and  using  good
housekeeping  practices  to  prevent  potential  pollutants   other  than  sediment
from being transported  by runoff.[67]   It  is particularly  prudent  to  control
this type  of nonpoint  source  problem  at  the  source--preventing  pollution  at
each construction  site—rather  than trying  to clean  up receiving waters  after
they have been  damaged.   Proper planning  to  control  construction  site erosion,
therefore, is crucial to the control  process.

Each  construction  project  should  be  planned  with  surface and  ground  water
drainage  problems  in mind,  avoiding  critical  areas  on  and  adjacent to  the
site,  and  minimizing  effects on  natural drainage  systems.[68]   In  addition,
site planning means  scheduling  construction activities at  the proper  time  and
using  phased  construction  stages  that  minimize the  amount  and duration  of soil
exposure.  Figure  2.7 compares the  sediment  loads from  well  planned and poorly
planned  developments.    This   figure  shows   that,   although  a  well  planned
development  results  in  a  small  increase  in  sedimentation, a development  that
disregards proper  planning  can  drastically increase  sediment yields  in runoff
water.
    *»b
A combination of nonstructural  and  structural  BMPs  are typically used  on  con-
struction sites.   Table A.4 in Appendix  A lists  examples  of both  nonstructural
and structural  BMPs.  As noted above,  good  advance  site planning  can  go a long
way  toward  preventing  construction erosion  problems.  Also, relatively  inex-
pensive nonstructural  vegetative controls (such  as  seeding and mulching)  can
also achieve  a  great  deal.  In  seme cases,  however,  more  expensive structural
BMPs may be  necessary.

Examples of  primary nonstructural BMPs  include:

     • Soil stabilization practices, such  as mulches, seeding,  and
        other ground covers—These  can be very simple  and  effective
        methods  for  removing sediment  from runoff  and reducing  the
        amount  of  runoff.   They  work  by dissipating the  energy of
        raindrops  and absorbing moisture.
                                      2-28

-------
                    FIGURE  2.7   COMPARISON  OF  SEDIMENT YIELDS
              FROM A WELL PLANNED AND A POORLY PLANNED DEVELOPMENT
  WELL PUNNED
  DEVELOPMENT
  (SITE l)
  POORLY PUNNED
  DEVELOPMENT
  (SITE 2)
                                      PRE-DEVELOPMENT


                                      POST.DEVELOPNENT
                              1.000          2.000

                                     SUSPENDED SEOIHENI TIELO
                                            Ib/icrt-yr.
                                         3.000
                                                        4.000
  Source: William G
          Case Historfes
. Lynard, et. al., Urban Stormwater Management and Technology—
ones, EPA, Office of Research and Development, August 1980.—
      •  Good housekeeping practices—These  include  proper  use  and
         application of  pesticides, fertilizers,  petroleum products,
         and  chemicals.    This  BMP also   includes  proper solid  and
         human waste disposal practices  on  construction  sites.

Wet  and dry  detention basins are  examples of structural  BMPs.   Wet retention
basins have a constant pool of water in them and  store  runoff  water even after
rainstorms.  Wet retention  basins  are  very  effective at  removing sediment and
other pollutants from runoff water and allowing water  to percolate  into the
ground.   These wet  basins are often used  for recreational activities  such  as
boating.   Conversely, dry detention basins  remain  dry between rainstorms and
may  be used for dry land recreational purposes.   During  rainstorms  they detain
runoff water for a short  period  of time and pollutants  settle out.   However
dry  detention  basins  have  been  found   to  be less effective than wet  ones  at
removing  pollutants.

Other examples  of  structural  measures include  diversion  structures  (e g
dikes,  ditches,  level  spreaders,  and  terraces)  which  route sediment-laden
runoff water  into sediment basins  or other safe  disposal areas.  Where runoff
velocities  are slow,  solids may settle out.  Filter  structures (e.g., stone
and  gravel  piles, sandbags, and  straw  bales)  are other  structural BMPs  that
can  be  used  to  slow water  velocities,  thereby  reducing further erosion.
Filter  structures  are sometimes  considered  low structural or  nonstructural
controls  when  they  do  not entail  much  additional  construction  work    A
roadside  swale or depression  directs runoff water  to appropriate  places  and
allows some or  all of  the water  to  percolate into the ground.
                                     2-29

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Usually,  a combination of  structural  and nonstructural controls  produces  the
most  cost-effective  answers  to  construction  nonpoint  source  problems.   For
example,  highway  construction  nonpoint  source  pollution  can  be  decreased
significantly  by  utilizing  diversion and  filter  structures, mulches, and well
planned  excavation  work.[69]  Total  costs are estimated  at more  than $1,000
per  acre[70],  but  these  costs  are  more than  recaptured  by  the  reduced
expenditures for  cleaning up  sediment damage.

The costs  for  implementing  construction site BMPs for private  land development
activities  are typically borne by the  developer  and  are usually  passed  on  to
the land  purchasers.   However,  should the control  requirement  not be uniformly
applied,  a  developer  may have to absorb  part  or  all  of the costs  of nonpoint
source  controls  and  reduce  profit  margins in  order  to stay competitive.   In
the  case  of  highway  or  other  public  construction,  any  added  costs   to
government agencies are borne by  the  general public.

The benefits  of  BMP  implementation   are  received  by  anyone  using  the waters
affected by construction erosion.   In addition  to  improved  water quality, some
benefits  of sediment  control  include:

     •  Reduced frequency and  intensity of floods;

     •  Lowered  costs for  purifying  drinking water obtained  from
        surface water  sources;

     •  Preserved  wildlife  and  other  natural   areas  for  aesthetic,
        recreational,  and  commercial  enjoyment,  and  increased
        tourist income;

     •  Reduced water  cleaning  and channel  dredging costs;  and

     •  Increased  value  of  waterfront  property  resulting  from  a
        number of the  other benefits.


SUMMARY:  NONPOINT SOURCE POLLUTION
FROM CONSTRUCTION CAN  BE CONTROLLED

The  major  nonpoint  source  pollutant  from construction  sites  is  sediment.
Although  pollutant  loads are  small   nationally,  the  volune of  runoff from  a
particular construction activity—and its impact  on a local  water  body—can  be
significant.   BMPs  are well  understood technically.   They  are  also recognized
to be  beyond  the economic  interest  of the builder.   Practices are  typically
instituted  as  a result of  regulatory  action  on  the  part  of the  State and/or
local  government, and  costs are  passed  on to the  consumer.

Because the various solutions to  this nonpoint  source problem are  quite clear,
it is  worth asking how  BMPs  can be  implemented  more  effectively to  achieve
further results.   In  order  to answer this, the failures in  existing  implemen-
tation programs need  to  be  better understood  so that  appropriate  steps can  be
taken to  reduce this  source of nonpoint  pollution.   Although precise data are
not available, one  of the  apparent  problems in many  construction  erosion con-
trol  programs  is  the  difficulty of  inspecting  and  enforcing control measures
at numerous sites  scattered  throughout a  local jurisdiction.  Weak  inspection
                                      2-30

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and enforcement point  to  the need for more emphasis  on  training and education
to complement regulatory  programs.   Chapter 3 further describes  the status  of
State construction erosion control  activities.
                                      2-31

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                            URBAN NONPOINT SOURCES
NATURE OF THE PROBLEM

Rainwater  running  off  roofs,  lawns,  streets,   industrial  sites,  and  other
pervious and  impervious  areas washes a  number  of important constituents  into
urban lakes and  streams.   A large volume of  the constituents  in urban  runoff
is comprised of  sediment and debris  from decaying  pavements  and  buildings  that
can  clog  sewers  and  waterways,   reducing  hydraulic  capacity   (and thus
increasing  the  chance  of  flooding) and  degrading  aquatic habitat.    Heavy
metals  and  inorganic chemicals  (including  copper, lead,  zinc,  and  cyanides)
arising fron  transportation activities, building materials, and other  sources
are  also  significant pollutants.   Nutrients  are  added to  urban  runoff  from
fertilizers applied  around  hones  and in  parks.   Petroleum  products  from spills
and  leaks, particularly from  service station  storage  tanks,  and  fecal bacteria
from animal wastes  and ineffective  septic  tanks are other  important contami-
nants and may  affect ground water as well as  surface  water.   In  short,  many of
the wastes from  urban living make their  way into urban, runoff .[71]
                                              r
Of equal  importance is the volume  of  stormwater  runoff  leaving urban  areas.
Figure  2.8 graphically  illustrates the  effects of  paved surfaces on  stormwater
runoff  volumes.   When  natural  ground  cover  is  present over  an entire  site,
approximately  10%  of  the  stormwater runs  off  the  land  into  nearby  creeks,
rivers, and lakes.   When  paved surfaces account  for  10 to  20% of the  area  of
the  site,  201  of all stormwater becomes surface runoff.   As the percentage of
paved surfaces increase,  the volume and  rate of runoff and the corresponding
pollutant  loads  also increase.

Heavy metals  are also  carried  this   way  in  urban runoff.   As  shown in Table
2.4,  results   from  the Nationwide Urban Runoff  Program  (NURP)  indicate  that
metals  and inorganics  are  the urban runoff  contaminants  having the greatest
potential  for  long-term impacts  on  aquatic  life, although  they appear not to
cause  the  immediately observable   acute  impacts  of  pesticides  (e.g.,  fish
kills).   Sane  of these pollutants accumulate in  the  tissues of. fish and other
aquatic organisms.   They  also accumulate in the  environment  through continuing
sedimentation  and/or are  resuspended  in the water  column  during  high flows
associated with  storm events.

These  constituents  may also have important  effects on ground water, the extent
of which  is dependent on  site-specific  hydrologic and geologic conditions that
determine  the  amount  of  runoff   which  percolates   through  to   underground
aquifers.   Aquifers in  limestone   areas are particularly  vulnerable  because
runoff  flowing into sink holes and  surface  water is thus transmitted to ground
water  rapidly.

 It  is  reported  both in the  literature and  by  EPA Regions that urban runoff
 causes  significant   local  water quality  effects.   Several  studies  conducted as
part of  NURP indicate  that   the  quantity  of  urban  stormwater and the  high
velocity  of  its  flow constitute a major cause of aquatic habitat disruption in
urban  areas  through erosion, sedimentation, and scour.[72]  NURP was unable to
 find extensive  impairments or  denials  of approved water  uses  due  to chemical
 pollutants borne  by urban  runoff.[73]   However,  only   limited  biological
                                      2-32

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 monitoring  was conducted  by the  NURP projects,  and  concerns remain  about the
 long-term  impact  of metals  and  other priority  pollutants  discharged  during
 storm events  and  subsequently stored  in  bottom sediments.
               FIGURE 2.8  EFFECT OF GROUND COVER ON URBAN  RUNOFF
                      41%
                        EVAPO-
                        TRUSNMTBI


                             NATURAL
                             MOIMD
                             COVER
                                         11%
                                           EVtfO
                                           TMMMUTBI
            IK 1UIOFF
          21%
          SNJU10W
          •FLT1ATBI
                                                 20% RUIOFF
  DBF
  •FITUTBI
                      3f%
                        EVAN-
                        TUISFMATBI
                                                 li-20%
                                                 PAVED
                                                 SURFACES
2t%
SNAUOW *"    • OHP
•F&TRATBI   ? WFITMTBR
          11%
     3IK MiOFF
                             3(-10%
                             PAVED
                             SURFACES
                                              IfK HUMFF
           2K
           SHALLOW
           •FLTIATBI
  DSP
  •F&TRATBI
11%
                                         31%
                                          JEVAPO-
                                          TMIVMATBI
                                                7S-100S
                                                PAVED
                                                SURFACES
  SHALLOW     DSC
  •FE1IUTBI  •FB.TMTBi
 Source:  Final Report of the Nationwide Urban Runoff Program.  Final  Draft,
           Vol. 1,  EPA, Water Planning Division, December 1983,  as  cited  in
           J.T. Tourbier and R. Westmacott, Water Resources Protection Tech-
           nology:  A  Handbook of Measures to  Protect Water Resources "Tn
           Land Development, p. 3.~~~
The  urban  nonpoint source  problem  is most  acute  in more  heavily  populated
areas  such as  the Northeast  or  other major urban  centers.  It has been  esti-
mated  that urban  nonpoint  source problems  affect  20% of  the nation's  river
miles  and  occur  at some  level  in  greater than  50% of  the nation's  drainage
basins .F74]   Cumulative  impacts downstream can  be  significant  even if  use
impairments at specific  urban centers  upstream have  not been identified.   If
preventive measures  are  not  taken,  urban nonpoint  source  problems can  be
expected  to increase anywhere  that  urbanization occurs.
                                      2-33

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            TABLE 2.4  MOST FREQUENTLY DETECTED PRIORITY POLLUTANTS
                        IN NURP URBAN RUNOFF SAMPLES*
Detection Rate**
Inoraam'cs
Organics
Detected  in 75%  or more  of
the NURP  samples
Lead (94%)
Zinc (94%)
Copper (91%)
None
Detected in 50% -  74%  of
the NURP samples
Chromium (58%)
Arsenic (52%)
None
Detected  in 20%  -  49%  of
NURP samples
Cadmium (48%)
Nickel (43%)
Cyanides (23%)
Bis (2-ethylhexyl)
  phthalate (22%)
a-Hexachlorocyclo-
  hexane (20%)
Detected in 10%  -  19% of
the NURP samples
Antimony (13%)
Beryllium (12%)
Selenium (11%)
a-Endosulfan (19%)
Pentachlorophenol (19%)
Chlordane (17%)
Y-Hexachlorocyclohexane
  (Lindane)  (15%)
Pyrene (15%)
Phenol (14%)
Phenanthrene (12%)
Dichloromethane
(methylene
chloride) (11%)
4-Nitrophenol  (10%)
Chrysene (10%)
Fluoranthene (16%)
 *Based on 121 sample  results  received as of September 30, 1983, adjusted for
  quality control review.  Does not  include  special metals samples.

**Percentages indicate  frequency of  detection,  not  concentration.  Analysis of
  concentration  shows  that concentrations of copper,  lead,  and zinc were the
  highest of any priority  pollutant.
Source:  Final  Report of  the  Nationwide Urban  Runoff Program,  Final  Draft,
         Vol.  1, EPA, Water Planning Division, December 1983.
                                      2-34

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  BEST MANAGEMENT PRACTICES FOR URBAN AREAS

  Both  structural   and   nonstructural  management   practices   are  available  to
  control  urban  runoff.   .The  principal   structural   alternatives  are  runoff
  retention  basins,  in-line storage, and in-line  screens.   These methods retain
  water and/or  solids within basins and/or  conveyance systems, or allow water to
  percolate  into  the ground to reduce  the  peak  flows and pollutants which reach
  streams.

  Additional  alternatives are being tested to perform  similar functions.  These
  include utilization  of  existing  wetlands  or creation  of artificial  wetlands to
  provide settling  of solids and vegetative  filtration,  and  "first  flush diver-
  sion  systems"  that  route  sane  first  increment  of  peak  storm flows  through
  treatment  plants.   Nonstructural BMPs include good housekeeping  practices  and
  land  use planning.   Table A.5 in Appendix  A displays  selected BMPs and ranges
  of  effectiveness  and associated  costs.   Figure  A.I  in Appendix A summarizes
  the  results of  an Orange  County,  Florida demonstration program which  studied
  the effectiveness  of certain  BMPs  in  removing  specific pollutants.

 The  feasibility and cost  of management  alternatives  must  be  evaluated  in
 relation to tfiether an  area  is  already  built  up or  is  just beginning to  be
 developed.   In  established urban areas,   structural control  practices are very
 expensive  to   implement,  and  nonstructural  controls  are  limited  in their
 pollutant   removal  effectiveness.  For  instance,  replacement of hard surfaces
 with porous pavement or  redesign  of existing in-line  systems with accompanyinq
 road and property disturbance can be  prohibitively  costly,  and land for  reten-
 tion basins is either prohibitively expensive or  not  available at all.   On  the
 other hand, in  heav.ily  developed areas  of cities,  it  is  sometimes  possible  to
 achieve  limited reduction  of some pollutants  through good housekeeping prac-
 tices.  In  general,  however, land use planning and  other urban runoff controls
 nave limited utility in  highly developed  urban areas.

 The  greatest  potential   for  utilizing the  full  range  of  structural  and non-
 structural  BMPs is  in  developing  urban  areas, where  the  reduction of  future
 pollutant   loadings  can  be realized  for  the  least cost.   There  is  a great
 opportunity in such  areas  to employ land  use  planning to reduce future  runoff
 volumes  and corresponding  pollutant loads.   Developing conmunities can  incor-
 porate structural   measures to reduce  long-term  urban  runoff  volunes  and  can
 also  implement construction site erosion  BMPs into their development plans.

 The  costs   of  urban  BMPs  are  borne  by   the municipality  and  its  residents.
 Benefits also  accrue to  this  group and to  society  at  large.  Benefits  of  BMP
 implementation can include  improved potable water  supplies, restored  recrea-
 tional  opportunities,  restored  or continued  commercial  fishing   and  shell-
 fishing  opportunities,  and maintenance of  land   values  due to  the aesthetic
 appearance  of  receiving waters.   In  addition,   damage  to  drainage  systens,
 obstruction  of navigation channels and harbors, and the frequency and severity
 of floods  can be  reduced.  Good  housekeeping  practices often  have  additional
 benefits to  the  landowners who apply  them.   For  example,  educational  programs
 on the proper use  of fertilizers  and  pesticides frequently  result in  better
 lawns  and   gardens,  and  programs  on  proper  streambank management not  only
minimize erosion but improve  the appearance and  value of property.  In this
 regard,  some local  governments have developed  video presentations  for  use  at
 public meetings  to   instruct  landowners   on  how  they  can  control   erosion  on
their  property.
                                      2-35

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SUMMARY:  CONTROL OF NONPOINT SOURCE RUNOFF FROM
DEVELOPED URBAN AREAS WILL BE DIFFICULT

Water quality problems caused by urban nonpoint sources will be most  acute  1n
heavily populated,  built-up  areas such  as  the  Northeast.  The most  effective
control measures are structural,  however,  and opportunities  for  implementation
of these measures  will  be very  limited  in such situations.  Developing  urban
areas offer the  greatest  potential  for utilizing the full range of  structural
and nonstructural  BMPs.   Adoption of  these measures is  an  important  means  of
reducing future  urban nonpoint  source  pollutant loads.

Given the cost and  other  constraints of  nonpoint  source controls  in  developing
urban  areas,  particularly close  attention  must be paid  to  the  nature of  the
water  quality  problem  in such  areas.   Results  of the  NURP  study  suggest that
water  quality impacts  from  urban  runoff  may  be more  limited  in  scope  and
geographical  distribution  than  was   previously  suspected.    Forthcoming  EPA
publications  will  make  the NURP results  available to  indiviudal  communities,
and  will  include  new methodologies   to  analyze  water  quality  problems  from
urban  nonpoint sources.
                                       2-36

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A Framework for Analyzing National Water Pollution Control Policy:  water
Uuanty Impacts and Costs of Cropland Sediment Control.  Resources for the
Future, July 1980, p. 21.~~~

S.  Batie  and  R.  Healy, The Future of American Agriculture as a
Resource. The Conservation Foundation, 1980, p. 86.	

P.  M.  Sturges, Agricultural Water Pollution.  Natural  Resources  Defense
Council, p. 26.


Best Management  Practices  for Agricultural  Nonooint  Source Control:
iiaimprriai P«.*in»«.lu^ Carolina fcxtension  Service, U.S.  kt>A,  USDA,
CHAPTER 2:  NOTES
Agriculture

 1.  RCA 1980 Appraisal. Part 1. USDA,  p. 48.

 2-
  3.



  4.




  5.



  6.



  7.




  8.

  9.

 10.



 11.



 12.



 13.



 14.

 15.

 16.



17.

18.

19.
                                                                         EPA-
                                                                        Water
     ,onmercial
    August  1982.

    Ibid..  Tables 3 and 4.


    Rural Clean Water Program;  Environmental  Impact Statement.  USDA, 1978.

    Interview with agricultural nonpoint source  experts  in U.S.  EPA Region 5.
    Chicago, Octobers and 6, 1983.


                    Runoff; Information Transfer System.  U.S.  EPA,  Office of
                    », p.2.6.


