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The California Water Boards' Annual Performance Report - Fiscal Year 2016-17
ENFORCE: NPDES WASTEWATER | 
    
      
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MEASUREMENTS
    
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WHAT THE MEASURE IS SHOWING
WHY THIS MEASURE IS IMPORTANT
The Water Boards identify priority violations based on  criteria identified in the Water Quality  Enforcement Policy .  A priority  violation represents a greater threat to water quality than other violations. Violations are detected through reviewing of  self monitoring reports, inspections and complaints. The enforcement policy  requires that the Water Boards ensure that all violations are documented in the  appropriate Water Board data management system. According to the enforcement  policy all violations will be entered within 10 days of discovery of the  violation. Identification and documentation of violations is important to  ensure that water quality is protected and that serious violations and those  high priority violations receive an adequate enforcement response. Tracking  violations and compliance rates over time is necessary to assess the  effectiveness of the Water Boards enforcement policies and actions.  To the greatest extent possible, Regional  Water Boards shall target entities with class I priority violations for formal  enforcement action.
TECHNICAL CONSIDERATIONS
- Data Source: California Integrated Water Quality System CIWQS. Extracted on:
 - Unit of Measure: Violations documented.
 - Data Definitions: Violations with status "violation".
 - References: The Water Boards' NPDES Program
Public Reports and Data
Office of Enforcement
The Water Boards' Enforcement Policy 
GLOSSARY
- National Pollutant Discharge Elimination System (NPDES)
 - The NPDES permit program (Section 402 of the Clean Water Act ) controls water   pollution by regulating point sources that discharge pollutants into waters of   the United States. Point sources are discrete conveyances such as pipes or   man-made ditches. Individual homes that are connected to a municipal system, use   a septic system, or do not have a surface discharge do not need an NPDES permit;   however, industrial, municipal, and other facilities must obtain permits if   their discharges go directly to surface waters. US EPA has approved the Water   Board's program to issue NPDES permits.
 - Class I Priority Violations
 - Class I priority  violations are those violations that pose an immediate and substantial threat  to water quality and that have the potential to cause significant detrimental  impacts to human health or the environment. Violations involving recalcitrant  parties who deliberately avoid compliance with water quality regulations and  orders are also considered class I priority violations because they pose a  serious threat to the integrity of the Water Boards’ regulatory programs.
 - Class II Violations
 - Class violations  are those violations that pose a moderate, indirect, or cumulative threat to  water quality and, therefore, have the potential to cause detrimental impacts  on human health and the environment. Negligent or inadvertent noncompliance  with water quality regulations that has the potential for causing or allowing  the continuation of an unauthorized discharge or obscuring past violations is also a class II violation.
 - Class III Violations
 - Class III violations are those violations that pose only a minor threat to water quality and have little or no known potential for causing a detrimental impact on human health and the environment. Class III violations include statutorily required liability for late reporting when such late filings do not result in causing an unauthorized discharge or allowing one to continue. Class III violations should only include violations by dischargers who are first time or infrequent violators and are not part of a pattern of chronic violations. Class III violations are all violations that are not class I priority or class II violations.
 
Category 1 pollutant  | 
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Oxygen  Demand Solids Nutrients  | 
    Detergents  and Oils Minerals Metals Aluminum, Cobalt, Iron, Vanadium | 
  
Category 2 pollutant – Category 2 pollutants as defined by USEPA:  | 
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Metals (all forms) - Other metals not specifically listed under Group I Inorganics - Cyanide, Total Residual Chlorine Organics - All organics are Group II except those specifically listed under Group I. | 
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| Other effluent violation – Any violation of an effluent requirement not cover under Category 1 or Category 2. | |
| Chronic Toxicity – Violation of a chronic toxicity effluent requirement. | |
| Acute Toxicity – Violation of an acute toxicity effluent requirement. | |
| Violation of Non-effluent Permit Condition – Violation of any permit condition not pertaining to effluent requirements. | |
| Reporting – Late report, failure to submit a report, or a report that is either not complete or contains errors. | |
| Monitoring – Failure to conduct required monitoring | |
| Compliance schedule – Failure to comply with a compliance schedule in a permit. This does not include schedules in an enforcement order likes a Cease & Desist and Time Schedule Orders. | |
| Sanitary Sewer Overflow – Any spill from a sanitary sewer collection system or pump station. | |
| Unauthorized Discharge – Any discharge other than allowed by WDRs that is not a sanitary sewer overflow. | |
| Unregulated Discharge – Discharge from a site not currently under WDRs. | |
| Groundwater – Any release to groundwater that violates permit conditions or basin plan prohibitions. | |
| BMP – Failure to implement proper best management practices. | |
| SWPPP – Failure to complete or update a stormwater pollution prevention plan. | |
| Failure to obtain permit – Failure to obtain the appropriate permit prior to discharge or regulated activity. | |
| Other Codes – Violations of codes sections other that the California Water Code. | |
| Enforcement Action – Failure to comply with a previous enforcement order by not meeting its requirements, its time schedule, or failure to pay penalties. | |
| Basin Plan Prohibition – Violation of any basin plan prohibition. | |
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