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MOUNTAIN HOUSE PROPOSED ALTAMONT HEIGHTS TENfAnVE MAP 4. ENviRoNMENTAL CuEcKusr <br /> 4.8 HYDROLOGY AND WATER QUALITY <br /> J <br /> During construction of the proposed project, grading operations would result in the removal <br /> of vegetation and topsoil and create the potential for erosion of on-site soils and off-site <br /> siltation. The project applicant would have to comply with the Phase I National Pollutant <br /> Discharge Elimination System(NPDES)permit program. Under the program, developers of <br /> projects that disturb five acres or more of land are required prepare a SWPPP to implement <br /> BMPs to reduce the off-site impacts of sediment-laden runoff(EDAW, 2005b). In addition, <br /> MHMP Policies 4.2.2(a) and(b)requires control of runoff, erosion, and sedimentation during <br /> grading. MHMP Policy 6.8.3(b)requires that adequate efforts be made to control or <br /> eliminate soil erosion and sedimentation associated with construction activities. <br /> Upon completion of construction of the proposed project, existing WQB No.I would treat <br /> storm water runoff from the proposed project prior to discharge to Mountain House Creek <br /> and Old River. WQB No. I would settle out sediment and particulates from runoff, as well <br /> as trace metals,nutrients and hydrocarbons, as these pollutants tend to adhere to soil particles <br /> (EDAW, 2005b). <br /> MHMP Policy 15.7 (Implementation [a]) states that Mountain House(i.e.,the MHCSD) shall _ <br /> implement a long-term Storm Water Management Plan(SWMP) to reduce the discharge of <br /> pollutants from the storm drain system to the maximum extent practicable and protect water ' <br /> quality in the receiving waters. At a minimum,the MHMP states that the SWMP shall — <br /> include the following elements: (1)public education and outreach on storm water impacts; <br /> (2)public involvement/participation; (3)illicit discharge detection and elimination; <br /> (4)construction site storm water runoff control; (5)post-construction storm water <br /> management; and(6)pollution prevention/good housekeeping for municipal operations. <br /> West Yost and Associates prepared a SWMP for the MHCSD in April 2001. The SWMP <br /> identifies a list of water quality BMPs and provides recommendations for the MHCSD's <br /> storm water quality ordinance. A storm water quality ordinance has not been adopted by the <br /> MHCSD, but will be when the State of California designates the Mountain House <br /> Community as a Phase II MS4 area(Machado Chiclets,2006). MS4 is the State Water <br /> Resources Control Board's designation for municipal separate storm sewer systems. Phase II <br /> applies to small municipalities with populations less than 100,000. <br /> Mitigation Measures <br /> With implementation of the mitigation measures and policies cited above,there would be no _ <br /> violation of any water quality standards or waste discharge requirements. The impact of the <br /> proposed project would be less than significant. No additional mitigation measures are <br /> required. _ <br /> b) Substantially deplete groundwater supplies or interfere substantially with groundwater <br /> recharge such that there would be a net deficit in aquifer volume or a lowering of the <br /> local groundwater table level(e.g., the production rate ofpre-existing nearby wells <br /> would drop to a level which would not support existing land uses or planned uses for <br /> which permits have been granted)? <br /> No groundwater would be used for the proposed project's water supply, so the project would <br /> not substantially deplete groundwater supplies. The Initial Study for the SPIHEIR states that <br /> 443 <br />