    RCA Potential  Problem Area II Water Quality;   Problem Statement  and
    Objective Determination.  USDA. July 1979. o. Si.	~	


                   Problem Area II Water Quality;   Problem Statement  and
                  •minatlon.  USDA. July 1979.	
    RCA Appraisal. Part I. USDA, pp. 120,  122.

    Ibid., pp. 116, 118.


    Nonpoint Source Runoff:   Information Transfer System. U.S.  EPA,  Office of
    water, July 1983,  p. 2.8.                       	


    State of the Environment 1982.  The Conservation Foundation, 1982,  p. 225.

    Ibid., p.  228.


    F. White, J. Halrston, W. Musser, H.  Perkins and J, Reed,  "Relationship
    Between Increased  Crop Acreage  and  Nonpoint  Source Pollution:  A  Georgia
    Case Study," Journal of  Soil  and Water Conservation.  May-June  1981.

                                   2-37

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 CHAPTER 2:  MOTES
  2°*
      Lndu«ep.pHr« n*      *n'  U ZinS6r» Effect of Aoricultural
      Land Use Practices on Stream Water Quality;  Economic Analyse  n <: — FDA-
      fcnvironmental kesearch Lab.  Athens, Georgia, September        '
 21.  Ibid.
              L....       1??°*  t0 9on;r!»i  yonpoint Source Pollution  In  th,
       ^., submttcd by  Fertilizer Institute of America, December 1983. - -

 23.  foments  or ,  draft  Report  to Congress:  Nonpoint Source Pollution  in  »h.
      iLL.« submitted by  lennessee Valley Authority.  December 1953. - -^


 Silviculture

 24*   [)°nP01'"t Source Runoff: Information Transfer  System.   U.S.   EPA    Water
      banning Division, July 1^63, p. 2.17. - * -            '      er
 25*
                              Conservat1°" Actr  1980 Appraisal, Part T.
 26.   6.E.  Dlssmeyer  and R.F.  Stump, Predicted Erosion  Rates from Forest
      Management Activities in the Southeast.  U^UA Pnrpcf  Jii,"  iMv1Hm  of

             i -14-0)       "'  So
-------
 CHAPTER 2:  MOTES
 36.  National  Commission  on Water  Quality,  Cost and Effectiveness  of Control
      of Pollution from Selected Nonpoint Sources. November iy/b.  D.  77. -
 37.  Interviews, USDA Forest Service and NCASI, Washington,  D.C.

 38.  Interviews., Conservation Foundation, Washington,  D.C.

 39.  Unpublished materials from USDA Forest Service.

 40.  Interviews, NCASI,  Washington, D.C.     ,


 41'  *" APP™a.ch^ Water Resources Evaluation of Nonpoint Silvicultural
      Sources,  U.S. EPA,  USDA Forest Service, August  1980;  also supported by
      interviews; this appears to be the position  of  the USDA  Forest Service.

 42*  Nonpoint  Source Runoff;   Information Transfer Svstan.   U.S.  EPA,  Water
      Planning  Division, July 1983.                   	

 43<  An ASSesSment of the Forest and Rangeland Situation of the  United States.
      UMJA  rorest   Service,  January  im\  interviews,  USDA  l-orest  Service,
      wash ing ton, D.C.

 44*  i^on and  iW?Jer Resources Conservation  Act,  1980 Appraisal,  Part  I, USDA,
      i:>oUt  p.  134.

 Mining

 45'  Approval  of State and Indian Reclamation Program Grants Under Title IV of
      the Surface Mining Control  and Reclamation Act of 197?.Final  Environ-
      mental Impact  Statement.  U.S.  Department  of   the  IntPrior,  Office  of
      Surface Mining Reclamation  and Enforcement,  November 1983, p.  III-46.

 46•   Methods for Identifying  and Evaluating the Nature and Extent of Nonpoint
     SoWes Of  Pollutants.  U.S.  LPA.  Office  of   Air  arri  Uafpr  PrrvjWc
      October 1973,  p. 222.

 47.   Interviews, Bureau of Mines, Washington,  D.C.

 48.   Appalachian Regional  Commission, Acid  Mine Drainage in Appalachia.  1969;
      Methods for Identifying and Evaluating the Nature and Extent  of  Monooint
      Sources of Pollutants.  U.S.  EPA.   Office  of  A^r  anH   Ua*or 6™,,^
      uctoder 19/3,  pp.  165-168.

49.   Appalachian Regional Commission, Acid Mine Drainage  in Appalachia.  1969.

50-  Processes. Procedures, and Methods to Control Pollution from Mining
     Activities. U.S. EPA. October 1983. op.  ftte-2ll.	*

51.    Interviews, Environmental  Policy  Center and  Bureau  of  Land  Management
      (BLM), Washington, D.C.

52«   Water Quality Management Needs Assessment FY'80-84.   Draft,    U.S.   EPA
     Water Planning Division, September 1980, p. 96.                         *
                                    2-39

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CHAPTER 2:  MOTES

53.  Ihpublished U.S. EPA materials. Region 8; Interview, Washington, D.C.

54.  Interview, BLM, Washington, D.C.

55.  Unpublished U.S. EPA materials, Region 3.

56.  Pennsylvania 305(b) Report; unpublished material from U.S. EPA Regions.

57.  J.R.  Walpole,  "Federal  Water Pollution  Laws  and  Mining:    A  Summary",
     Mining Engineering. January 1981;  unpublished  U.S.  EPA materials. Region
     3.

58.  Approval of State and Indian Reclamation Program Grants Under Title IV of
     the Surface Mining Control and Reclamation Act of 1977, Final Environmen-
     taaT Impact Statement,  U.S. Department of the Interior, Office of Surface
     Mining Reclamation and  Enforcement, November 1983, p. II I -17.

59.  Interviews, BLM and Environmental Policy Center, Washington, D.C.

60.  Approval of State and Indian Reclamation Program Grants Under Title IV of
     the Surface Mining Control and Reclamation Act of 1977, Final Environmen-
     tal Impact Statement,  U.S.  Department  of  the Interior, Office of Surface
     Mining Reclamation and  Enforcement, November 1983, p.  II I -59.

 61.  National  Research Council, National Academy  of  Sciences, Surface Mining
     of Noncoal Minerals,  1979, p. xxix.

 62.  Ibid.


 Construction


 63.  Water Quality  Management Needs Assessment FY'80-'84.   Draft,   U.S.   EPA,
     Water  Planning Division, 1980, p.  106.

 64.  Report on Implementation of the FWPCA,  Subcommittee   on   Oversight   and
     Review of the  House  Gonroittee on  Public  Works  and Transportation, House
     Report No. 97-71, 96th Congress, Second Session, 1980, p. 20.

 65.  Midwest   Research Institute, Cost and Effectiveness of Control of Pollu-
     tion  from Selected Nonpoint Sources, Prepared for the  National commission
     on Water  Quality, 1975; Anne Weinberg , et al . , Nonpoint Source Pollution:
     Land  Use  and  Water Quality,  University of  Wisconsin  Extension  Service,
     USUA,  19/y.

 66.   Interview with   Byron  Lord,  Federal  Highway  Administration, Office  of
     Research, Development and  Technology, November 21, 1983.

 67.   Nonpoint  Source Runoff: Information Transfer System,  U.S. EPA, Office of
     Water, 1983.    "

 68.   Ibid.
                                     2-40

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 CHAPTER 2:  NOTES


 69'   iISolrview With Robert Probst» Federal  Highway Admini strati on. November 9,
70.
      Midwest  Research  Institute,  Cost  and  Effectiveness  of Control of Pollu
      tion from Selected Nonpoint Sources.  Prepared  for  the National
      on  water Quality*  1975.
Urban Runoff
71.  Report  on  Implementation  of FWPCA.  Subcommittee on  Oversight  and Review
     °T  the  House tomnittee on Public Works  and Transportation. House Report
     No. 96-71,  96th  Congress. Second Session  (1980).


72«  F.ina1.R.eP°.rt. of  the Nationwide Urban Runoff Program. Final  Draft, Vol.  1
     u.5. tPA,  water  Planning  Division, December 1983.—

73.  Ibid.


74.  Water Quality Needs Assessment FY'80-'84. Draft, U.S.-EPA, Water Planning
     Division,  1980,  p.  103; Peyton  M.  Sturges, Agricultural Water Pollution
     Natural  Resources Defense Council, 1983.      	"	
                                   2-41

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                               CHAPTER 3


             Current  Programs Directed at Controlling

                     Nonpolnt  Source Pollution
 INTRODUCTION

 In  the preceding  chapters, we examined  the  nature,  magnitude, and extent of
 nonpoint  source pollution  problems,  and  the variety of  approaches  that  can be
 used  to  reduce these problems.   In  Chapter  3, we will  examine the kinds of
 programs  being  undertaken  by  Federal, State, and local governments to manage
 nonpoint  sources  of  pollution  and  describe  the  manner   in  which  the
 responsibility for such programs rests at the State and  local  levels.

 EPA and Other Federal Agencies Have Been Active
 In Addressing Nonpoint Source Pollution

 As part of the water quality management program,  planning  under Section 208 of
 the  Clean  Water Act  required  State  and  areawide agencies  to  identify water
 quality  problems  related  to point  and  nonpoint  sources.   During  the period
 from 1974  to  1981, the  Federal  government provided grants  to  States,
 Territories, and  176 areawide agencies  for  overall  water quality management
 purposes under Sections 106 and 208.  Portions  of these  funds were directed at
 identifying  nonpoint source  problems  and  developing  strategies   for  their
 control.    By   1982,  213  water  quality management   plans,  which  contained
 elements  addressing  nonpoint  source  pollution  control,  were approved  by EPA.
 Continuing components of the EPA water quality  management  program that support
 State  management  of  nonpoint  sources include the basic water quality program
 support grants (Section 106) and grants to support planning  ( Section 205(j)).

 During  the  1970s, EPA  also  began  a  process  of  working with  other  Federal
 agencies  to identify  the  manner  in which  their  programs  affect  nonpoint
 sources of pollution, and,  in some cases, to develop agreements ensuring that
 Federally  funded   projects  minimize  pollution  from  these  sources.    Other
 agreements negotiated with  Federal agencies allowed the States and  EPA to use
 the field  resources  available through programs such  as  those  offered  by the
 U.S.  Department of Agriculture  (USDA) to provide  technical  assistance  on the
management of nonpoint sources of pollution.

 Now,  9 years after the  initiation of this water quality management planning
 process, EPA can report  that a significant amount of activity and resources is
 being devoted  to identifying and  controlling nonpoint  source  pollution
 problems  at the   Federal,  State,  and   local  levels  of  government.    These
 activities are  unevenly distributed, however, and vary in their  effectiveness.
 In  any  case,  it   is  essential  to  evaluate  the  nature  and  scope of  these
 activities  so   that  the  needs that  remain  in  the  management of  nonpoint
 sources can be  perceived.

 Structure of Chapter  3

The  material  that follows describes  program activities currently being
 undertaken to control nonpoint source pollution at the State level,  as  well  as
                                    3-1

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 the  Federal   actions  that  support  to  these  efforts.    The  discussion  is
 organized  by  the five  nonpoint source categories analyzed in Chapter 2, and is
 preceded  by overviews  of activities at the State and Federal levels.  Detailed
 tables  summarizing State and  Federal  activities are presented  in  Appendix B.
 Although   an  effort has  been  made  to  be  comprehensive,  the  State-by-State
 descriptions   are  limited  by  the  amount  of  detailed   information  currently
 available  about the nonpoint  source  control  activities  now being  performed in
 each  State.   Table  3.1  summarizes State program  information  (otherwise found
 in  Tables  B.I,  B.2,  and  B.4  in  Appendix  B)  for three  nonpoint  sources:
 agriculture,  silviculture, and  construction.   Local nonpoint  source programs
 are too numerous  and  varied  to either summarize  or  categorize.   In  order to
 present  sane  flavor of  the  kinds  of  activities  being undertaken by  State and
 local governments, however, some  brief case  examples are included  for several
 nonpoint  source categories.


 AN  OVERVIEW OF STATE NONPOINT SOURCE PROGRAMS

 States  have undertaken a wide range of responses  to  nonpoint  source pollution
 'problems.   These responses  vary according  to the source, and to  the technical,
 institutional,   and  political  difficulties  inherent  in  managing  it.    Some
 general observations  can be made,  however,  about  State  management  of specific
 types of nonpoint  sources.

 Agriculture

 Agricultural  nonpoint  source  programs are usually voluntary, and a variety of
 agricultural  agencies  provides very localized technical  support  and assistance
 (e.g.,  USDA's Soil Conservation Service (SCS),  Agricultural Stabilization  and
 Conservation  Service  (ASCS),  and  Extension  Service,  and  local   soil  and  water
 conservation  districts).   Nineteen  State  programs provide cost sharing  as  an
 incentive  to  farmers  to  implement  appropriate  conservation measures or  best
management  practices   (BMPs).   Enforcement  measures  are  seldom used and  are
 usually  limited  to  situations  where cause  and effect  relationships  can  be
 easily established, as in the case of many  small feedlot  operations.

Silviculture

 In  States  where the forest industry has  significant  landholdings  and is  very
 active, silvicultural  programs tend  to  be  regulatory or  quasi-regulatory*  in
 nature.   In  States where  small-lot  silviculture  is  more commonly practiced,
voluntary,  educational, and sometimes  incentive-oriented  programs are aimed at
private landowners.
*Regulatory  programs  are  those  where  silvicultural   activities  are directly
 controlled by  way  of a forest  practices  act.   Quasi-regulatory programs use
 other  laws  such  as  sediment  and  erosion  control  laws  to  achieve  control
 objectives.
                                      3-2

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                   TABLE 3.1   SUMMARY OF STATE NONPOINT SOURCE  PROGRAMS

AL
AK
AR
AK
CA
CO
CT
DE
FL
6A
HI
ID
II
IN
IA
KS
ICY
LA
ME
HO
HA
HI
HN
HS
HO
AGRICULTURE
Cost Share
Current Cost Funds
Program Share (I mill.)
Voluntary
(Planned)
Voluntary
Voluntary
Voluntary
Voluntary
Voluntary Yes .03
Voluntary
Voluntary
Voluntary
Voluntary
Voluntary/Regulatory Yes 1.00
Voluntary/ Regulatory Yes .50
Voluntary Yes .40
Quasi-Regulatory Yes 8.49
Voluntary Yes & loans 1.25
Vol untary
Vol untary
Voluntary/Regulatory
Vol untary/ Regulatory Yes 5.00
Vol untary
Voluntary/Regulatory
Voluntary Yes 1.54
Vol untary
Voluntary Yes 3.99
SILVICULTURE
Current Program
Vol untary
Regulatory
Vol untary
Voluntary
Regulatory
Voluntary
Voluntary

Voluntary
Voluntary
Quasi •Regulatory
Regulatory
Vol untary



Vol untary
Vol untary
Quasi-Regulatory
Vol untary
Quasi-Regulatory
Vol untary
Vol untary
Vol untary

CONSTRUCTION






Regulatory
Regulatory

Regulatory
Regulatory

Regulatory

Regulatory



Quasi-Regulatory
Regulatory

Regulatory



•This table sumnaHzes Information from  three tables  in Appendix B.   Information on this  table is drawn  from
 sources cited on these tables in the Appendix.
                                               3-3

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          TABLE  3.1   SUMMARY OF  STATE  NONPOINT SOURCE  PROGRAMS (CONTINUED)

HT
NE
HV
W
NJ
NH
NY
NC
NO
CH
OK
OR
PA
RI
SC
SO
TN
TX
UT
VT
VA
HA
VV
U!
WY
PR
VI
TOTALS:
39
10
1
1

Current Cost
Program Share
Voluntary Loans
Voluntary Yes
Voluntary/ Regulatory
Voluntary/ Regulatory
Vol untary Yes
Vol untary

Vol untary
Vol untary Yes
Vol untary Yes
Vol untary Yes
Vol untary
Vol untary/ Reg u 1 atory
Vol untary

Voluntary/Regulatory Yes
Vol untary
Vol untary
Voluntary Yes S loans
Vol untary
Vol untary yes
Vol untary
Vol untary
Vol untary Yes
Vol untary Yes
Voluntary/Regulatory

Voluntary jg Cost
Vol untary/ Regulatory Share
Quasi-Regulatory
Planned

	 1 SILVICULTURE
Cost Share
Funds
(* mill.) Current Program
Voluntary
1.44
Quasi -Regulatory
Quasi -Regulatory
50.00" Voluntary
Vol untary
Vol untary
Vol untary
.45
.28
.01 Voluntary
Regulatory
Quasi -Regulatory

Vol untary
.40 Voluntary
Vol untary

Vol untary
Vol untary
.10 Voluntary
Regulatory
Vol untary
4.13 Voluntary
.02 Voluntary


29 Voluntary
5 Regulatory
6 Quasi-Regulatory
CONSTRUCTION
Regulatory



Regulatory


Regulatory

Regulatory


Regulatory
Regulatory

Regulatory



Quasi-Regulatory
Regulatory




Developing Program
Developing Program
16 Regulatory
2 Quasi-Regulatory
2 Developing Programs
•Total amount 1s for purchase of prime agricultural lands; a portion  1s available for water quality purposes.

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Mining

Control programs  that  address  currently  operating  coal mines  are  regulatory in
nature and derive their  authority from the Federal Surface Mining  Control  and
Reclamation  Act  (SMCRA).   Programs  for  abandoned mines  usually involve  the
provision of financial assistance by  State and  Federal governments  through  the
abandoned mines program  of  SMCRA, the Rural Abandoned Mines Program  (USDA),  or
individual State  programs.

Construction

Programs  for the  control  of  construction  erosion are  regulatory  in  nature,
where they  exist.   Only  about 16  States  have  effective regulatory  programs.
In  States  that do  not have a Statewide regulatory mandate, some  individual
local governments  regulate.

Urban Runoff

Urban runoff control programs  are normally conducted by municipalities  and,  at
present,  are primarily directed  at  controlling  the  volume  of. urban  runoff,
although  increasing attention   is  being  given to  incorporating  water  quality
considerations as well.


AN OVERVIEW OF FEDERAL PROGRAMS

The activities of Federal  agencies  are important in the management of  certain
nonpoint  sources  because  they concern either direct management  of  Federally
owned  land   (Bureau of  Land  Management  within  the U.  S.  Department  of the
Interior),  Forest  Service  within  USDA, etc.)  or are  programs designed   to
assist  private  landowners.    Nonpoint  source  problems  are   land  management
problems.  Thus,  agencies with programs that  reach the land  manager, or that
affect the relationship between the State and the  land manager, are key to the
implementation  of  nonpoint source   controls  for  agriculture,   silviculture,
construction, and mining.

     •  Various USDA programs  provide not  only technical assistance
        to  individual  landowners,  but  also  a  range of incentives
        that  affect the  manner in which  the  landowner  chooses  to
        manage  the  land.    In addition,  USDA manages  significant
        amounts of public  land.  Its  programs  affect agricultural,
        silvicultural, and mining nonpoint sources.

     •  The  Office of  Surface  Mining  (U.S.  Department   of  the
        Interior)  implements   SMCRA,  which  regulates  the activities
        of operating and abandoned coal mines.

     •  The   Federal  Highway  Administration  within  the  U.S.
        Department  of  Transportation  grants billions of dollars  of
        Federal  Highway  Trust  Fund  monies to  construct interstate
        and  Federal highways, and  conditions  such  grants   on  the
        application of appropriate BMPs.
                                      3-5

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 The above programs  are discussed  in  more detail in  this  chapter, and  EPA's
 nonpoint-source-related programs are outlined at the end of the chapter.

 Other  Federal  programs both affect and provide support for  control  of  nonpoint
 sources.    The  U.S.   Army  Corps  of  Engineers,  for  example,  conducts
 comprehensive watershed analysis programs that address water quality and  water
 quantity  concerns.   In addition,  the Corps  issues  permits  for a  variety  of
 activities  that  take  place  in  or  affect  navigable  waters.   The  Tennessee
 Valley Authority  provides  technical  assistance  to  landowners in  its  region.
 This  technical assistance  is directed  toward  a  variety  of  purposes, including
 management  of nonpoint  sources  of pollution.   In addition,  huge  landholdings
 are managed  by the  Bureau  of  Land  Management and  the  Forest  Service  for
 multiple-use  purposes.   Grazing, mining,  and silviculture!  activities may take
 place   on  these  publicly  owned  lands.     Elaborate  planning  processes  are
 undertaken  to ensure  protection of the  resource base and  use of  these  lands
 for a  variety of activities.


