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Kollmorgen Letter 20120517Edward S. Huntley, P.E. Director May 17, 2012 Mr. Jay P. Viamari, P.E. Project Manager Tighe & Bond 53 Southampton Road Westfield, MA 01085 ClTY OF NORTHAMPTON, MASSACHUSETTS DEPARTMENT OF PUBLIC WORKS 125 Locust Street Northampton, MA 01060 413-587-1570 Fax 413-587-1576 Re: Kollmorgen -Stormwater Permit -Remaining Compliance Issues Dear Mr. Viamari: The Northampton Department of Public Works (DPW) has received your April 16, 2012 letter and attached Table l, Water Quality Volume Provided describing how the outstanding items for compliance with the Stormwater Management Permit for the project will be corrected. The DPW has the following comments: Recharge Volume The proposal to raise the grates for catch basins 17 and 18 is an acceptable solution to provide capacity that meets minimum water quality volume for the project in compliance with Standard 3 of the Massachusetts Stormwater Management Standards. In addition the DPW requests that during future maintenance and reconstruction of the bioretention areas, the water quality volumes of these structures be maintained in accordance with the "Actual Water Quality Volume" specified in Table 1, Water Quality Volume Provided (rev. 04-2012) prepared by Tighe & Bond. For example, if the bioretention areas require additional mulch or stone or full reconstruction including replacement of soil media and plants, the reconstructed volume of each of the bioretention areas will be no less than the Actual Water Quality Volume Provided in Table 1. Erosion and Sediment Control The site was inspected on September 22 and 23, 2011 by Jay Viamari, P.E., Tighe & Bond and John Weatherwax, Kollmorgen and documented in 2011 Inspection and Maintenance Review. It was noted that erosion repair and/or sediment removal was required in many of the swales and bioretention areas. In the April 16, 2012 letter from Jay Viamari, PE, it was noted that "The contractor for the project is planning to remove the sediment that has migrated into the bioretention areas." Sediment that has migrated into the bioretention systems must be removed as soon as possible to maintain the function of these systems and avoid costly reconstruction if they fail. The DPW requests written confirmation that the maintenance work on the swales and bioretention areas has been completed. Pg.1/2 The swales and bioretention areas have experienced numerous issues with erosion and ineffectiveness of the wood mulch. Part of the problem may be that the original design called for grass swales which were constructed with plantings and mulch instead of grass. The mulch that was installed may not be appropriate for use in swales. The use of stone and further establishment of the vegetation will certainly improve the problem, but erosion and sediment control in the swales and bioretention areas must continue to be monitored and corrected in a timely way. Record Plans and Next Steps At the completion of work proposed to raise the catch basin grates, please submit final Record Plans for DPW approval that include all changes made to the stormwater system that were undertaken to address the issues described above. Record Plans must include a professional engineer stamp with signatures and dates that are consistent with the latest revision dates on the record plans. Please· notify Doug McDonald at the DPW (587-1582) regarding the construction schedule and if there are questions. cc. Charlene Pellegrino, VP, Kollmorgen Electro Optical Andrew Crystal, LEED AP, Western Builders John Weatherwax, Kollmorgen Louis Hasbrook, Northampton Building Department Pg.212