 NONPOIHT  SOURCE  PROGRAMS IN AGRICULTURE

 Agricultural State Programs

 Most   State  programs  addressing  agricultural   nonpoint  source  control   have
 recognized  the  need  to take  advantage  of the  existing  network  of Federal,
 State, and  local  agricultural   agencies  that  routinely  work  directly   with
 farmers  and  have already  gained, their  trust.    In  many  cases,  the  State
 agricultural  or  water  quality agency has  been  given  the  authority  to
 administer  the  State's  nonpoint source  control  effort  in  relation  to
 agricultural  sources.  Local soil  and water conservation districts have  been
 assigned  a  key role   in  the implementation of nonpoint  source programs.   This
 institutional  arrangement  has  several  strengths.  First, it  allows  tapping  an
 existing  network of agricultural  technicians capable of  reaching local  farmers
 and  generating  a  positive  response.    Second,  these  individuals   understand
 fanning practices  and are  able  to provide important technical assistance for
 the adoption  and management  of  agricultural  BMPs.


 Merging Agricultural  and Water  Quality Programs
 at  the State Level Has  Advantages and  Disadvantages

 Most activities  addressing  the  water quality  aspects of agricultural nonpoint
 sources   are  part of  programs  having   broader  objectives.   These   include
 improvement of productivity, reduction  of erosion, and delivery of information
 and education  on agricultural practices.   This  situation offers advantages and
 problems.   The advantages  have already  been  described:  the existence of an
 efficient and  effective network  of people  and  programs that has  sought and
gained the fanner's trust.   Problems can  be  broadly  characterized as a  lack of
 targeting toward the  achievement of priority water quality objectives  and the
 absence of a  clear definition  regarding  the relationship between conservation
 and water quality management.

 Federal agricultural   agencies use "T"  (the  rate  of  soil  loss that  allows for
 the maintenance  of soil  productivity) as  a planning objective.   While  such
 goals  can be  complementary to   water  quality goals,  the  two are  not  always
                                      3-6

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equivalent.    Sane  of  those  lands  eroding most  heavily,  and  thus  affecting
productivity,  do  not  deliver  enough sediment and related pollutants to produce
severe  water quality  problems.   Conversely,  other  lands on which  erosion is
currently  under  "T"  may  be  causing  significant  water  quality  problems.
Differing  sediment  delivery  rates (due to  soil type, topography, and proximity
to  the  water course)   and other factors (such  as  nutrient  delivery)  cause the
discrepancy.    In a program  managed primarily  for  productivity,  a  landowner
would not  continue  to  receive technical  or financial assistance in this latter
situation.   Technical and financial support  from agricultural  agencies  would
flow  to  areas  exceeding  "T",   directed   by  those  institutional  objectives
oriented toward productivity.

Even  where soils are  eroding and  sediment is  being  delivered  at  comparable
rates  from two different sites,  the  water quality  impacts  from each may be
very different.   The  impacts  will differ by the type of receiving  water  body,
its  sensitivity,  and  its existing  condition.   They will  also differ in  the
type, volune, and  toxicity  of the  other   pollutants carried  directly in  the
runoff  water or  associated with  the migrating  sediment.   Water-quality-based
decisions  on the priority  of controlling  the nonpoint source  pollution  from
each  site  are  affected  by the  uses of  the  receiving  water   bodies  as  well.
Agricultural  agencies,  on  the  other  hand,  generally   have  been,  inclined  to
treat eroding  soils in different  sites  equally in  terms of  control  priority.
As  a  result,  most  agricultural  cost-share programs for  erosion  control  are
distributed  to farmers who volunteer  their participation.   USDA  is  beginning
to  target  some of its resources to  the  most severely eroding  cropland in  the
nation.

Targeting  for  soil  erosion and managing  for water  quality are  not antithetical
objectives.    In  many  instances,  control  of  soil  erosion  may  prevent future
nonpoint-source-related  water quality  problems.  In other  instances,  however,
targeting  for  soil  conservation may  limit resources  available to  undertake
needed  remedial measures. In addition,  as  mentioned previously, targeting  for
soil  erosion  may miss  some  areas with  relatively  low  erosion  rates  and  high
sediment delivery ratios.

Where local  and State  agricultural  and water quality agencies  are  able to  work
together  and  integrate  water  quality  and  erosion  control   objectives,  a
combined program  can  be  highly  successful  for  water quality.    In  situations
where  State  agricultural  agencies disburse   resources  for  erosion  control
purposes exclusively,  the best results may not be achieved for water  quality
goals.   Several  States,  have  adopted an approach  of managing  nonpoint source
control on a watershed basis, rather than  basing management on  some other  land
area, or on  a  strictly source-specific foundation.  This technique  allows  the
effective  targeting of land areas  that are  the most  important  sources  of water
quality problems.


State Agricultural Monpolnt Source
Control Programs  Are Widespread

Most  State  programs   for  control  of  agricultural  nonpoint  sources  involve
voluntary  participation   rather  than regulation,  and  incorporate  educational
and  technical  assistance aspects.    Many  States   now  also  offer  financial
incentives  for the adoption  of  BMRj.   Agricultural nonpoint   source  control
                                      3-7

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                                  CASE EXAMPLE

 A LOCAL PROGRAM:
 CONTROLLING AGRICULTURAL POLLUTION IN IOWA [11

 The Problem;  Nutrients

 Iowa has some  significant  erosion problems,  particularly those  arising  from
 agricultural use of the  land.   In Shelby County,  Iowa,  Prairie  Rose  Lake has
 suffered severe water  quality  degradation  as a result of excessive  sediment,
 pesticide,  and nutrient  runoff from  the watershed surrounding the lake.   The
 extensive agricultural  land use in the  watershed  has  been primarily  responsi-
 ble for the high nutrient loads that  stimulate algal  growth and  accelerate the
 lake's  eutrophication.   Concern developed regarding the  poor  condition  of the
 man-made lake  because  it   is   an  important  recreational resource  for  west
 central  Iowa;  since  1971  alone, 10% of the  usable  boating and  fishing  area and
 19% of  the  lake volume  have been lost.

 The Prairie Rose  watershed  has  one of the highest  erosion  rates  in  Iowa,  with
 an  annual average soil loss  of approximately 20 tons per  acre.   About  62% of
 the cropland has  an  annual  soil loss  rate of 30 tons  per  acre.  The  first  step
 toward  restoring the water  quality of  the  lake was  directed at  reducing  the
 erosion  rate.   By diminishing  sediment delivery,  the  input  of nutrients  and
 pesticides  to  the lake  should also be reduced.

 The Approach;   A  Rural  Clean Water Project

 f     al  Clean  Water Project  (RCWP)  was initiated on the  watershed in 1980 by
 L     and EPA with  the  objective  of  controlling  soil  erosion on 8G£ of  the
 cropland  area, with 75%  of the landowners  participating.   Cost-share funds
 amounting to $700,000  became available through the  RCWP  in  August  1980  for
 project "implementation, and contracts  with  landowners  will  be  developed  by  the
 Soil Conservation Service staff over  a five-year period.    As of October 1983,
 32  of the  47   landowners approached   had applied  for RCWP contracts,  and  28
 contracts had been signed.   The 28 signed contracts cover 75% of  the cropland
 area.

The Success;  Practices Have Been  Implemented
and Pollutant Loads Have  Been Reduced
Various BMPs are being implemented  in  the  Prairie  Rose Lake RCWP for  ;:tl ero-
sion control,  pesticide  management, and nutrient  management.   As of November
1982, conservation tillage  was  being employed on 560 acres, permanent vegeta-
tion had been  applied  to 48 acres, 50 miles  of  terraces had been built, eight
sediment retention  basins had  been constructed, and 23  farms  were  employing
both nutrient management  and integrated  pest  management systems.

Due to  the  pollutant control measures  applied  to the watershed  over the two
years of RCWP  implementation,  a dramatic  improvement  in  the  water quality of
Prairie Rose Lake  has  resulted.   Between  1981  and  19R2,  a  sediment delivery
reduction of almost 50% occurred, along  with  a parallel reduction in  sediment-
associated pesticides  and nutrients.   Decreases in  mean  surface  water
turbidity of 33% and in  mean bottom water turbidity of 50% have been recorded
over this  time period.   Both  algal  productivity and phosphorus  levels were
also reduced.

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     ho« aSTf°Ved Ulder Se-ct1°1n 208 have been established in 48 States, and 39
 of these States  are  now involved  in  implementing programs.   In  addition, 19
 btates administer cost-sharing programs for the implementation of BMPs.  These
 programs have  annual  budgets  ranging  from  $10,000  to  almost $8.5  million.
 Most  of the agricultural  cost-sharing  programs were originally established for
 the  purpose of  controlling  soil erosion.   Several are  now  used  to implement
 BMPs  to achieve  water  quality goals.    Two  States are managing low-cost  loan
 programs,  and  one State  is  fostering  a tax  credit  program to  promote  the
 adoption of BMPs.  Table B.I in Appendix B provides  a listing and description
 of State progranmatic  efforts.   Demonstration projects  have taken  place in
 many  states  as  a means of promoting specific  management  practices and usually
 involve the  provision  of  technical   and   financial   assistance  to  selected
 cooperators.
Federal Agricultural Programs

Federal  agricultural  programs  may have  a two-fold  effect  on water  quality.
first,  specific  conroodities programs may  provide incentives that lead  to  the
adoption  of agricultural  cropping  practices  that  increase  the generation  of
nonpoint  source  pollutants.  For  example,  it is widely  believed  that  Federal
policies  encouraging  the  growing  of  grains   in  many  cases  provided   the
incentives  for  massive  conversion  to  row  crops,  which  took place during  the
mid-to-late 1970s .[2] Row crops foster more  erosion  than field crops do!   (A
specific  examination of  agricultural  comnodities programs is beyond  the scope
OT tnis report.)

A second  effect of the numerous  USDA programs is  more positive:  the  technical
and  financial   assistance  that  they  provide can  be  used  to  promote those
agricultural  BMPs that   protect water  quality.   In  most  instances, water
quality protection is a  side  effect of these programs, which usually  focus  on
productivity and  erosion control.  Two  examples  of  this type  of program are
described below:

     •  The Agricultural Conservation  Program  conducted by the
        Agricultural  Stablization  and  Conservation Service  provides
        up to $3,500 to   individual farmers for  eros-ion  control and
        soil conservation measures.   Funds  for  these purposes are
        distributed by local  ASCS committees as  widely as  possible
        and  are   not   routinely   targeted for  water   quality
        improvement.    ASCS special  project  funds have  been  used,
        however,  to  implement  best management practices  to achieve
        water quality goals in small watersheds.

     •  Both the   Soil   Conservation  Service  and  the  Agricultural
        Extension  Service (USDA)  provide technical  assistance  for
        soil and water  conservation activities.  Again, much of this
        assistance is geared toward erosion control.   However,  in  a
        number  of  locations,  local  Extension  Service  agents  and SCS
        staff  have been active in assisting States and localities in
        providing  technical assistance  to  farmers in  critical  water
        quality  areas.
                                     3-9

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 In  a  few important  instances,  specific  programs  implemented  by  USDA
 demonstrate the potential  effectiveness of merging  water  quality  and erosion
 control  objectives.  Two  examples  of  such  programs follow:

      •  The Model  Implementation  Program  (MIP), operated  by  ASCS,
         demonstrated effective management  practices  to control
         runoff from  agricultural  activities  in  a few demonstration
         projects  around  the country.   This program was a forerunner
         of the Rural  Clean Water  Program  (RCWP)  (described  below)
         and helped provide guidance  for the  implementation of that
         program.

     t  The Experimental   Rural  Clean  Water  Program, conducted, by
         ASCS,  is   designed   to  provide   incentives  for   the
         implementation of agricultural  BMPs to solve nonpoint  source
         water  quality  problems.    This program  provides  long-term
         technical  and  financial  assistance  to  farmers  in 21
         watersheds  across  the country.

 Table B.2 in  Appendix  B  summarizes  major  Federal  programs  addressing
 agricultural  nonpoint sources.


 NONPOINT SOURCE PROGRAMS  IN SILVICULTURE

 State  Silvicultural Programs

 The  success  of  regulatory  versus nonregulatory  State  programs  is   largely
 dependent  on the number and size of silviculture!  operations, and on political
 factors.   Five western  States  have large forestry industries  with  major  land
 holdings.   Industrial landowners  are  easier to  regulate, and the cost  of  BMPs
 can  be more readily absorbed by  these  larger  entities  or passed  on  to  buyers.
 These  States  regulate  a  wide range of silvicultural  practices  through
 individual  forest  practices acts.    In  other areas,  such  as  the  Southeast,
 holdings are generally smaller.   BMP  costs can  be difficult for  landowners to
 absorb,  and effectively enforcing regulations  for numerous  small  landowners is
 politically and institutionally difficult.

 Some States  rely instead  on  "quasi-regulatory"  approaches  to  control forest
 lands by employing existing sediment and erosion control  laws or  water  quality
 regulations.   These programs  are   generally  effective where   technical
 assistance,  local  concern, education,  and  adequate  enforcement  are present.
 The  most  important   step  appears  to be  the  integration  of  water   quality
 concerns into  normal  forest management procedures.   Seme States also  provide
 incentive programs  for  managing  silvicultural  nonpoint sources.   These
 programs commonly  feature  technical  assistance and  targeted  cost  sharing to
 facilitate  achievement  of  water  quality  goals.   Table  B.3  in  Appendix  B
 describes State silvicultural  programs.

 Almost all  States use voluntary educational  programs  with or without a regula-
 tory program.  These programs are targeted  to  reach landowners, land managers,
timber operators,  and others  involved  in  silvicultural  operations.   A  full
 assessment of the effectiveness of  these programs is not available.  There is
                                     3-10

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utility  in educational  programs  that  seek  to  inform  landowners  of the  link
between benefits of  reducing  soil  loss and  possible  increases  in  productivity.
Short-term benefits  are  not  likely to  be  perceived by  small  landowners  for
whom BMPs  are  costly and  for  whom  long-term reforestation  and  reharvesting  are
not  objectives.   A  forestry  water quality  training  program  has  been jointly
developed  by  the U.S.  Forest  Service  and  EPA and is being used  in many  State
educational programs.

As  shown  in  Table  B.3,  ten  States  have  no  control  programs  and  are  not
planning  any.    Most,  but  not all, of  these States  lack significant  forest
lands  or  have  not identified  silviculture as a  nonpoint  source  problem,  and
others maintain  that existing management  programs  are  adequate for the  scope
of the problem.


Federal SllvicuUural  Programs

The Federal government owns  26%  of the commercial forest  land  in the country.
In  several  regions  of   the   country  (the  Pacific  Northwest,  the Northern
Rockies, and the Southern  Rockies), the  majority of commercial forest land is
Federally owned.

Forestry  programs  are   conducted  by  USDA's  Forest   Service.    Federal
silviculture!   activities  on  government-owned lands are controlled directly by
the Forest  Service  under  its  own  management schemes;  the  conduct  of private
operators  on these  lands  is regulated by  timber  sales  contracts. Sane States
report on  lack of cooperation in   implementing water-quality-related  BMPs  in
certain forests.[3]  Often the reason given  is budget limitations.

State and  private  forestry programs are managed  cooperatively  by USDA and by
the  States, and  provide  technical assistance  to  State  and  private  forest
managers  for   a  variety  of  purposes.    Table  B.4  in  Appendix  B  describes
significant Federal  programs that  support  silvicultural  nonpoint  source
management.


NONPOINT SOURCE PROGRAMS IN MINING

State Mining Programs

Operating  coal  mines  are regulated  as  a  point  source  by the  States  under
authorities provided by the Surface Mining  Control and  Reclamation Act of 1977
(SMCRA).   Although  existing regulations require  control  of erosion  from haul
roads, sedimentation from these  roads may  be  a  source  of nonpoint pollutants
when they  are  improperly  constructed  or  located  beyond the  perimeter  of the
permitted area.  Delays in implementing final SMCRA regulations and in issuing
permanent  permits mean that  operating  mines continue to operate under interim
permits  which  generally  do not  fully regulate  the discharge of  pollutants
contributed by mining  activities.

The Office  of  Surface  Mining  of the  Department  of the Interior  continues  to
collect  fees  for each  ton of  coal  mined.    These monies  are  deposited  in the
Abandoned Mine Land Reclamation Fund, and are directed  to a variety of priori-
ties,  including  public  health,  safety,  and  environmental  protection,.
                                      3-11

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                                  CASE  EXAMPLE
 A STATE PROGRAM:
 A SILVICULTURAL INDUSTRY SELF-POLICING PROGRAM IN VERMONT^]

 The Plan

 In 1977, the Secretary of Vermont's Agency of Environmental Conservation (AEC)
 appointed  the  Section  208 Forestry  Runoff  Committee  to be  responsible  for
 developing  a  silvicultural   nonpoint  source  plan.    The committee  was  to
 identify problems, examine research data, review adequacy of existing laws and
 regulations, and  recommend implementable  solutions for  controlling  nonpoint
 source runoff from silvicultural activities.   The recommendations developed by
 this study  became the basis  of the water  quality management  forestry  plan.
 The final  plan recommended a strcng educational approach for forest landowners
 and timber  harvesters,  together with  self-policing of  logging sites by  the
 forest industry.


 Putting The Plan To Vork

 Under  the  certified  forestry  plan, the Vermont Timber Truckers  and  Producers
 Association (VTTPA)  divided the State into three sections and  elected  a  three-
 member  committee  in  each  section.   All complaints  concerning  logging-related
 water  quality problems  are referred to the  State  agency.  If the problem  is
 sufficiently serious, the  VTTPA committee visits   the  logger  responsible  to
 encourage  him to  resolve the  problems  with appropriate best management  prac-
 tices  (BIPs).   The  State becomes  involved  in  onsite visits  to loggers only
 when  the  logging  industry's   self-policing  effort  fails  to  bring  about  a
 solution.

 The rigorous educational  and  informational  approach  called for  in the  forestry
 plan  has  been  developed.    There  are four  projects  involved,  including  a
 handbook, workshops,  press  coverage, and model  timber sale contracts.


 Results

 Since the program  began  in  July 1979, the  committees have met with loggers on
 many occasions  and satisfactorily  resolved water  quality problems  by encour-
 aging the use of BMPs.   State  water resource  investigators  have reported a new
 attitude and a  higher level of responsibility on the part  of loggers who have
 been  contacted.   Problems   encountered  have  been resolved  quickly  and
 efficiently.

 Workshops for  loggers were held to provide technical  information,  demonstra-
 tions,  a review  of  legislation,  and  assistance  in the  control of  nonpoint
 source runoff.  Evaluation  forms completed by workshop participants revealed a
 high level of acceptance and impact.

 Contributing to the  success of the  training  sessions has  been  the  cosponsor-
 ship of programs by  industrial companies,  including  the  St. Regis Corporation
and International  Paper Company.
                                      3-12

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Unfortunately, not  enough  money is  available for all  priorities and funds are
now  being directed  principally toward  safety- related  measures  such  as mine
fires.   Water quality does  not  currently  receive a high priority.   The fees
fron  surface and underground mining  will  raise  an estimated  $3 billion over
its 15-year  legislated life .[5]

There  is  not  an  adequate inventory of the nature, extent, and effectiveness of
State  programs  that  address   noncoal  mining.    Mining operations   in  this
category  include  metals  mining,  sand  and  gravel,  phosphate  mining,  peat
mining,  etc.   A 1979 report from  the  National  Academy  of Sciences noted that
there  are significant gaps  for controlling  the unwanted effects  of noncoal
mining.   Many  States  have  reclamation  laws  but  provide  no practical power for
enforcement; specifically,  they lack  technical  requirements  for the mining of
noncoal  minerals. [6]   Abandoned metal  mines  remain  largely  unaddressed  by
Federal and State laws.


Federal Mining Programs

Federal  programs addressing  coal-related nonpoint source problems  are exten-
sive and  are  derived from SMCRA.   Programs  relating  to  other  kinds of mining
are  aimed primarily  at  those   activities  that  take  place  on  Federal  lands.
Both the  Forest  Service and  the Bureau of Reclamation  within the Department of
the  Interior  (DOI)  have  extensive nonpoint  source  control requirements  for
these  activities.    Numerous unrelated  Federal  programs address  the  various
environmental  impacts  from mining  activities (e.g., solid waste disposal  and
water pollution).   Several  other DOI  programs provide technical and financial
assistance, as well  as  research on mine-related  water quality  programs.   The
USDA operates a  small  Rural Abandoned Mine  program.  Table  B.5 in  Appendix  B
summarizes major Federal  programs related to mining.
NONPOINT SOURCE PROGRAMS IN CONSTRUCTION

State Construction Programs

Construction nonpoint  source  problems are normally dealt with  by  regulatory,
perm it- supported  programs  that require  BMP implementation  and  site  planning
aimed at construction sites.  Sixteen States and the District of Columbia  have
enacted  erosion  or  sedimentation  control   laws,  and  several  other  State
legislatures  are   considering   similar  bills.    Table  B.6  shows   the
State-by -State  status  of  construction  sediment control  laws.  Some of  these
laws  are  weakened by long  lists  of  sediment  control  exemptions for  various
activities.   However,  many  State  and local  governments have  developed
engineering guidelines  that  address  nonpoint  source pollution  and  are
incorporated in contracts for construction of public buildings and  roads.

Enforcement of regulations  is  critical  to an effective program, but  is  often
the  weakest and  most  expensive   link  in  the  regulatory  process.    Another
critical element  involves  the  cooperative efforts  of State  and  local  agencies
and  private developers.    Agreements  between  different  entities,  defining
institutional  and  programmatic  responsibilities, must  be  negotiated to
implement  laws  and  regulations properly.   For example,  coordination  between
State  highway  agencies,  which receive  Federal  Highway Administration  (FHA)

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 funds  to  aid
 enforcement  of
 nonpoint source
in  highway  construction,  and  agencies  charged with  the
erosion  control  laws  is  essential  to  achieving  solutions to
problems.
   A LOCAL PROGRAM:

   MONTGOMERY COUNTY, MARYLAND TAKES ACTION
   TO CONTROL CONSTRUCTION EROSION[7]

   The regulatory  program  in Montgomery County, Maryland  is  an example of a
   local  program  that  has been  successful  in  reducing  sediment  loads 60 to
   801.  This  county,  part of the  Washington,  D.C.  metropolitan area, began
   to  study  its  sediment  problems  in  1962.   It collected  data on land use,
   climate, and pollutant parameters throughout the 1960s.  Montgomery County
   found   that  strictly  enforced  sediment  controls  would  reduce suspended
   sediments in  the  Anacostia  River  .basin  by  BOX at  a cost  of  $1,030  per
   acre.     In  1971,   the  county  was  the first  in  the  nation  to  enact  a
   mandatory  sediment  and   erosion  control   ordinance.    It   requires  that
   sediment, erosion, and stormwater control  measures meeting State and local
   standards  be   implemented  in   subdivisions.   Permit   fees  support  the
   progranraatic costs.   The  program  is  enforced  via authority  to withdraw
   permits  for ordinance  violations and stop-work orders  that  can be backed
   up by  arrest.
Federal  Construction Programs

Although various soil  conservation programs of  the USDA  (e.g., . the  SCS  and
Extension  Service)  may  provide  technical  assistance  for  site planning  and
related  construction BMPs (see "Federal Agricultural Programs"), there are  no
Federal  programs  directly related to construction erosion.

The  Federal   Highway Administration,  which provides  funds  to  State  highway
agencies, has a Memorandum of Understanding with  EPA concerning  implementation
of  nonpoint  source  controls.    The  FHA  has   erosion  control  standards  and
requires  implementation of control  measures.   FHA field staff  in  every  State
monitor  implementation.  In  addition, the  agency conducts  ongoing  research  to
improve  construction  erosion  BMPs.[8]


NONPOINT SOURCE PROGRAMS  FOR  URBAN AREAS

State Urban Runoff  Proqraas

In general, States  do not control urban runoff by designing  specific programs
for  the  source   as   they  do  for agricultural  or  silviculture!  runoff, for
example.  State  agencies  address  urban runoff  as  part  of their overall  water
quality  program.  States  also frequently provide  the enabling  legislation that
allows local governments  to use techniques  such as land use controls.   In most
instances, implementation of  controls  is  left  to local  communities,  and the
                                      3-14

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 effectiveness  of  programs   is  limited  by  the   amount  of  State  and  local
 resources  available for addressing urban runoff.

 Institutional  issues  are  significant   considerations  in  the  urban  nonpoint
 source  area.   Problems of financing  control  measures and  coordinating  among
 different  jurisdictions are  key concerns.  Many  urban  areas  encompass several
 corm unities, and  intergovernmental  cooperation  is an  important  institutional
 consideration.

 Regulatory  programs   vary from  State  to State  according  to  the  enabling
 authorities  available.   The  burden of  implementing and  enforcing  regulations
 may fall  on  local,, county,  or  State  agencies.    In  addition, several  States
 have reported  that cost-share  programs are  in  place.[9]   The  programnatic
 approaches   used   by  urban  communities  include direct  expenditures  for
 structural   or   nonstructural  controls,  educational  programs   aimed  at
 implementing good  housekeeping  practices,  and  regulatory programs  to enforce
 good housekeeping  practices  and  the  proper  maintenance  of structural  BMPs.
 Local regulations are  also aimed at site planning and  design requirements  and
management  of land use.   Some  of the  greatest  opportunities for  control  of
 nonpoint source  pollution  from  urban  areas  are found  in the developing section
of  these  areas.    A notable  amount of  control  activity  is  occurring at  the
 local level  and  offers the potential  for effective experience  and  information
 transfer.
  A LOCAL PROGRAM:

  CONTROLLING URBAN RUNOFF  IN  BELLEVUE, WASHINGTON  [10]

  One  of  the  Nationwide  Urban   Runoff  Program   (NURP)  projects  that   is
  examining  institutional   issues  and  various  BMPs  is  in  Bellevue,
  Washington.   This  suburban community  has  grown rapidly from  5,000  in 1954
  to 80,000 in  1979.   Seventy  percent  of its  19,000 acres is developed.   To
  address  the  stormwater  runoff problems  that  accompanied  this   growth,
  Bellevue established  a  city  Storm  and  Surface Water Utility  in  1974.  The
  utility  provides  an  organizational  structure different  from most  public
  works  departments  and  has  proven  to be.  an  efficient  enforcement  and
  finance mechanism.    Residential utility  service charges, averaging $1.60
  bimonthly, generate about $600,000 annually,  an amount which just meets
  the costs of  the  utility.  Erosion and sediment  controls  are  required for
  construction  sites   as  is post-development  runoff  management, including
  operation  and maintenance  requirements  for   permanent  controls.    Major
  drainage  system  improvements,  such  as storage/detent ion  basins,   channel
  lining and  cleaning, and stormwater  drains,   are included in a drainage
  master plan.   The  costs  for the master plan  improvements average $1,000
  per acre.
The  two  major  impediments to  instituting  effective nonpoint  source control
programs  are  (1) problem  identification  and  (2)  the  cost  and  difficulty of
implementing BMPs,  especially in  established urban  areas.   In  addition,  the
technical  complexity  of clearly  establishing impacts  on  designated  uses  has
                                      3-15

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 made  it  difficult  to  agree  on  the  appropriate  level   of  financing   for
 addressing the  urban  nonpoint source problem.   It  is  difficult to persuade  a
 cornnunity  to  burden  itself  with  runoff controls  when  the  consequences   are
 imprecisely known, not  immediately evident, or occur downstream.

 Federal Urban Runoff Proqrans

 The  Nationwide  Urban   Runoff  Program  was  established   by  EPA  primarily  to
 examine  urban  nonpoint  source pollutant  loadings  and  the  effectiveness   and
 costs  of  various management  practices.    Twenty-eight  urban  areas  from
 different  parts  of the  country (representing different climates, geographic
 areas, and hydrologic regimes) were  selected  for intensive study of the urban
 nonpoint  source  problem and  associated  control  measures.   The.NURP projects
 were selected  from among Section 208 projects and were designed to facilitate
 information transfer among  the  individual projects  and with  other urban areas
 across the county.   The major  findings of NURP are  in  the  process  of being
 sumnarized  and  will   be  released  in  final form in   a  final  report  now
 anticipated for  release by July  1984.   The  data  base  provided  by NURP  is
 computerized  on  EPA's  STORET system  and  will provide  a source of additional
 insights for years to  come.


 PROGRAMS OF THE EMVIRONMENTAL PROTECTION AGENCY

 The responsibilities  of the EPA cut  across  nonpoint source  categories  and  are
 directed   toward  the  cleanup  of  any  sources  of pollutants  that impede  the
 A*?^?"* of  water 1ua1ity goals.   Nonetheless, drafters of the  Clean Water
 Act (CWA)  recognized  that   control  problems presented  by nonpoint sources  of
 pollution are  inherently different  from those  posed  by point  sources, and that
 appropriate nonpoint source controls could  only  be implemented  after  careful
 planning  and  consideration   of a variety  of  factors  that  can  only  be  examined
 00  ai  case-by-case basis at a  very   localized level.    Sections  208 and  303
 establish a planning and implementation  framework  that  encourages  integrated
 problem  assessment and a comprehensive water quality management program  within
 States.   Section  208 of  the CWA provided  funds to States and  areawide agencies
 to  analyze the  extent of nonpoint-source-related  water  quality problems  and  to
 develop  implementation strategies  for addressing  these  problems.

 The  Section 208-funded  water quality management  planning effort was largely
 completed  by FY'81.  EPA approved 213 water  quality  management plans  generated
ty  State  and areawide  agencies.  The  review of State programs incorporated  in
this report suggests that a number of States  have developed varying  levels  of
nonpoint  source control  programs as a direct result  of  Section 208  activity.

EPA  has   continued  to  support the States  in  their development  of  nonpoint
 source  control  programs   through other funded   sections  of the CWA.  Sections
106  and  205(j)  have provided  basic  direction   and support for State nonpoint
source activities.  While Section  205(g)  funds are  also  eligible for nonpoint
source  activities, they are  not  in  widespread   use  due to  high demand   to
address  point  source  program  needs.   These programs  are sumnarized  in  Table
•3* £•

In  addition,  EPA continues  to  support  a   variety   of experimental  and
research-oriented  programs,  the  results of   which will provide  technical
                                     3-16

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                TABLE  3.2   ERA'S  MAJOR NONPOINT-SOURCE-RELATED  PROGRAMS
PROGRAM NAME
 IASIC PURPOSE
 RELATIONSHIP TO NPS CONTROL   CURRENT ACTIVITIES
WATER QUALITY
PLANNING AND
MANAGEMENT

106
    Basic Niter quality
    program support.

    Provision of grants to
    assist States and
    Interstate agencies 1n
    establishing and
    maintaining adequate
    measures (other than
    the construction,
    operation, and mainte-
    nance of waste treat-
    ment plants) for
    prevention and control
    of water pollution.
                                                  Can  be  utilized to
                                                  support State planning
                                                  and  Implementation
                                                  activities  for nonpolnt
                                                  sources.
                               Activities funded Include
                               management of State
                               pollution control pro-
                               grams.   Control  of non-
                               point  sources 1s a 106
                               program grant priority 1n
                               FY 1984.
208
   Areawlde
   Planning
  Nationwide
  Urban  Runoff
  Program
 Designated agencies were
 to develop and operate a
 continuing planning
 process for areawlde
 waste treatment manage-
 ment.  Federal grants
 provided.
To provide credible
Information upon which  to
base policy decisions
regarding Federal, State.
and local Involvement
with urban stormwater
runoff and Its control.
The principal focus of
the NURP program has been
Identification of
pollutant loadings from
various urban environ-
ments and evaluation of
the effectiveness of.
alternative control
techniques.
•  The principal nonpolnt
   source control  section
   of the Clean Water
   Act.

•  Provided financial
   assistance to State
   and areawlde
   (Regional) agencies to
   Identify nonpolnt
   source problems and
   develop control
   strategies between
   1974 and 1981.
Urban runoff 1s consid-
ered to be a significant
nonpolnt source of pollu-
tion.  The NURP program
was an offshoot of the
208 nonpolnt source
program.  Twenty-eight
projects were selected
for the NURP program from
urban 208 projects.
 •   Over 200  water  quality
    management  plans
    completed and approved
    by FY 1981.

 •   Appropriation of 208
    planning  related funds
    discontinued 1n FY
    1980.

 e   Since 1980. State
    updates of plans and
    Implementation of
    ongoing activities
    have utilized State
    funds, 205(j) funds
    and 106 funds
    respectively.

The 28 planning projects
supported by NURP are
essentially completed
except for completion of
final reports.   The final
NURP report 1s  expected
to be published 1n  early
1984; a draft of this
report was  published  1n
September,  1983.

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        TABLE 3.2   ERA'S  MAJOR  NONPOINT-SOURCE  RELATED-PROGRAMS  (CONTINUED)
 PROGRAM NAME
 •ASIC PURPOSE
                                                   RELATIONSHIP TO NPS CONTROL   CURRENT  ACTIVITIES
 WATER QUALITY
 PUNNING AND
 MANAGEMENT
 (continued)

 205CJ)
Provision of grants for
water quality management
planning designed to
provide water quality
protection beyond that
already achieved or
expected to be achieved
by the Imposition of
technology-based
controls.  Activities
funded under 205(J)
should focus on priority
water bodies where
designated uses are not
being met.
 Water quality management
 planning activities
 funded under  205(J)
 Include (but  are not
 limited to):

 •  Identification of the
    nature extent and
    causes of  water
    quality problems
    (Including nonpplnt
    sources)

 •  Identification of cost
    effective  and locally
    acceptable nonpoint
    Measures to meet and
    maintain water quality
    standards

 •  determination of the
    relative contributions
    to water quality of
    point  and  nonpolnt
    sources.
                                                                                The top five tasks funded
                                                                                by 205(j) are:

                                                                                •  water quality
                                                                                   standards work

                                                                                •  monitoring

                                                                                •  groundwater

                                                                                •  total maximum dally
                                                                                   loads/waste load
                                                                                   allocations

                                                                                •  nonpolnt source
                                                                                   planning and
                                                                                   coordination
 Continuing
 Manning
 Process (303)
   Provides  the basic
   authority of the CWA
   for  establishment of
   State  and Interstate
   water  quality
   standards.

   Provides  for an
   Integrated framework
   for  all water quality
   management planning
   programs.  Section- 303
   provisions require
   that State agencies
   update and Integrate
   all water quality
  management plans and
   establish priorities.
This program provides the
central Integrating
Mechanisms by which the
State establishes Its
priorities for both point
and nonpolnt source
controls.
Proposed rule changes
will further Integrate
the basic components of
the water quality
management planning
process and will focus
State attention on the
role of nonpolnt sources
1n restoring or enhancing
uses.
•REAT LAKES         To demonstrate new
PROGRAM             Methods and techniques
                    and to develop prelimi-
                    nary plans  for the
                    elimination or control of
                    pollution within all or
                    any part of the water-
                    sheds of the Great Lakes.
                             Demonstration projects
                             are directed toward
                             Measures  to  control  non-
                             point  sources of pollu-
                             tion,  Including  urban
                             runoff and rural  runoff.
                             Section 108 (CWA) demon-
                             stration programs have
                             studied the cause/effect
                             relationship of various
                             nonpolnt source problems,
                             and have demonstrated the
                             effectiveness of a
                             variety of nonpolnt
                             source control  tech-
                             niques.  Recent projects
                             •have assisted  local  and
                             State governments 1n
                             technology transfer  and
                             Integrating USDA
                             resources  to accelerate
                             adoption of tillage
                             practices  supportive of
                             phosphorus  reductions
                             called  for  1n U.S. Canada
                             water  quality agreement.
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      TABLE  3.2   ERA'S  MAJOR  NONPOINT-SOURCE-RELATED  PROGRAMS (CONTINUED)
 PROGRAM NAME
 BASIC PURPOSE
                                                  RELATIONSHIP TO NPS CONTROL    CURRENT ACTIVITIES
 CLEAN LAKES         Provision of grants to
 PROGRAM            States for the Identifi-
                    cation and classifica-
                    tion, according to
                    trophic conditions, of
                    all publicly owned fresh
                    water lakes, and the
                    establishment and Imple-
                    mentation of methods to
                    control pollution sources
                    and restore the quality
                    of such lakes.
                              The Clean Lakes Program
                              1s an Agency program
                              which can be used to
                              cost-share with States
                              for Implementation of
                              nonpolnt source controls.
                              A large portion of the
                              program's attention has
                              focused on nonpolnt con-
                              trols; funds are provided
                              for a variety of water-
                              shed protection measures
                              as well as for direct
                              lake restoration.
                              Funding 1s provided for
                              use 1n completing exist
                              1ng projects.
CHESAPEAKE BAY
PROGRAM
To define the ecological
conditions and water
quality management needs
of the Chesapeake Bay,
and to evaluate the
effectiveness of
alternative pollutant
controls on point and
diffuse sources
discharging to the
Chesapeake drainage
system.
The ecosystem approach of
this  program ensured that
nonpolnt as well as point
sources would be
examined.  Relative
loadings from point and
nonpolnt sources were
Identified, and the
program's data base was
designed to serve as a
tool  for targeting
pollution controls for
nonpolnt sources as well
as point discharges.
EPA has completed  Its
Congresslonally-mandated
activities.  The program
1s currently 1n trans 1
tlon from research and
analysts to State
determination of the
actions to be taken.
 ILLON
RESERVOIR
A demonstration project
designed to evaluate the
cost-effectiveness of
possible tradeoffs
between point and
nonpolnt sources.
The Dillon Nonpolnt
Source Demonstration
Project 1n Northwest
Colorado analyzed the
economic and technical
viability of allowing
four municipal  treatment
plants to forego
Improvements In exchange
for Implementation  of
nonpolnt source controls
in the Dillon Watershed.
Special Study
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assistance  to  the  States   in  implementing  nonpoint  source  controls.    One
example  is  NURP,  discussed  above.    This  program  investigated  urban  runoff
problems  and  alternative  control measures  in 28 cities  around  the  country.
Methodologies  developed by  NURP will  facilitate  the transferability of  NURP
findings to other  areas without  the  need for  intensive data gathering  efforts.

A second  example is the Dillon  Nonpoint Source Control Demonstration  Project
discussed  in  more  detail  in the  following  "Case  Exanples."   The purpose  of
this project  is  to examine the efficacy of tradeoffs  between  point source and
nonpoint source  controls.   An  ongoing effort  of the  Northwest  Colorado  Council
of Governments,  with the assistance  of the Colorado Department of Health and
the  U.S.  EPA,  this  project  estimated substantial  cost  savings  from  the
implementation of a  phosphorus  control  strategy that relies on nonpoint  source
controls rather  than additional  point source  controls.

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                                 CASE EXAMPLES:
                  EPA-SUPPORTED NONPOINT SOURCE  CONTROL EFFORTS
DILLON RESERVOIR:   AN  EXPERIMENT IN TRADING POINT AND
NONPOINT SOURCE  CONTROL  MEASURES[I1]

Dillon  Reservoir  is   located  in  the  Rocky  Mountains  about   100  miles  from
Denver.    It   is  both a significant  source of. Denver's  water  supply  and  a
location of a  variety  of recreational  activities.  In recent years, burgeoning
vacation  and   permanent  home  development  has  led to  water quality  problems
related to excessive  algal  production.   The  source of  nutrient enrichment has
been  identified  as  phosphorus.    Although  phosphorus  loadings   are  low  in
comparison  to  normal  standards,  algal  growth  in  the Lake   is  particularly
sensitive to the amount  of  phosphorus available.

The Dillon Reservoir project  is  an experimental project that analyzed nonpoint
source control as  an option for  reducing phosphorus  loadings to the reservoir.
Four wastewater  treatment  plants  have  already  achieved  high   levels of  phos-
phorus reduction,  and analysis  showed  that  72%  of  Dillon's total  phosphorus
load now comes from nonpoint  sources.   A tradeoff analysis  was performed that
compared the  cost  and removal efficiencies  of  additional  wastewater treatment
plant controls versus  control  of nonpoint source  runoff.

The tradeoff  analysis found  that imposition of  nonpoint  source controls  for
phosphorus reduction,  in  place of additional  point source  controls, would pro-
vide considerable  cost savings.    Even  if the effectiveness  of  nonpoint source
controls is more  limited  than  initially estimated,  cost  savings  will  remain
substantial.   The Northern  Colorado Council of  Governments is now proposing
the use of point/nonpoint tradeoffs to  meet  new  wastelpad allocation  require-
ments in Dillon Reservoir.
EPA CLEAN LAKES PROGRAM:
LAKE RESTORATION IN COBBOSSEE  WATERSHED[12]

The  Cobbossee  watershed  drains 217  square  miles  in  the State  of Maine  and
contains  28  lakes, three of  which  are  eutrophic  due to phosphorus  loadings
from point and nonpoint  sources.  Despite the progress made from  point  source
controls,  additional   controls  were  deemed  necessary to restore lake  water
quality.  The  Clean  Lakes Program (under  Section 314  of  the Clean Water  Act)
provided  the  funds for  restoration  of these lakes,  a  project that  included
alum treatment of  one lake and  implementation of agricultural  nonpoint  source
controls  in the watershed  of all thrpp lakes.  Once considered  one of  the  most
polluted  lakes in  the State of  Maine,  Annabessacook  Lake has  undergone a  45%
reduction  in  its total  phosphorus level  between 1975 and 1980.   Significant
water  clarity  improvements  have  already  been  documented  for  Annabessacook
Lake, and further  water  quality improvements in all three lakes  will  continue
to be carefully monitored.

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 CHAPTER 3:   NOTES


 *•   1982 Annual  Report:   Prairie  Rose Rural Clean Water Project. Shelby County
     Iowa,  Local  and  State  coordinating  conmittees  of   Prairie  Rose  RCWP,
     November 1982; Nonpoint Source Runoff;   I nformation Transfer System.  U.S.
     EPA, Office  of  Water.  July  1963, Chapter 4.     - -
 2*   5'_, ^\ Sampson,  Farmland or Wasteland;  A Time to Choose.  Pennsylvania:
     Rod ale  Press,  1981, p.  45.              - —

 3.   Field Interviews with  selected EPA Region 8 staff  in  October  1983.

 4.   Nonpoint Source Runoff;  Information Transfer System.  U.S. EPA, Office of
     water,  July  1983.                '.    ' - -

 5.   Department of  Interior Abandoned Mine Land  Policy, January 21, 1983- BNA
     Environment  Reporter— Mining, pp. 1421:0071-75.                      ' -

 6.   National Research Council, National  Academy of Sciences, Surface Mining of
     Noncoal  Minerals. Washington, D.C.  1979,  pg.  xxvi.     -- }ULL

 7«   Nonpoint Source Runoff: Information Transfer System.  U.S.  EPA,  Office  of
     Water,  July  1983.                              -

 8.  Comments  on  draft  Report to Congress;   Nonpoint  Source Pollution in the
    U.S.. submitted by Federal  Highway Administration. - " -

9.   Lynard  Williams, et  a!.,  Urban Stormwater Management and Technolonv—
    Histories. U.S. EPA,  Office of Research  and  Development, August 1950.


10-  ya"e?1njuf°TSLRUn°ff:  Infortnat1on Transfer System. U.S. EPA,  Office  of


11.   Industrial   Economics,  Incorporated,  "Dillon Reservoir  Case  Study  "
    September 1983.                                                      J*

12-  Lake Restoration  in  Cobbossee  Watershed.   Office   of   Research  and
    Development,  U.S. EPA,  July 1980. -
                                    3-22

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                              CHAPTER 4
        Looking Ahead:  Managing  Nonpolnt Sources
INTRODUCTION

In Chapter 1,  we  examined the nature and  extent  of nonpoint  source  problems
nationwide.  Chapter 2 discussed  these  problems at  greater  length within  five
source categories (agriculture, silviculture, mining,  construction,  and  urban
runoff) and  mentioned  that many  management  practices  exist which can  reduce
nonpoint source pollutant  runoff.  A great  number  of  these practices can  be
implemented  with  minimal  difficulty and cost.   Chapter 3  discussed  the  fact
that many  States  now  have programs underway  that  seek  to address  nonpoint
source  pollution  problems,  and  the .various  Federal   programs   that  provide
technical  assistance and support  for nonpoint source programs at the  State and
local levels.

Chapter 4  seeks  to  outline  the  important  components of a  State  program
designed to  manage  nonpoint  sources of pollution.   As our technical  under-
standing  of nonpoint source pollution  has  grown, several   gaps  in  our
management of  nonpoint sources  have been  identified.   In. most  cases,  these
gaps are related  to institutional  and management  issues  rather than  a lack of
understanding  about  the   causes   of and  solutions to the  nonpoint  source
problem.  For this reason, Chapter 4 primarily addresses the institutional and
management   considerations  of  a  successful  State nonpoint  source  control
program.


WATER QUALITY MUST BE  SYSTEMATICALLY
MANAGED AT THE STATE LEVEL

State management  of  nonpoint source control  programs  is the key  to  achieving
water  quality  objectives.    As  the  central  manager  of  the water  quality
program, the State must establish where water quality problems exist  from both
point  and   nonpoint  source  pollution, and  determine  which  water  quality
problems will  receive  its priority attention.   It  is  at the State level  that
comprehensive  strategies  can  be   adopted,   progress   toward  achievement  of
objectives  can be monitored,  and necessary  adjustments for a more  effective
strategy can be made.

For  several  reasons, dynamic leadership and  management is  vital  to forging an
effective  nonpoint  source control program.  First, in  many watersheds, imple-
menting the voluntarily adopted  best management  practices  (BMPs) may have no
discernible  impact  on  water quality unless the new approaches  are targeted at
critical  land  parcels  from  which nonpoint  source  pollutants   are  coming.
Second, even when adoption  of  BMPs  is  within  the means and economic interest
of the landowner, education and training may be necessary to provide both the
incentives   and  technical  knowledge that  will  foster  implementation  of  con-
trols.  Finally,  the adoption  of  control measures for  certain nonpoint sources
will  often  remain  beyond the  economic  interest  of the landowner.   In  these
 instances, the adoption  of BMPs may require  regulatory action, the use of more
powerful  incentives,  or  both.
                                     4-1

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      *  fh!?U1d  mana9ement. approach,  headed  by a responsible agency
      •  Careful  targeting  of  nonpoint  source controls,  i

                                  and  application  of
      *  mKS?*>°\ff'r°1"'**t*  Strate91es to  implement  control
                                  enforcement  and
      *  dPi?S^e«/nSt1tut1.0Ial  arran9"'«ts
         delivery of appropriate assistance.
          «F SUCCESSF"L  STATE  PROGRAMS:

 HIGH  PAYOFF,  CORRECT STRATEGY, AND  COOPERATION
Nonpoint Source Controls

Must Be Targeted forlffgh Payoff
                                          *    "bllt
the
                                       bodies within  the State for
        The  principal  consideration  is  whether  an  existing  or

        potential  impairment  of use is caused by nonpoint sources
        point  sources, or natural background levels.       =»u"rtes,




        Shin!"!?6 Pri°riiiy Water  bod1es W««t"1ed  in  (1),  decide
        which  ones should receive concentrated attention.
                                    4-2

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         As  was  discussed   in  Chapter  2,  issues  of  practicality
         (e.g.,  the  availability    of  control   techniques,   local
         community  interest  or concern, and  landowner cooperation)
         as well  as  consideration of relative  water quality  values
         within the State will affect the answer to  this  question.

     3.  Establish  which land-use  activities within  the watershed
         are  responsible  for delivering  pollutants  to  the  water
         body.

     4.  Design a system of  BMPs  that will best control the  delivery
         of pollutants to the water bodies in the  watershed.

The  first  two  targeting mechanisms  identify  the water  bodies  toward  which
efforts  should be  directed.   The last  two fine-tune  the  control  approach,
maximizing its  payoff by focusing on  the  most effective controls and on  the
specific locations  and  activities at  which they should be aimed.   The outcome
of  these  determinations  will  lay a  good  foundation  for  the  institutional
framework  chosen  for management of the program.

Two  issues that have received inadequate attention  in  nonpoint source control
programs should be  carefully considered in future planning.   These issues  are
(1)  the  need for  nonpoint  source  water  quality  benchmarks and (2)  ground  water
contamination  by nonpoint  source activities.    These  are  discussed  in more
detail below.


Support  Management with  Water Quality Indicators
Targeted to Nonpoint Source  Controls

Before  judgments can  be  made about  the  severity  of  a particular  nonpoint
source pollution  problem,  quantitative  tools  for  assessing the problem must be
available.  Traditionally,  numerical criteria  have been  used as  benchmarks
against  which  water quality  problems  can  be managed and assessed.  (Examples
of  these criteria are 5 mg/1 for dissolved  oxygen and 250  mg/1  for  chlorides
and  sulfates.)    However,  these  tools  are  largely  unsuited  for  managing
nonpoint sources, as  they are designed  to  protect  water  quality from  point
source   impacts during  low-flow  conditions.  Indicators  should  be  established
that address  water  quality  problems  related to the  high-flow conditions that
accompany  nonpoint  source  pollution.   This work  calls  for  development of a
different  perspective on quantification of water  pollution, and  involves both
complex  and  fundamental problems.   For  example,  the   flow  conditions  under
which  pollutants  are  mobilized  from  nonpoint  sources  are  too  variable  to
support  the  development of single-parameter  criteria.

Nevertheless,  benchmarks are necessary, and  where they are  lacking, management
difficulties   result.    Identification  of water  quality problems  cannot rely
solely on violations  of specific pollutant  levels  in  ambient water.   EPA is
currently emphasizing  the development  of biological measures to  support  use
designations   and to  encourage  biological   monitoring.    Adoption  of  these
biological measures by  State  agencies  should help address the difficulties in
nonpoint source problem identification.
                                      4-3

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        n^ 1(?n'analytlcalr ^thodologies utilizing statistical  approaches

  «r    Tit1" * he C°UrSf ?f the Nat1onwide Ur°an  Runoff  Program  (NURP)  improve

  ?£ult ? fr# iXo^T**1* /I*-11!1!**  n°np0lnt  source Po^tant  loadings that
  result  from intermittent  and  highly variable nonpoint source  pollution  events.



  Consider Ground  Water  1n  Identifying Priorities
  cnnrro                 co^ider 9™"™*  water when  identifying priority nonpoint
  source  water  quality problems.   Most States traditionally have focused on the

             t?r«Cnn WSrS  1n *Mr  po11ut?on abatement programs.  Ground water
          Protection  programs  are  in  various  stages of  development  in  many
     i    K   01nd  water morntor ing is generally  not conducted unless a specific

   t     «,naSh?en rflden*lf1ed-   Yet  there  is  increasing  evidence  that  ground
 water   can  be--and,  in  many   cases,   is   being-severely  affected  bv  land

 SrTnn^^1"5^ A  "refully ^eted  nonpoint source  control  program
 should  consider  ground  water  as  well as  surface  water problems     In  some
 instances, the priority water body may be an underground aquifer



 An Effective Program Hinges on States Selecting the Right Strategy
                       T3 Var1!ty Of  aPProaches  that  can  be used to  encourage
                       1**?* strategies  Delude  education,  training,  financial
                 * re?ulation •  alone  °r  ^  combination.    The  selection  of
              trtteB1£»depcni?Jl,pon  the nature  of  the  nonPoint  source  problem
              '™*  to address that
               strat^ often depends  upon  who  receives  the benefits from BMP

                  1  the time frame  over **1cn  those  benefits are realized   The
 the  BMP, H.nr^ n0t,1e immediately aPPa^nt to landowners   Wherl
 *S  Jho -i  ? to contro1  nonpoint sources  have obvious short-term advantages
 for  the landowner being  asked  to  implement  them,  training  programs  to teach

            enh p:aCtlC6S  may i™*™** a"  appropriate andeffective strawy.
            *   *te/ management  of fert1Hzer usage  on  farmlands  is  a BMP for
              nutrient  control  that has  short-term economic benefits  to  the
          Dances, direct benefits to the landowner may be delayed, or do not
™  n«K    '  and jmP1 Dentation of BMPs through education and training alone
may not be  successful.   In  such cases,  financial incentives  may be warranted
       al °     *     ncent^es  (e.g., low-interest loans, tax. incentives, cost

                       -an .°-ften b:idge the  ince"tive gap  associated  with  WP
                     s?tuatl?ns  **«« benefits  accrue  not to  the  individual

te«r     D,,t0 -S°Cie^  at  large» cost  Sharin9  and  «sh  payments  may
be necessary.   Risk-sharing,  in the  form of State  equipment  loan  programs  or
insurance programs,  has potential  for  cost-effectively concroll ing  nonpoint
fnHrnf °? P°llut1on-. Trading of pollution  control  requirements between  point

be cSst effectiveC[l]1S       *" appr°ach l*1cn- in one Instance, is  proving  to
                                     4-4

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                          WISCONSIN STATE  PROGRAM[2]
Nonpoint Source Water Quality Problems
Are A Significant Concern

As a result of  the  implementation of long-standing control programs  for  point
sources in Wisconsin,  the  major remaining water quality problems  in  the  State
are  primarily due  to  nonpoint  sources  of  pollution.   Nonpoint  sources  are
suspected of  impairing  designated uses in nearly every lake  and  stream  in  the
southern two- thirds of the  State.   The  affected  area includes  approximately
130  of  the  total 330 watersheds  found  in Wisconsin, including a  large  number
of trout  and  bass  streams and  deep,  high  quality  lakes, many  of which  are
valued  as  recreational  and  commercial  resources.    The  major nonpoint  source
problems are  animal wastes, cropland erosion,  woodland  grazing by  livestock,
construction  activities, and urban  runoff.
Intergovernmental Cooperation and Clear
Management Responsibility Are Key

The Wisconsin Department of Natural  Resources  (DNR)  has  overall  responsibility
for administration  of  the  nonpoint  source control program and disburses  cost-
sharing  and  local   assistance funds  for  implementation  of the  progranu    The
Wisconsin  program  relies heavily on  a cooperative arrangement  with  Statewide
and local agricultural agencies.  The  water  quality  agency (the  DNR)  has  clear
implementation  and  management responsibility  for the program.   A State  non-
point source  coordinating  committee  plays a significant role in  the  selection
of priority watersheds.  Membership  on this  committee  includes representatives
of Federal, State,  and local governments.  With  the  help of the  committee,  the
DNR selects  priority projects and  develops  detailed watershed  implementation
plans.

Local   implementation  of watershed  plans takes  place  through  a Designated
Management Agency  (DMA)— usually the  local Land  Conservation Committee.   Soil
Conservation  Service staff and  Extension  Agents provide additional  technical
support  and  assistance  to  local  farmers.   Specifically,  these   staff  provide
technical assistance to  landowers for  the  design and  implementation of
Targeting Critical Areas Ensures  a High  Payoff

An underlying  concept  of the nonpoint source  control  program in Wisconsin  is
the  concentration of available financial  and  technical resources on  critical
areas  which  will maximize  the  water  quality  benefits  of  the  investment.
Priority projects of two types are targeted  by  the  program— priority watershed
projects  and  local  priority  projects.    Priority  watershed   projects  are
hydrologic  units  in  which  nonpoint source problems occur over large areas (on
the order of 100,000 acres)  and major  portions  of the  watershed  require  imple-
mentation  of  BMPs.   Those  areas  within the watershed  that  contain  the most
significant  sources  are identified as priority management  areas, and are the
only  areas  eligible  for cost sharing.   The  DMA negotiates  cost-sharing  agree-
ments  for  BMP implementation  that   require implementation  and installation
                                      4-5

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                                                         m
                                                         *     **  ^cilities.
                                                         to as m"ch as  90% on
 Supplemental county funds maraise the     -fl
 certain  practices.   Currently thprp  »   ,g r.ae  o  as m"ch as 90%  on
 projects, and typical  projects follow 7n  »  Jl °ng°ln9  Priority watershed
 selection to cciplet1oT$ BMP SJlSiSatloI?   ^ proress1on f
                                                   tdot     ,
 watershed approach.  Many individual  iiL  I?       do not requ1re a total
 this way.   Between 1979 and 1980  27   oca?  narnfn s*reams .«n be protected in
 of which are already complete    Local  SinrK    Y- p:ojects were f«nded, 24
 State from applications ^sutaltted ^ ? the ^ DMA' V ^t0**., ar? Selepted  by the
 signed oy project .-rtlclp^,?!^
Preliminary Results Show Prooram j« Meetino Wat.r n..anty 6oals
  problem.   A recent evaluatn «*  *h
  watershed pr^rt^.^™   "prte
  land management  and water resource
 waas
                                                   Program  to  address  this
                                                                 .Pr1°r1^
                                                                 1nte9rate
         ,  the  evaluation reports that
 have been  achieved In the

 Implesientation Takes  Time
                                                         ,              In
                                                    roTeVt! g] 1mpr0valents




projects  are at the  stage  of  havinn
landowners.  Many of ^ the         "
                                                I*  *>°ssMe because these
                                             c-ost-Sharing agreem^s  with
                                 4-fi

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In instances where financial incentive programs, risk-sharing, and educational
activities  are  neither sufficient  nor appropriate  tools  for BMP implementa-
tion, it may be necessary to construct a regulatory program.  The efficacy  of
a regulatory approach  depends  upon  a variety of factors,  including considera-
tions of social equity, the ability  of the landowner to absorb costs, and the
enforcement  capability of  the  State program.    An  example of  a regulatory
program  is  represented  by  the  attempts  of  State  and  local  governments  to
prevent  construction  erosion.    When this  regulation  is  applied  consistently
through a permit program, all developers  and builders  are  treated  equally, and
costs are  passed  on  to the consumer.   However, when  considering  the  applica-
tion of  a  regulatory  strategy  for agricultural activities,  policy-makers  must
recognize  that  it is  likely that the farmer  both  operates  on  a  lower  profit
margin  and  is  less  able to pass additional  costs on  to the consumer.  .  In
addition, it is difficult to conceive  of  an  appropriate  enforcement mechanism.

More specific  issues  regarding  the choice of  strategy for particular  nonpoint
source categories are  discussed  in the following sections.


Agriculture:  Current  Educational and  Training Programs
Are Not Always Enough

While most  State programs  to  control agricultural  nonpoint source  pollution
are  largely voluntary in nature, it  is  clear that educational and  voluntary
programs may not do the whole job.   A significant  percentage (estimates  are  as
high as  50%)  of the  agriculture-related  sediment  pollution  can be controlled
by  conservation  tillage which   provides  direct  benefits  to  the  farmer  by
keeping  topsoil  on the  land.    Even adoption  of  that practice,   however, may
require  both  technical assistance and a capital  investment  beyond the  short-
term  capability (or  economic ' interest)   of the individual  fanner.    The.  more
costly  BMPs  that  cannot  demonstrate  significant ' direct  benefits  to  the
individual  fanner (such  as feedlot improvements   and  exclusion   of  livestock
from streambanks) may require  a  different approach—e.g.,  financial  incentives
or regulation—in order to  be  adopted.


Conservation Tillage  Practices:   Apply with Care   .

Those  BMPs known  as   "conservation  tillage"  practices  have been  shown to  be
highly  effective in  reducing  erosion  from farmland.   However,   they  require
that  farmers manage  their  land   in  a  very careful  manner.   Many  experts  feel
that  management  training  is  necessary  to  implement  conservation  tillage
successfully.    Several  of them  have raised  questions  as  to  whether  or not
landowners initiating  conservation  tillage practices  on  their  own may
unwittingly contribute  to  environmental  problems  associated with  pesticides
and  nutrients.

There  are  specific reasons for  applying conservation tillage  strategies  with
care.   First,  these practices are associated  with  "increased amounts  of  herbi-
cide use.   A verdict  has  not  yet been reached  on  whether  BMPs  such  as no-till
practices  reduce runoff  sufficiently to  prevent  increased  herbicide  loadings
in  surface water  as  a result of  the  increased  herbicide use.  Second, because
conservation  tillage  techniques work by  holding water (and  soil)  on  the land,
experts  question whether or not  these practices will  increase nitrate  levels
                                      4-7

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   n«   J?te *  *ecause.of  these concerns, Wisconsin, for example, will not
  encourage the use of no-till  practices,  although  it  does promote a variety of
  other conservation  tillage  techniques.   The extent  of  current  and projected

  by  State°ageSciesatl°n ti11a96 practices warrants a monitoring of side effects
  Silviculture:   A Greater Focus Is Needed
  on  the  Small Woodlot Owner

  Water  quality  problems  caused  by  silvicultural  practices  of the  small  non-
  industrial  woodlot owner are not adequately addressed  by  many State programs
  Tn  *SLr°«9ei  "^"P01"*  sourc,e  re?u,latory  and  quasi-regulatory  programs  exist
  in  the  Northwest,  where  industrial  forestry  landholdings  are  largest    The
  Southeast,  where much of  the  growth in forestry  production  is taking  place
  Silel?hV?LSnt?ryipr09ra??-   Th1s area  is cnaracterized by  small  landowners
  for  which  BMP  implementation may  reduce  the  immediate  cash  return  on  a
  harvest.   Although  there  are. a  few silvicultural-related  incentive  programs
  (e.g., cost sharing)  that  address the financial needs  of  the  small  landowner
  they are small  and do  not  assist  many landowners.                    landowner,

 Training  and  educational  programs  for  landowners  and  contract  loggers  have
 been  demonstrated to  increase  adoption  of  BMPs.   Additional  research  and
 monitoring on  the  productivity benefits and actual  net costs  of BMP  applica-

                                            Wlth  add1tional
 Mining:  Correction of Water Pollution from Abandoned
 Mines Remains a Difficult Control Issue

 Some of the most severe  sedimentation  and  toxic, nonpoint source water quality
 problems  are caused by abandoned  surface and  deep coal and metal mines.*  The
 ran  covL0^ aCH   '  heavy metals, and radioactive material from abandoned mines
 2J«J  I«H* y d*grade. wa*er  Qua^ty and,  in  some instances,  render  affected
 water  bodies  biologically  dead.    It  is  generally  less  costly to  address
 ^hlf5  .alsso.c1atled..w1th  sediment  and  erosion  from  surface  sites  than  to
 combat  acid mine drainage from deep mines or surface mines.

 Proper  site planning of  operating mines is the  key  to preventing serious  new
 water quality problems  from mining activities.  The cleanup of abandoned mines
 is often  made more technically difficult by poorly designed mining operations
 £Ji!^pa   * .c.1e.a"uP JS  C0!?p11cated because former owners may be difficult to
 identify  and liability hard to establish.   In general,  State  strategies  for
 addressing  nonpoint  source  problems  from  abandoned  mines  should   involve
 2r?M™i!-the g1!ate.!t  opportunities for abatement of  water quality problems,
 SS51- ^J9  wau.th0irity-to  Seek   legal  remedies  against former  owners,  and
 providing technical assistance  and money  for cleanup
Operating  mines are  considered to  be  a point  source of  pollution  and  are
 controlled  through NPDES  permits.   An  analysis  of  water quality problems
 associated with operating mines  is  beyond the  scope  of this report.
                                     4-8

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Construction:  Public Building Projects
May Present a Different Challenge

Implementation of construction BMPs  is rarely  considered  to  be  in  the  economic
interest of  an  individual builder.   Therefore,  there is widespread  agreement
that a  regulatory  approach to the control  of  nonpoint source  pollutants  from
private construction sites might be  necessary.

Sixteen  States  and  the   District  of  Columbia  have  sediment  control  laws
covering  a  variety  of  construction  activities.    The  remaining  States--
including  some  of the  fastest  growing ones—do  not  directly  address  erosion
(and resulting  sedimentation) from  this  source.   Many  of the  existing State
laws have  exemptions  for various construction  activities.   State and  local
engineering  guidelines  may fill gaps in State  laws,  but the degree  to which
they do so is varied.              *

Public  construction  projects  may remain a  source of concern even  where sedi-
ment and erosion control  laws are  in place.  Highways are  the  largest single
source  of  construction erosion.   The Federal  Highway Administration  monitors
implementation  of  BMPs in Federally assisted  highway construction,  and State
and local governments monitor projects constructed  solely with  State and local
funds.   Requirements for  BMP application  are  typically made  part  of highway
construction  contracts.   The  effectiveness of this management  approach varies
from State to State and largely depends on  State enforcement mechanisms.   The
fact  remains  that  highway  construction   is  still  a significant  source  of
sedimentation in some areas.  Local road building is often unregulated, and can
cause  significant  localized  problems  in   the  absence  of  Statewide  sediment
control laws.


Urban Runoff:  Old  and  New Urban Areas
Require Different  Treatment

Urban  runoff programs  are generally considered to  be  a municipal  responsi-
bility.    The efficacy  of programs in  older,   highly  developed   sections  of
cities  is  limited  by the  expense  and difficulty of implementing effective BMPs
in  these areas.   Indeed,  in most  parts of  the country,  the expense and diffi-
culty  of implementing controls  in  built-up areas  will  always  preclude effec-
tive "structural"  actions.  Certain  techniques such as street sweeping or leaf
pickup  are  applied  in  many  such   areas, but  have  limited  effectiveness.
Developing  urban areas offer  the  greatest opportunities for addressing urban
runoff  problems through  land use  regulation  and  development  planning.   The
great  expanses of  impermeable  surface that promote  runoff  can be  reduced  by
appropriate  land  use  and stormwater management planning.   Retention  and/or
detention  basins  can  be incorporated  into  site  preparation at  relatively
modest  cost  to reduce  both  runoff volumes  and  pollutant loadings.   Land use
and development planning  is  a  local prerogative,  however,  and implementation
of  programs  to  reduce  runoff  in   developing  areas varies widely.    Where
developing  areas address  urban  runoff  in their  land  use and site planning  at
present,  primary emphasis is upon preventing  drainage and  associated  flooding
problems.   However, future approaches  to urban  runoff  control  can and should
integrate  both  drainage and  water qua!ity objectives.
                                      4-9

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  Cooperation  Between the Water Quality Agency
  and  the  Operating Agency 1s Important

  Regardless of the basic nature of the nonpoint source  control  program,  effec-
  tive  implementation and  enforcement  of  that program will require  significant
  commitments  by the  States.   Education  and  training of  individual  landowners
  and  operators  is an  important  component of  regulatory programs  as  well  as
  programs  relying  on  voluntary  implementation  of  BMPs.     Because  certain
  existing State  and Federal  programs regularly  provide technical  assistance  and
  support  to  individual  landowners and  operators who may  be  the generators  of
  nonpoint source pollutants, there is  widespread agreement that  involvement  of
  Federal  and  State  soil  conservation, agricultural, and  forestry  programs  is
  key to implementing  nonpoint  source control  strategies.

 As we have discussed,  the differing missions of these  agencies  can lead to a
 }^L°f  ^i"5 °n -water  1ual1ty  objectives.   Effective  management of nonpoint
 sources will  require cooperative efforts between  the water quality agency  and
 the operating  agency that routinely  reaches the  landowner.   Respective roles
 in this cooperative  arrangement might  include:

      •  Gubernatorial designation of the lead agency responsible for
         implementation of a nonpoint source control program.

      •  State  passage   of  the  necessary  legislative   authority  to
         implement the program.

      •  State water  quality agency  identification  of priority water
         bodies needing  nonpoint source controls.

      0  An  inventory of land  management activities  likely  to  be  a
         source of  nonpoint  pollutants conducted by  the appropriate
         operating agency (e.g., USDA's Soil  Conservation  Service or
         the  local  soil  and water  conservation district).

      •  A watershed-based  analysis  and  identification  of  the
         priority land management  practices  that must be  controlled
        to manage nonpoint source pollutants performed  by the  water
        quality resource agency.

     •  Technical  assistance  at  the field level  provided by  staff
        of  the  operating agency  to assist  in  the  identification,
        selection, and  implementation  of  appropriate  BMPs  to  address
        the nonpoint  source  problems.

     •  Education  provided by  the  operating agency  which is directed
        toward  critical  landowners   and  the  general  public  to
        increase  awareness  of the  need   for  and  the  benefits  of
        controlling  nonpoint source  pollution.


Finally,  cooperative arrangements  with  operating  agencies  can  maximize the
utility of  the  limited  amounts of  technical  and   financial  assistance  these
agencies provide to landowners:  where possible, BMPs that  satisfy  the goals
of the operating  agency  can  be dovetailed with  those that would promote water
                                     4-10

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                                 CASE EXAMPLE:
       COOPERATIVE EFFORT TO REDUCE PHOSPHORUS LOADINGS TO LAKE  ERIE  £7]
THE PROBLEM

Lake Erie has received a great  deal  of attention since the late  1960s  because
of  problems  with accelerated eutrophication  of its waters.   As of  the  early
1970s,  the  primary cause  of  accelerated eutrophication  was  determined  to  be
excessive phosphorus  loadings.   After  additional  study,  the Western Basin  of
Lake Erie was identified as a significant source of  these phosphorus  loadings.


A COOPERATIVE EFFORT TO ADDRESS THE  PROBLEM

The Tri-State Tillage  Project  is  a cooperative effort to  control  the agricul-
tural nonpoint sources which contribute to eutrophication of  Lake Erie, and  is
being undertaken by a variety  of agencies at  the  Federal,  State,  and  local
levels.  The  project  is  being conducted for the U.S.  EPA Great  Lakes National
Program Office by numerous soil and  water conservation districts, and is  being
coordinated through the National Association of  Conservation  Districts.

Soil and water conservation districts  in Indiana and Michigan and two counties
in  Ohio have  received  grants  directly  from EPA  under  the Great  Lakes (Section
10R) Program.  The  Ohio  Department of Natural  Resources  (Division  of Soil  and
Water Districts) has  received  a grant  for the remainder  of  the  Ohio  districts
and has entered  into subcontracts with them  for implementing projects within
their jurisdictions.   A  total  of 31 districts have  received  funds for  conser-
vation tillage projects.

The primary objective  of  these  projects is to provide interested  farmers with
no-till and  ridge-till  planting  equipment for  use on  10-  to 20-acre demon-
stration plots on their farms.  Technical assistance is  also  provided to these
farmers by the  Soil  Conservation Service and Extension Service.   In  addition,
cost-sharing  incentives  are  available to farmers in some  counties  through the
Agricultural  Stabilization and  Conservation  Service.  The goal of  this effort
is  to have 20 to 40 farms  with  3-year  demonstration  projects  using the  no-till
or  ridge-till system  in each participating district.


RESULTS TO DATE

After  little  over  one year  of  implementation,  a total  of  902  demonstration
plots covering 11,379  acres  in  1R  counties were  established.   Preliminary data
indicate that yields  on no-till  plots  were better  than or equivalent  to yields
on  plots employing  conventional  tillage. As a result  of  the  Tri-State  Tillage
Project,  the  adoption of  conservation  tillage  practices  will be  accelerated
and, consequently,  phosphorus  loadings to Lake Erie  will  be  reduced.
                                       4-11

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 quality  through nonpoint  source  pollution  control.   For  example, the  US
 Department  of  Agriculture's  -Agricultural  Conservation  Program   ACP)  will
 provide up to $3,500  in  matching funds for the  implementation  of conservation
 practices.   If  these  funds  are targeted  to  priority water  quality problems
 they can encourage the adoption  of BMPs for effective nonpoint  source controls
 and result in "high-payoff" water  quality  improvements.
 FEDERAL NONPOINT SOURCE PROGRAMS PROVIDE
 IMPORTANT ASSISTANCE TO STATE PROGRAMS

 Several Federal agencies address the nonpoint source pollution  problem because
 they (l)  have  complementary programs  in  place,  (2) have  developed effective
 outreach mechansims, (3) manage activities on  Federal  lands, (4) have under-
 taken  mandates which  require  that they  address  the  problem,  or  (5)  have
 technical  expertise available.   EPA, for example,  charged  with the responsi-
 bility  for protecting water quality, provides  overview of State agencies that
 nfL   r!!0*"?9  Pr°9ramsuto ameliorate  nonpoint  source pollution  problems.
 SJnf \  6deral .a9en"es  have  extensive outreach  capabilities.    For example
 USDA has  an  extremely effective network of services  and  programs at the local
 level.   These  services  reach out  to local  fanners  and  landowners  with  tech-
 nical and  financial  assistance  programs that  can provide the necessary support
 for  implementing  nonpoint  source control  strategies.
Federal Programs  Reflect Agency Priorities
             °/  Different Federal  agencies  to  support  State  nonpoint  source
run hv  i.™   H de£endSc^P°n ,the  nature Of the1r  Primar* m1ss1°n-   Programs
«SL yri   D* aK °ther  Federal  ^encies with  nonpoint-source-related  programs
often do not address water quality  issues  as the top priority problems   As  is
appropriate to  its  own  mandate, USDA stresses erosion control  and  maintenance
of land  productivity   Some  brief  sketches of  Federal  programs that  address
the nonpoint source pollution problem in some  way follow.

     t  USDA's National Conservation Program (which  provides  overall
        direction  for  USDA's  soil  conservation  activities)  makes
        water quality a component  of erosion  control.  However   the
        agricultural  priorities of  erosion control  and maintenance
        of  productivity,   rather  than  water  quality,  receive  the
        major emphasis.

     t  The Abandoned Mines  Fund  operated  by  the Office of  Surface
        Mining  does  not  accord water  quality a high  priority  for
        targeting reclamation  efforts.   Few  projects  targeted  for
        cleanup  efforts receive  attention primarily  due  to  their
        water  quality impacts.

    •   In  implementing a Memorandum of Understanding  with EPA,  the
        Department  of  Transportation's  Federal  Highway  Administra-
        tion  delegates  the   responsibility  for  managing  highway-
        generated sediment  to  the   States.    The  FHA,  however,  is
        responsible  for monitoring State activities,  and  grants are
        generally conditioned  on   the   implementation  of  nonpoint
        source  controls.
                                     4-12

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     t  The U.S.  Forest  Service  (USDA) provides  technical  assistance
        and support to State  forestry  agencies through  its State and
        Private  Forestry Program.   In addition, the Forest  Service
        is  itself a  manager  of vast amounts of commercial  forest
        land.    Forest   Service  efforts   are  not  normally  directed
        toward water  quality  as  a top  priority.


EPA 1s Developing a Coherent  Policy  on
Nonpolnt Source  Pollution

EPA's nonpoint source control  programs have,  in  the  past,  focused on providing
guidance and  financial   assistance to  States  and areawide  (regional)  agencies
as  they  developed  the  necessary plans   to  manage  nonpoint  sources.    After
completion of  the initial  water  quality  management  planning  process  in  1981,
the States  began to  implement nonpoint   source  management programs.   Current
EPA  efforts  focus   on   information  transfer  between  and  among  States  and
localities.

Recent  reports  from  EPA  Regions and  the  States,  however,  have  identified
nonpoint sources as  a significant water  quality concern.   EPA  has  identified
nonpoint source  issues  as  one  of  its  priorities,  and  is  in the  process  of
developing a nonpoint source  policy  to guide  the States' efforts.  Among  other
things, this policy as proposed  would  direct that higher  priority be  given  to
use of resources from State  water quality program grants  (Section  108 of  the
Clean Water  Act) and  from Section  205(j) grants  for  State  nonpoint source
programs.    In  addition,   the  policy  encourages  States  to  identify  those
priority watersheds  requiring nonpoint  source controls  and to consider
implementing management  programs in  those areas.


CONCLUSION

Great strides  have  been  made  during the past  decade  by States  and  local
governments in both  identifying  nonpoint source problems  and  determining what
effective  strategies  should  be   implemented.    A  wide  range  of projects   in
virtually  every   part  of  the  country has  demonstrated the  effectiveness   of
management  practices  to control nonpoint source  pollution from such varied
sources  as  croplands, rangelands,  agricultural   lands,  surface  mines, forest
lands, construction  sites, and  urban areas.   Experience over the past decade
has also shown that improvements in  water quality can be achieved by targeting
the key  land  areas  and  activities  that  are  most  responsible   for  nonpoint-
source-related water  quality  degradation.

State management of  nonpoint  source control  programs  is the  key to achieving
water  quality  objectives.    As the  central manager   of the  water  quality
program, the  State  must identify nonpoint-source-related  problems,  establish
priorities,  target   key  problem areas,   and  designate  the agency  to manage
corrective and preventive  actions, which  often must  be applied in a  very  site-
specific manner.  At  the State level,  ccmpreh  .isive  strategies can be  adopted,
progress toward  achievement  of  objectives can  be  accurately monitored, and
necessary adjustments for  a more effective strategy  and  program  can  be made.
                                     4-13

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 While voluntary .implementation of management  practices has  achieved  and  can
 achieve  even  more significant  water quality  improvements,  it  is  clear  that
 certain  problems will  require more  innovative,  management approaches.
 Accountability,  flexibility,  and  leadership  are  all  vital  elements.   The
 effective State program will  involve a  responsible State agency held account-
 able  for results, which  has a  sound management  approach  and  is  capable  of
 leading  a  cooperative effort  by a  variety  of  State and  local governmental
 entities.  Effective  control  of nonpoint-source-caused  water quality problems
 will not happen  easily.   Dynamic and creative leadership is  required  at  the
 State level  to forge effective nonpoint source programs.

 While most of  the  planning,- analysis,  and  implementation must  take  place  at
 the  State level,  development of appropriate  control  measures will  require  a
 coordinated  effort on  the part  of  all  levels of  government—Federal,  State
 and   local—working  together  in  a  mutually  supportive  partnership.   Federal
 agencies  play  a  variety  of roles.   They  (1)  provide  invaluable  technical
 assistance  and  other   incentives,   (2)  support   research  and  demonstration
 capability  for the development  and  dissemination of  needed  methodologies  and
 innovative  management   approaches,   and  (3)   support   important  networks  of
 services  and programs  at  the local  level.   This assistance must continue to be
 focused and made  available at the local level  by  field  representatives  of the
 parent agencies involved  in  nonpoint  source  research and control.  Local water
 quality management  agencies  and  decision-makers provide  the  necessary  detailed
 knowledge of what  are,  by  nature, highly site-specific problems and  solutions.
 The  key  role,   however,  is played by the States, managing  available  resources
 and  bringing   them  to  bear  upon 'identified  problems in  a  way  that  ensures
maximum water  quality  improvement for each dollar  spent
                                     4-14

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CHAPTER 4:  MOTES
1.  Dillon Reservoir Case Study, Draft, U.S. EPA,  Office  of Policy, Planning,
    and Evaluation, Washington, D.C., 1983.

2.  Wisconsin  Department  of  Natural  Resources,  The Wisconsin Nonpoint Source
    Program: A Report to the Governor and the Legislature, March 1982.

3.  Wisconsin  Department   of  Natural   Resources,  1984-85 Budgetary Request
    Program Report, December 30, 1983.

4.  Ibid.

5.  Phone interviews with Wisconsin  Department of  Natural  Resources'  Nonpoint
    Source Section staff, January 1984.

6.  Ibid.

7.  Lake Erie Conservation Tillage Demonstrations,   U.S.   EPA;   Great   Lakes
    Nationalprogram  uttice  in  cooperation  with the  National  Association of
    Conservation  Districts;   Nonpoint Source Water Pollution Control:  Needs
    and Costs;   Draft,  U.S.  EPA,  Office  of  Water  Program  Operations,  Water
    Planning Division, September 2,  1983.
                                       4-15

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            APPENDIX A
Examples of Best Management Practices
    for Selected Nonpolnt Sources

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         TABLE  A.I   EXAMPLES  OF  MANAGEMENT  PRACTICES  FOR  AGRICULTURE*
 AGRICU.TURAL
 PROBLEM

 1. Sediment Fran Cropland
 BMP

 Conservation  Tillage--
 retains  crop  residues en
 the field  surface  through
 practices  ranging  from a
 variety  ef reduced tillage
 approaches to no-tillage.
 COSTS Ann COST SWIMS

 Compared with conventional
 tillage, conservation
 tillage total costs  are  an
•average of 131 per acre.fa)
 However, on tome soils,
 yields are reduced and risk
 of lower yields 1s
 Increased.
                               Contour-strip cropping--1s
                               farming gently sloping
                               (?-Bl) cropland along the
                               contour, alternating strips
                               of sod or close-growing
                               grasses and legunes with
                               row crops.
                               Terracing—Is * combination
                               of •nbankments and channels
                               across t slope of up to
                               121. flattening and
                               shortening the length ef
                               the slope and thereby
                               reducing the volume of the
                               runoff by retaining It
                               longer for Infiltration.

                               Grassed waterways—are
                               natural or constructed
                               vegetated depressions which
                               carry surface runoff while
                               preventing the formation of
                               gullies.
                               Implementation  costs
                               average $29 per acre.fa}
                               Operating  and maintenance
                               costs range from S3-S  per
                               acre per year .re]  Costs
                               may be greater  to  the
                               fanner 1f  a lower  profit
                               crop Is planted to
                               accomodate terracing.

                               Installation costs are
                               high, an average ef $73 per
                               acreTe], and maintenance
                               costs per  acre  are $16
                               yearly.[b]  Every  ton  ef
                               erosion  reduction  costs
                               approximately 17.00.[a]
                              Construction costs are SI -2
                              per foot or $72 per acre;
                              maintenance costs are 11-14
                              per acre per year.fb.f]
                              Costs are nominal for the
                              expected yearly average of
                              1 ton of pollutant
                              reduction per acre.ff]
 EFFECTIVENESS

 Reduces soil  erosion
 (60-991)[b,c.d],  runoff (up
 to «M). and  toss ef
 nutrients froa the  toll.

 The Conservation  Tillage
 News reports  the  following
 results from  certain
 experimental  plots  covered
 with corn residue 1n  Iowa:

 • Reduction  of runoff—72t
 • Soil  loss  reduction—90S
 • Reduction  of herbicide
    loss—991
 • Reduction  of nutrient
    loss—761.

 Reduces  water  erosion
 «n-601.fe]  Reduces wind
 erosion  40-501.[e]
                               Can be very effective  1n
                               reducing erosion—50-901
                               [b]; reduces suspended
                               solids 30-501.[d]  Runoff
                               water 1s also reduced.
                               Reduces scdteent 5-401
                                     phosphorus 5-401
                                     pesticides 5-40l|>].
2. Excessive Pesticide
   Loadings Into Water
Integrated Pest
Management—comb ines
traditional pest control
methods (such as crop
rotation) with sophisti-
cated measures such as
insect traps and analyses
of an insect's life cycle
to determine how best to
interrupt It.
Costs vary widely according
to practices chosen.
Moderate to high reductions
ranging fron 20-401  in
pollutant loadings.
depending upon  practices
used.fg]
3. Uater Duality
   Hegradatior from Animal
   Wastes
Livestock exclusion-
ensures the inaccessibility
of highly credible areas,
such as streams, by fencing
these areas off.
Implementation costs
average Sl.Jfl per foot  ef
fencing.fa]  Average total
cost is J4.00 for each  ton
of pollutant reduced.ff}
Pollutant reductions for
both practices are half a
ton per acre  per year.[f]
Reduces wind  erosion
10-20S.fe] Reduces water
erosion 20-301.[e]  Reduces
total phosphorus and
suspended sol Ids 50-901.[d]
•This table includes only a sample of the  available niPj. that might be used.   The costs and effectiveness columns are
 very brief and are only meant to be indicative of relative values.   The  Information  in this table was compiled from a
 number of studies, but does not represent a comprehensive summary.
                                                     A-l

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   TABLE A.I   EXAMPLES  OF MANAGEMENT  PRACTICES  FOR  AGRICULTURE  (CONTINUED)
  ACRICU.TURAL
  HlOgLEM

  3.  Water  Duality
     Degradation  Iran
     Anlnal Wastes
     (continued)
                                 BMP

                                 Feedlet waste managment
                                 *yst««s--1nc1uding
                                 diversions, ponds, end
                                 striping thit control
                                 liquid and solid animal
                                 waste, particularly runoff
                                 from the feedlet.
 COSTS  AHP.  SAVINGS

 Control of feedlot runoff
 costs  approximately 17SOO
 yearly for every 50
 animals.fe,hi  Manure
 storage Is expensive, an
 average of SI?,§84 for each
 storage facility.fa]
 EFFECTIVENESS

 Manure  storage and feedlot
 runoff  control are very
 effective at reducing
 runoff  and total phosphorus
 (75-1001).[d)
 4. Salinity fron Irrigated
    Croplands
                                 Irrigation scheduling--In-
                                 volves proper timing  of  and
                                 careful attention to  the
                                 volume of water applied  to
                                 the cropland.
 Implementation costs are
minimal, 1f any, and
operation costs ranqe from
13-15 per acre per
year.fe.f)  The monetary
benefits (reduced costs and
Increased yields) can
amount to S30 per acre per
year, generating a net
benefit of at least 115 per
acre per year.[el  For
every ton of pollutant
reduction, this WP costs
$7.50 yearly.fe]
 Reduces an estimated 2  tons
 of pollutants per acre  per
 year.[fj  Can reduce:

•  total dissolved solids/
   salinity--   5-201
•  nitrates--   5-201
•  sediment--   0-101
•  phosphorus--  0-101
•  pesticides--  0-lOl.[e]
 5. Excessive Nutrient
    Loadings
                                Techniques to reduce
                                sediment runoff nay also
                                reduce nutrient loadings.

                                Nutrient use
                                Management—assures the
                                retention of  nutrients 1n
                                the soils and minimizes
                                losses through the use of
                                soil  testing  to guard
                                against over-fertilization.
                                proper timing of nutrient
                                application,  and
                                incorporation of
                                fertilizers Into the soil.
See fl. Sediment.
                                                             Costs are minimal and may .
                                                             result in savings to
                                                             farmers through lower
                                                             fertilizer expenses as a
                                                             result of lower fertilizer
                                                             applications and losses.
                              See fl. Sediment.
                              Moderate reductions 1n
                              nutrient losses from the
                              soil.
S*fier«l Sources for Table A.J:

l"        0""' Coni*rvltien Tillage and Conventional Tillage: A Comparative Assessment. Soil Conservation Society of
3- B3*B5>Ct"'"<1 PrCb1em *re* " Uittr °"*luy:  Problem Statement and Objective Determination.  USDA.  July  1979.  pp.


4. Control of Water Pollution from Cropland.  Vol.  1.  Agricultural  Research  Service.  USOA.  Office  of Research  and
   Development, U.S. EPA, 1976.    .                                                                     -=»«rfcn  «nu


Sources of Cost Information:

a. Agricultural Stabilization and Conservation  Service, data from  Conservation Reporting and Evaluation  System  (CRES).


        ujuw     u«   n                                    Control;  Sediment. North Carolina  Extension Service. U.S.


C' Lt,*:<0lr.U.t"?M,.illd  ;*tr
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             TABLE A.2  EXAMPLES OF MANAGEMENT PRACTICES FOR SILVICULTURE*
 PROBLEM
    SAMPLE MANAGEMENT
        PRACTICE
 COSTS
     BENEFITS
 1.  Sedimentation
    construction
    and  stream
    crossinas
 Harvest site pre-plan-
 ning.Time should be
 spent laying out roads
 and loading areas on an
 enlarged segment of a
 topographic map, and
 then marking them on the
 ground.prior to arrival
 of crews and equipment.
 Roads should follow
 contours,  avoid steep
 slopes,  and be slightly
 outsloped  to disperse
 drainage.   Sensitive
 soils at risk of severe
 erosion  or landslides
 should be  identified and
 avoided.
 Low.
 High.  Planning
 road  layout  can
 reduce road-  miles
 and decrease con-
 struction mainte-
 nance  costs; better
 layout can reduce
 erosidn.
2. Concentration
   of water on
   roads
 Waterbars and turnouts
 may be constructed  to
 reduce volume and
 velocity of water  on
 roads.  Planning to
.minimize use can reduce
 rutting.  Closing  and
 reseeding of roads  is
 also recommended.
Low to medium
($40-100).fal
Med i urn.
   Site prepara-
   tion too
   intensive,
   causing
   erosion
 Where  applicable,
 chopping  and  burning
 is  preferred  over
 shearing  and  windrowing.
 Disking and root raking
 should be avoided.
Low ($1207
acre).fa]
Although
site looks
"messier,"
the cost
is less.
Medium to high.
Soil conservation
gives higher wood
yields.
*This table  includes only a  sample  of the available  BMPs  that might  be  used.   The
 costs  and  benefits columns  are very brief  and  are only meant  to  be indicative of
 relative  values.   The  information  in .this  table was  compiled from a  couple of
 studies, but does  not  represent a comprehensive summary.
                                         A-3

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        TABLE A.2  EXAMPLES OF MANAGEMENT PRACTICES FOR SILVICULTURE (CONTINUED)
 PROBLEM
 4.  Sediment
    generated
    at  stream
    crossings
5. Thermal pollu-
   tion; organic
   matter
  Groundcover
  and  soil  dis-
  turbance  from
  log  removal
    SAMPLE MANAGEMENT
        PRACTICE
 Use bridges and culverts
 over all live streams;
 cross streams only at
 right angles; keep
 equipmentment out of
 streams.  Be sure
 to maintain culverts
 prior to wet weather
 periods  to  prevent
 clogging and washouts.
 Streamside  Management
 Zones  (SMZs).Leave a
 strip  with  enough  trees
 and brush to provide
 adequate shading.
 Width  depends on
 stream size and angle
 of adjacent slope.
 This zone can also be
 an effective barrier to
 keep slash and debris
 out of stream, although
 sediment may run
through.
fa) Directional felling.
    to place logs nearer
    to skid trails and
    reduce turning while
    dragging.

(b) Aerial skidding
    methods, various
    techniques  that
    eliminate the use of
    tractors, and
    partially or  wholly
    lift  logs off the
    ground for  transport
    to loadinq  site.
                                                  COSTS
 Bridges,
 high
 ($1,000  -
 $1  million);
 culverts,
 low ($100-
 150).  [a]
Medium to
high.  Loss
of timber
left in
zone, but
practice
is reported
to be
"catching
on" as a
stream pre-
servation
technique.
$150/acre.
Fal
                                                 High to
                                                 very high.
                                                 Tractor
                                                 skidding  is
                                                 commonly  used,
                                                 except  for top
                                                 grade timber
                                                 on  very steep
                                                 slopes.
                                                 BENEFITS
 Med i urn.
 High.   Keeps
 stream  tempera-
 tures down.
 Practice  helps
 keep equipment
 out of  streams,
Medium.
                Medium to
                high.

-------
       TABLE A.2  EXAMPLES.OF MANAGEMENT PRACTICES  FOR  SILVICULTURE*  (CONTINUED)
   PROBLEM
   SAMPLE MANAGEMENT
       PRACTICE
COSTS
    BENEFITS
 fi.  Groundcover  and
    soil  disturbance
    from  log  removal
    (continued)
(c) Harvest Method:
    Tractor
    High Lead
    Sky Line
    Balloon
    He!icopter

(Will vary according
to volume of timber
per acre)
Cost per 1,000
Board Feet:

$ 15 - 25
$ 20 - 35 '
$ 40 - 55
$ 60 - 80
$120 -140.fb]
7. Chemical runoff
Mark streams prior to
spraying; leave strips
on both sides of stream.
Avoid wet weather periods.
Follow label directions.
Use no more than necessary
or economically justifi-
able.
None.
Not
Ouantified,
General Sources for Table A.2:

1. "Forest  Management  for  Water  Ouality,"  U.S.   Forest  Service/EPA,  August   1981
   (Workbook to accompany the  National  Forestry Water  Ouality  Training  Program,  Part
   B, Units 1-9 slide tape program).

2. A Review of Current Knowledge and Research on  the Impact  of Alternative Forest
   Management Practices on Receiving Water, NationalCouncil  of  the  Paper  Industry
   tor Air ana stream improvement, Technical Bulletin No.  322,  May 1979,  p. 38.


Sources of Cost Information:

a. Interviews, U.S. Forest Service.

b. National  Water Quality Goals  Cannot  Be  Obtained Without More  Attention to
   Pollution Tron Diffuse or "Nonpolnt" Sources,  GAP, December   1977, p.  43.	
                                        A-5

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-------
                TABLE A.3  EXAMPLES OF MANAGEMENT PRACTICES AND
                       RECLAMATION TECHNIQUES FOR MINING
PROBLEM
1. Leaching of
acid and metals
fron tailings
and spoil.
2. Erosion of
tailings and
spoil piles.
EXAMPLE MANAGEMENT PRACTICE
(a) Replacement of hazardous
materials in mine passages
and sealing of mine.
(b) Regrading and burial with
soil that will support vegeta-
tion.
(c) Impoundment of waste
materials with collection
and treatment of runoff.
(d) Placement on impervious
surface with day or concrete
cap.
(e) Compounding of hazardous
substances with asphalt to
prevent all contact with water
and air.
(f) Diversion of water from the
mining area and from exposed
acid-producing materials
(g) Placement of crushed lime-
stone barriers in stream beds;
addition of lime, soda ash, or
other neutralizing agents to
streams; construction of a
treatment facility to neutralize
mine water and remove
precipitants.
(a) Revegetation. May be
unfeasible due to levels of
acid or toxic materials, lack
of rainfall, or excessively
fine-grained tailings.
(b) Collection of runoff in
settling ponds.
(c) Mixing of fine tailings
with coarser materials to
stabl ilize them.
COSTS
High
High
High;
long-term
treatment
effort;
:High
High
Not
Available*
Not
Available
Low
High
High
BENEFITS
High
Variable;
leaching may
continue
High
High .
High
Not
Available
Not
Available
Variable
High
Medium
*Not available from cited  sources.
                                      A-6

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  PROBLEM


  3. Acid drain-
  age from under
  ground mines.
 5.  Leaching of
 cyanide residues
 from gold tail-
 ings.
                         A.3  EXAMPLES OF MANAGEMENT  PRACTICES  AND
                    RECLAMATION TECHNIQUES FOR MINING  (CONTINUED)
 4. Leaching of
 uranium from
 tailings.
 EXAMPLE  MANAGEMENT  PRACTICE
 ^^——^__^^^^^__     	
         ^^^^^^^^^^•^^•••^"^^"••••^•^••••••••^

 (a) Plugging  of shafts  and
 drain tunnels to control
 the entrance of air  into  the
 mine and inhibit the
 oxidation of sulfide
 materials.
                     (b) Use  of wells  to divert
                     water rrom overlying aqui'Ter
                     around mine to  an underlying
                     one.                 "—"£—y-

                     (c) Stripping coal  from
                     underground mines  by standard
                     surface mining methods,  then '
                     reclaiming  the area  as a
                     surface mine.~
                                     COSTS
                                     Very High
                                     Very  High
                                    Not
                                    Available
       with  limestone
Mixinc.  	
or other source of  alkal inity
   render the metal  insoluble,
Reaction with hypochlorite.
High
                                    Not
                                    Available
              BENEFITS
             ^•^"••"•^"••••••••••••i.

              Variable;
              generally
              thought  to
              to be un-
              workable
              except in
              special
             situations.

             Not
             Available
                                                Not
                                                Available
                                                Medium
                                                Reported
                                                Effective
Sources:


*"  lMl°!!SeS'uPrOCfujlreSJinnd ^W  t0i°ntr-01  P°J1uti°" from Mininn  Arti-
    u     .'.   U-5-  fAt  Ufflce  or  Air and Uater  Programs.  Vlater  Ouahtv  and
    Nonpofnt  Source Control Division,  October  1973.                 Uuanty  anff

2.  Tennessee Valley Authority, Coal Mining and Water Quality.  September 1980.


3*  Man^Inl. Wlth  *r*on^  Wlthin  Bureau  of Mines   and  Bureau  of  Land
                                      A-7

-------
                     TABLE A.4  EXAMPLES OF MANAGEMENT
                        .PRACTICES FOR CONSTRUCTION
         BMP
   EFFECTIVENESS FOR
   SEDIMENT CONTROL
    COSTS
 Structural:

1. retention/detention
   basins
2. diversion or filter
   structures; energy
   dissipators

3. roadside swales
Nonstructural;

4. good housekeeping
   practices

5. site planning
6. mulches; ground
   covers
80-100% (wet)
   <60% (dry)
40-fin*
SO-80%
low (higher for other
pollutants)

variable
50-95%
$300-2,000
for individual
on-site basins
[a,b,c].

variable [a,c,d]
medium to high
($2,000-4,0007
acre served) [bl
low [d,e]
low   to  medium
Ta,b]

$200-1,5007 acre
served [a,c,d]
Sources of Cost Information:

a.   Nonpoint Source Runoff:  Information  Transfer  System,  EPA,  Office of
     Water, July 1983.

b.   William   G.   Lynard,   et  al.,   Urban Stormwater Management and
     Technology—Case Histories,  EPA, Office of Research and Development,
     August 1980.

c.   Midwest   Research   Institute,   Cost and Effectiveness of Control of
     Pollution From Selected Nonpoint Sources,  Prepared  for  the  National
     Commission on Water Quality, November 1975.

d.   Toups   Corporation,   Nonpoint Source Pollution Control Strategy for
     Colorado, Draft  , Prepared  for  State of  Colorado,. Section  208
     Coordinating  Unit,  1977.

e.   Nonpoint Source Control Guidance Construction  Activities, EPA, Office
     of Water Planning and  Standards, 1976.
                                   A-8

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-------
        TABLE A.5  EXAMPLES OF MANAGEMENT PRACTICES FOR URBAN AREAS
      BMP
                        % EFFECTIVENESS
                     OF POLLUTANT CONTROLS
   COSTS
 Structural:

1. retention
   basins
2. in-line storage
3. in-line screens
4. porous pavement
 Nonstructural:

5. streetsweeping
6. good housekeeping
   practices
7. land-use planning;
   site planning
                     80-100% (wet)
                     60-90%
                     variable (sediment  only;
                     depends on screen size)

                     variable (depends on  pore
                     size)
                     10-55% (sediment)
                      0-20% (other pollutants)
                     low (sediment);
                     medium (other pollutants)
                     With effective enforcement

                     variable
low to high
($100-1.500/acre
served) [a,b,c,d]

medium to- high
($1,000+/acre
served) [b,c]

medium to high [e]
high (where old
pavement must be
replaced) [b]
$l,000+/acre
served (labor
intensive) [c]

low [f]
low to medium
[b,c,f]
Sources of Cost Information:

a.
Final Report of the Nationwide Urban  Runoff Program, Final
Vol. 1, EPA, Water Planning Division,  December 1983.
            Draft,
b.
d.

e.


f.
Nonpoint Source Runoff:   Information  Transfer System,  EPA,  Office  of
Water, July 1983.:

William   6.  Lynard,   et  al.,   Urban Stormwater Management  and
Technology—Case Histories, EPA, Office of Research and Development,
August 1980.

Unpublished studies, EPA, Water Planning Division.

Urban  Stormwater  Management  and  Technologies:   Update and Users'
Guide, EPA, Office of Research and  Development, September 1977.

Toups   Corporation,   Nonpoint Source  Pollution Control Strategy for
Colorado,  Draft,  Prepared  for  State  of Colorado,  Section 208
Coordinating Unit, 1977.

-------

-------
               FIGURE A.I  COST  EFFECTIVENESS OF URBAN  BMPS
                          IN ORANGE  COUNTY, FLORIDA
  REMOVAL      % 0
  EFFICIENCY
                      800,
TOTAL
NITROSEN
TOTAL
PHOSPHORUS
SUSPENDED
SOLIDS
Source: William G. Lynard, et. al., Urban Stormwater Management  and  Technology-
        Case  Histories, EPA, Office of  Research  and Development, August 1980.
                                    A-10

-------

-------
            APPENDIX B
     Federal and State Programs
to Control Nonpohrt Source Pollutants

-------

-------
   TABLE  B.I   STATE PROGRAMS ADDRESSING AGRICULTURAL NONPOINT  SOURCES'
Yearly
Mature of Program Amounts of

At
AH
AZ
AR
CA
CO
CT
OE
n.
CA
HI
10
IL
IN
IA
KS
HI
w
Voluntary Regulatory
•

•
•
• •
•
•
•
•
•
•
•
• •
•
•
•
•
•
Cost-Share Monies






1980
• 130.000 - 160.000




1983
• U million
1981
• J.S mill ion
1981
O $.4 mill ion
1983
• $8.5 mill ion
1983
• H.2S Billion


EPA-
Approved
Principal State Agency 208
Responsible for Program Program
Department of Environmental •
Management

Department of land. Water
Commission •
Soil a Water Conservation
Commission •
State Water Resources
Control Board •
Soil Conservation Board •
Council of Soil and
Water Conservation • •
Department of Natural
Resources and Environmental
Control. Department of
Agriculture •
Soil and Water
Conservation Districts •
Environmental Protection Division.
Department of Natural Resources •
IS Soil and Water
Conservation Districts •
Soil Conservation emission
and Soil t Water Conservation
Districts •
Department of
Agriculture, and Soil t
Water Conservation Districts •
Soil and Water Conservation
Committee. Department of
Natural Resources •
Department of Soil Conservation.
Department of Water. Air. and
Waste Management •
Department of Health and
Environment •
Division of Conservation of
Department of Natural Resources
and Environmental Protection •
Uater Pollution Division
Department of Natural Resources •
Pollution
Abatement
Authority for
Agriculture?
•
*
•
•
•
•
•
.
•
•
•
.
.
.
•
Unclear
•
No
Authority
Bureau of Water Duality Control.
neoartment of Environmental
,£ 0 o Protection • •
HO
MA
wr
*,
• •
•
• •
•
1983
• S5 million


1983
• SI .5 mill ion
Department of Agriculture.
Department of Health. State
Soil Conservation Committee.
Office of Environmental Prograns •
Department of Environmental
Quality Engineering •
Soil Conservation Districts.
Department of Natural Resources •
Soil S Water Conservation Board •
•
• •
•
•
•Sane of these progrws are designed for controlling soil erosion; others are designed for water quality.
                                          B-l

-------
TABLE B.I
                             STATE  PROGRAMS  ADDRESSING  AGRICULTURAL NONPOINT SOURCES

                                                      (CONTINUED)
    future of Program
                                                  Principal  State Agency
          Voluntary  Regulatory  Cost-Share
                                                  Responsible for Progrn
                                                  Conservation emission
                                                  Soil  and Water Conservation
                                                  Natural Resources
                                                  Natural Resources emission
                                                 Soil Conservation Districts
                                                 State Conservation Com it tee
                                                 State Soil Conservation  Comlttee
                                                 Soil  and Water Division of
                                                 Natural Resources
                                                 Department of Environ*
                                                 mental Conservation
                                                 Conservation Cow 1ttee
                                                Department of Healtd
                                                Division of  Soil I water
                                                Conservation Districts.
                                                Department of Natural  Resources
                                                Oklahoma Conservation  emission
                                                Department of Agriculture
                                                Bepartment of Environ-
                                                State. Conservation Cmlttee
                                               Department of Water and
                                               Natural  Resources, Soil
                                               Conservation Districts
                                                       ?f V«ter Management,
                                                    	  —- — w«»i  nwiBuiBiii.il

                                               Department of Public Healtn
                                               Texas  State Soil and Water
                                               Conservation Board
                                               Soil Conservation District]
                                               Agency of Environ-
                                               Soil and Water Conservation
                                              Soil Conservation Districts
                                              Department of Natural  Resources
                                              nepartaent of Natural  Resources
                                              State Conservation  emission
                                              Environmental  Duality Board
                                             Department of. Conservation and
                                             Cultural Affairs
-V bond  progrw for purchase of prim, aaHcultur.l lands,  a

S8ureM:
                                                       of
                                                         ,
                                                     
-------
      TABLE  B.2   USDA PROGRAMS  AFFECTING  AGRICULTURAL  NONPOINT  SOURCES
Agency
AgrlcuUuril
Stabilization A
Conservation



Agricultural
Research
Service (AR5)
Fim«rs Hone
Administration
(FmHA)


Extension
Service (ES)
Soil
Conservation
Service (SCS)


Conservation
Program
Agricultural
Conservation
Program (ACP)

Emergency
Conservation
Program
Experimental
Rural Clean
Water Program
(RCUP)
Agricultural
Watershed Loans
Soil and Water
Loans to
Individuals
Irrigation.
Drainage
and Other
Land and
Water
Conservation
Technical
Assistance
Resource
Conservation
and Development
Watershed
Protection
and Flood
Protection Act
(Public Law 56S)
Date
Enacted
1436
1*7*
107*
WO
1935
19S4
1961
1072
1078
1035
10«
195*
Type of
Program
Cost-share
Cost-share
Cost-share
Cost- share
Research
Loans
Loans
Loans
• Extention/
Education
Technical
Assistance
Technical
Assistance
Technical
Assistance/
Project
Grants
Program Description
Assists farmers In shifting cropland fron soil-depleting
crops to soil-conserving crops, and 1n Implementing soil-
building or conserving practices. Special ACP funds are
directed at achieving water quality goals.
Model Implementation Program was a demonstration program for
implementation and Mintenance of BHPs to solve agricultural
water quality problems.
Aids farmers in rehabilitating cropland damaged by floods or
droughts.
Obtains Implementation and Maintenance of WPj on fares to
control nonpolnt water pollution.
Performs and provides research on soil and water conservation
and water quality.
Deals with participants 1n Public Law 566 small watershed
projects protecting, developing, and using the land and water
resources from these watersheds.
Assists fanners in carrying out projects for soil
conservation and improvtment, water development and
conservation, and pollution abatement.
Aids organized associations of farmers in building or reno-
vating water systems that serve several farms.
Provides relevant, comprehensive education in each state
to fanners on subjects Important to agriculture, such as
soil and water conservation.
Provides technical assistance to farmers, conservation
districts, and urban areas regarding BHPs for soil and
water conservation.
Assists multi-county areas with plans for land conservation
development to benefit rural communities, such as water
quality nanagement, controlling agricultural pollution,
disposing of solid wastes, and developing wildlife habitat
and recreational areas.
Provides technical assistance and funds to local
organizations for protecting, developing, and utilizing small
watersheds, particularly for purposes of flood prevention,
agricultural 'water management, municipal and Industrial water
supply, and recreation, fish and wildlife resource
development and protection. In recent years, increasing
enphasis has been placed on land treatment for water quality
protection purposes.
Sources:
1.  P.. Meil  Sampson. Farmland or Wasteland: A Tixe to Choose (Rodale Press; Emmaus, Pennsylvania. 19R1), pp. 381-385.
2.  Soil and Water Resources Conservation Act: 19BO Appraisal. Review Draft 1. USItt, pp. 8-16, 8-18.
3.  Catalogue of Federal Domestic Assistance. Executive Office of the President. Office of Management and Budget. 19R3.
                                                   B-3

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-------
  TABLE  B.3   SUMMARY  OF  STATE SILVICULTURAL WATER  QUALITY  MANAGEMENT PROGRAMS
 State
              Quasi-                Cost       No    Apjirox. State Program
Regulatory   Regulatory  Voluntary   Sharing   Program     Cost ($) (FY'82)
Add-On Cost of
BMP Compliance
(J/1000 bd-ft.)
 AL
 AK
 AZ
 AR
 CA
                                                            75.000
                                                           500,000
CO
CT
DE
FL
GA
HI
10
IL
IN
IA
KS
KY
LA
HE
HO
HA
HI
HN
HS
HO
HT
HE
NV
NH
NJ
NM
NY
NC
                                                         3,900,000
                                                            80,000
                                                            25,000
                                                            27,500
                                                            90.000
                                                              -0-
                                                           125.000
    55.00
     1.50
                                                              -0-
                                               B-4

-------

-------
                          s-a
1N3W39VNW
3ivis
                                                      £'9 3iavi

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-------

-------
          TABLE B.6   STATUS OF EFFECTIVE LEGISLATION
             FOR  SEDIMENT CONTROL  IN CONSTRUCTION
Introduced to
State Law Drafted Legislature Enacted
AL
AK
A2
AR •
CA
CO
CT • •
re • • •
FL
GA • • •
W • • •
ID • •
IL • • •
IN
IA • • •
KS •
KY
LA • • (1)
ME
MD • • •
MA
MI • • •
MN « •
MS • •
MO
MT • • •

Introduced to
State Law Drafted Legislature Enacted
NE
NV
NH
NJ • • •
NH
NY • •
NC • • •
NO • •
OH • . • •
OK
OR • •
PA • • •
RI •
SC • •
SO • • •
TO
TJt
UT
VT
VA • « •
HA •
UV • •
VI • •
VY
PR
VI • •
(1) Governor's executive order assigns sediment control responsibility to conservation districts.
Sources: Nonpolnt Source Runoff: Information Transfer System, EPA, Water Planning Division. July 1983.
Unpublished Information from EPA.
                              B-8

-------

-------
APPENDIX C




 Glossary

-------

-------
                                   GLOSSARY
Acid Mine Drainage



Adsorption


Algae



Aquatic


Aquifer


Available Nutrient
Bacteria
Best Management Practices
(BMPs)
Bioaccunulation
Buffer Strip
A  principal  water  pollutant  from mining  opera-
tions;  acid  water  forms when  water  comes  into
contact with exposed mined wastes and ores.

The  attachment  of the molecules  of a  liquid  or
gaseous substance to the surface of a solid.

Primitive nonvascular plants,  having one or many
cells,  usually  aquatic   and  capable  of  fixing
carbon dioxide by photosynthesis.

Plants  or  animal  life living  in, growing  in,  or
adapted to water.

An underground bed  or layer of earth,  gravel,  or
porous stone that contains water.

That portion of  any  element or  compound  (such  as
phosphorus and nitrogen)  in the  soil that  can  be
readily absorbed  and  assimilated  by growing
plants.

Microscopic organisms, generally free of pigment,
which  occur  as single cells,  chains,  filaments,
well-oriented groups, or amorphous masses.

Methods, measures, or practices to prevent  or re-
duce water pollution, including,  but not limited
to,  structural  and  nonstructural  controls  and
operation and  maintenance procedures.    BMPs .may
be applied  before,  during,  or after  pollution-,
producing activities  to  reduce or eliminate  the
introduction of pollutants into water bodies.

The process by which the concentration  of a given
chemical in body  tissues  increases  exponentially
through  the   food  chain,   as   contaminated
organisms   are  consumed  by  others,  and the
chemical becomes incorporated  into the tissues  of
each consumer.

Strips of grass  or  other erosion-resistant  vege-
tation  between  a waterway  and an  area of  more
intensive land use.
                                       r-i

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   Conservation Tillage
   (Reduced Tillage)
  Contour Fanning
  Contour Strip Cropping
  Conventional  Tillage
 Detention Basin
 Dissolved Oxygen (DO)

Diversion Structures
Erosion
   Farming practices, such as reduced  plowing,  that
   cause  less  disruption  of the  land  surface  than
   does conventional  tillage.   Common  practices
   include plow  planting,  double-disking,  chisel-
   plowing, and strip tillage.

   Conducting   field  operations-such  as  plowing
   planting, cultivating, and harvesting-across the
   slope and contour of hilly land.

   Farming operations performed on  the  contour with
   crops  planted  in  narrow  strips,  alternatino
  between row crops and close-growing forage crops?

  Standard method  of preparing  a  seedbed by  com-
  pletely inverting the soil and  incorporating  all
  residue  with a moldboard  plow.   This is done to
  A structural  BMP consisting of ponds constructed
  to  temporarily  store water so that settlement of

  where.        "^  °CCUr  bef°re water  moves else~

  The amount of free  oxygen  dissolved  in  water  and
  readily  available  to aquatic  organisms.    it  is
  usually  expressed  in milligrams per  liter  or  as
  the percent  of  saturation.    Low  concentrations
  can result  from the decomposition of  excessive
 amounts  of  organic matter,  a  process  that
 consumes DO and  therefore limits aquatic  life.

 Channels such  as  dikes,  ditches,  and  terraces
 that route sediment- laden  water  at a nonerosive
 velocity into  basins or  other  safe  disposal
 areas .

 The  wearing away of a land  surface   by wind  or
 water.   Erosion  occurs naturally from weatherinq
 or runoff but can be  intensified by land  clearing
 practices.   Sheet erosion occurs when  water runs
 off  in  unbroken  layers   over  the  soil  surface-
 rill  erosion  occurs when water  runs  off  in
 incisions  less  than  12 inches  deep through the
HolV  ?[d  Hl11^ Ueros1on  results in trenches
deeper  than 12 inches in  the soil.
                                     C-2

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Eutrophication
Fecal Bacteria
Field Cropping

                *


Filter Structures



Grassed Waterway





Groundwater


Groundwater Recharge



Heavy Metals
Infiltration

In-Line Screens
The  addition  of  nutrients  to  a  body  of  water.
This occurs naturally as part of the normal aging
process of  many  lakes; however,  the  process may
be accelerated by human activities that result in
excessive nutrient  inputs that  promote abundant
growth  of algae  and  other  aquatic  plants.   As
these  die and decompose,  much of  the dissolved
oxygen  in the water  is  consumed,  making the lake
uninhabitable for the  previous diversity of fish
and other aquatic life.

Intestinal  bacteria that are  associated  with
human  and  animal wastes;  they  are  indicator
organisms used to detect the presence of possible
pathogens in water.  They may  enter  water  bodies
from such nonpoint sources  as  manure runoff, from
fields, animal  grazing  near streambanks,  or
leaching from septic  tanks.

Farming  practice that  involves  planting  fields
with grain  plants (such as  hay,  wheat, or oats)
that do not require seeded rows.

Structural BMPs,  such  as  stone and gravel  piles,
sandbags, and straw bales,  that  are  used  to slow
water velocities in order to reduce erosion.

A natural or constructed  waterway (usually broad
and  shallow,  covered with  erosion-resistant
grass)  that is used to conduct surface water from
cropland.

The supply  of  fresh  water  that forms  a  natural
reservoir under the earth's surface.

The natural renewal  of ground water  supplies  by
infiltration through  the soil  of rain or  other
precipitation.

Metallic  elements  such  as mercury, chromium,
cadmium,  arsenic,  and  lead, with  high molecular
weights.  At low concentrations,  they can  damage
organisms; heavy metals tend to  bioaccumulate  in
the food chain.

The downward entry of water into, the  soil.

A  structural   BMP in  which screens   are  placed
within  pipes and sewers  in  order to  filter  the
particulate matter from the water.
                                      C-3

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   In-Line Storage
  Inorganic


  Integrated  Pest  Management




 Irrigation Efficiency



 Irrigation Return Flow



 Leaching



Livestock  Exclusion



Nitrogen
Nonpoint Source
Nonstructural BMPs
                                A  structural  BMP  that  utilizes  up-sized  sewers

                                              *   C°ntro1  Water f^w directions ^o
                                                r  CAn be  stored  Wlth1n  the  sewer
                                It 1mrf,ii   p?11utants to ^ttle out  before
                                it is gradually released.


                                SSS?.°f  Che"1Cal  COTPounds  not containing
                                                             useful  techniques-

                                                        *ra1'  phySlca1'  and
                                                     custom-'"ade .pest  control
                               The amount of water  stored  in  the  crop root  zone

                                                          °f  1>r1ga?1on     "
                               waer.
                                            .subs"r^ce water  that  leaves  the
                                         lowlng   the  "PPHcatlon  of  irrigation
                             A chemical  element,  commonly used  in  fertilizer

                             a      nutr6nt   Wh1ch  1s  a1so  a  component of
                                             as  one  of the  major  nutrients
                                                 fOWth» 1t "n Vomote alga
                             rn   off  n         ter body eutrophication if it
                             runs  off  or  leaches  out  of the  surface
                             Available  nitrogen  is  a ftrm^lX    '
                             usable  for plant growth (NO 3 or NH  ) .


                                      fS2UrCeu°f W3ter P°llutl'°n that does  not
                             good housekeeping, and mulches  and  ground^Svers

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 No-Till  (Zero TUT)
 Nutrients
 Organic Materials




 Pathogens

 Percolation


 Pesticide




 Phosphorus




 Potassium



 Retention Basin



 Revegetation



Row Cropping



Runoff
 A soil  management practice  of  planting a  crop,
 without  prior  seedbed  preparation,  into  an
 existing  sod,  cover  crop,  or  crop  residues;
 planting is done  by  punching a  hole  or slot  in
 the  soil in which to place  the seed.   Subsequent
 tillage  operations  are  also  eliminated,  and
 chemical  weed  control  is generally  used.

 Elements  or  substances  such as  nitrogen  and
 phosphorus  that are  necessary for plant growth.
 In water bodies, large  amounts promote  excessive
 growth  of aquatic  plants and cause  eutrophication
 of the  water body.

 Carbon-containing  substances in  plant  and  animal
 matter.   High concentrations  of  these are  often
 found  in  industrial and  municipal wastewaters  and
 in surface  runoff.

 Disease-causing  organisms.

 Downward  flow  or filtering of water through  pores
 or spaces in rock  or soil.

 Any  substance  used to  control pests ranging  from
 rats,  weeds,  and   insects   to  algae   and  fungi.
 Some  pesticides  bioaccumulate in the  food   chain
 and can  contaminate the  environment.

 One  of  the  primary nutrients  required  for the
 growth  of aquatic  plants  and  algae.   Phosphorus
 is often  the  "limiting"  nutrient  for  the growth
 of these plants.   (See Nitrogen)

 A component of fertilizer  that can  contribute to
 water body eutrophication from excessive nutrient
 loadings.  See Nitrogen.

 A structural  BMP that is an  area with  no outlet
 device  and  that  stores  runoff water in  order to
 allow pollutants to settle out.

 The planting of  ground  cover  on  highly erodible
 and  marginal   lands  as  a   means  of  preventing
 further erosion.

 Farming practice that  plows  the land  in straight
 rows, thus enhancing the  credibility of  the  land
 and  promoting  leaching.

Water from  rain, snow melt, or   irrigation  that
 flows  over  the  ground  surface   and  returns  to
streams.  It can  collect pollutants from air  or
land  and carry  them to  the receiving waters.
                                      C-5

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   Salinity


   Sediment
   The concentration of salt in water.
  Silviculture
  Soil Stabilization
  Structural  BMPs






  Suspended Solids
 Tailings




 Terraces






Tillage




Topography
                                mru (such as  Sllt*  sand»  or
                                matter)   that  has  been  moved  from  its  site of

                                origin  and  has  settled  to  the bottom of a


                                s^pnTSre, °r fter body'  *"ss1ve «?unts of
                                sediment  can  clog  a watercourse  and  interfere

                                with  navigation   fish ^migration  and  pawning!

                               •?n  th.   d.1$turb«d.  sediment  can  be resuspended

                                tuVb'dlty       C°1Unnt  WHere  U   cO"fU>«rt«  to

  A  "'"structural   BMP  that  involves  the  use  of



    VCehaVes%t =?  ^SUV^^Slj


                                -
  Devices  constructed   for   pollution   control

  purposes,   such   as  detention/retention  basin?

  diversion structures, or filter structures.


  Solids  floating  in  the  water  column which


  ?r«*.ly impart  3  Cl°Udy  aPPe^ance (turbidity)

  SIM.   '  SeWa9e' °r  °ther  "fluids.   Suspended
  solids  are  measured  as the  amount  of material
 retained on standard filters.            material
                              ISirate j*f ^P11.  loss that wil1  still allow for
                              soil  productivity; a  standard  by which  soil

                              erosion  control  rather than water quality control
                              is  measured.
     nnh°f raw "Ia*er1al*  or  waste  separated out
 during  the  processing  of mineral ores.
                        -      C0ntour  of         -
thc       •        -°r dlvert runoff and sediment,
thus reducing erosion.



         .         preparat1on»  and   cultivation



The  physical  features  of  a  land  surface  area

including relative elevations  and the  position of

natural  and man-made features.
                                     C-6

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Turbidity


Watershed
Haziness or  cloudiness  in water due to suspended
silt or organic matter.

The  area  of land  that  drains  into a particular
watercourse or water body.
Sources:

1.   Common Environmental Terms, U.S. EPA, Office of Public Affairs, May 1982.

2.   Water Quality Field Guide,  USOA  Soil  Conservation  Service,  September
     1983.

3.   Anne Weinberg  et.  al.,  "Nonpoint Source  Pollution:   Land  Use  and Water
     Quality,"  University  of  Wisconsin—Extension  Service,   Publication  No.
     G3025, 1979, pp. 45-48.

4.   Federal Register, Vol. 44, No. 101,  May 23, 1979, p. 30033.
                                     C-7

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