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HomeMy WebLinkAboutDocumentation_Miscellaneous_Tab 06_7/31/2019_EAC (4)NOTES FOR TEQUESTA ENVIRONMENTAL ADVISORY COMMITTEE MEETING ON 7/31/19 — ROBERT SHAW - On 7/29, 1 spoke with Ben Hogarth, the Community Affairs Liason for the City of Stuart pursuant to their recent Fertilizer Ordinance. He said they worked on it with other adjoining communities and Counties. He mentioned that he believes the exemptions (golf courses, specialized turf areas, commercial applicators properly trained) in their ordinance are similar to most other communities. - On 7/29., 1 spoke with Terry Gibson. Terry is a local environmental advocate and outspoken proponent of coastal conservation. I asked him about fertilizer ordinances and he referred me to Dr. Peter Barile. According to Terry, Dr. Barile was instrumental in helping the state draft fertilizer ordinance guidelines. I have left a message/email for Dr. Barile. - On 7/30, 1 spoke with Ron Delaney from the Jupiter town council. We spoke about Jupiter's fertilizer ordinance as well as the Reasonable Assurance Plan (RAP),. as mentioned in the memo I've included from Jupiter's Director of Utilities David Brown dated 10/4/18. Ron mentioned how important it was for the Village of Tequesta to get involved with the other local communities *7-3 1-1 q &6 5mev hawdAa- jh' '� j in the RAP. Finally, Ron recommended I speak with David Brown., Jupiter's Director of Utilities. - On 7/31, 1 spoke with Mr. Brown. I have included an email summary from Mr. Brown detailing the items we talked about and their priority in his opinion. We first spoke about Jupiter's fertilizer ordinance. He said it was drafted and adopted after reviewing 4 or 5 fertilizer ordinances from nearby communities. He said that town staff also met with local business owners (landscape/lawn care companies) to garner their input. We also touched on some of the exemptions in their ordinance, and the rationale behind them. We also talked about the Reasonable Assurance Plan (RAP),. and he emphasized how important he thought it was for the Village of Tequesta to get involved asap. Mr. Brown mentioned the Loxahatchee River Peeservation Initiative (LRPI). He said that LRPI is a great way to obtain grant funding for local water quality enhancements like storm water upgrades and filtration systems. Finally, I asked Mr. Brown if he would be open to speaking with us as a committee in the future. He said he would be happy to do so. Bob Shaw From: David Brown <David B@j u piter.fl.us > Sent Wednesday, July 31, 2019 10:53 AM To: 'Bob Shaw' Cc: Ron Delaney Subject: Fertilizer Ordinance / LRPI / RAP Attachments: Approval of Ord. 21-18, 2nd Rdg.pdf Bob, It was a pleasure speaking with you and I look forward to working with the Village of Tequesta and your new environmental committee going forward. Here are some thoughts and follow up to our discussion: 1. Rainy Season Ban on Fertilizer Applications— I have attached our final adopted ordinance and we are working diligently now on outreach, education and compliance. Although FDEP does have a "model" ordinance, I would suggest you consider the Town's as well as Martin County's as go-bys. 2. Loxahatchee River Preservation Initiative (LRPI) — Please visit www.irpi.us for further details. I would also suggest that someone from the Village become a committee member and attend the meetings. The LRPI is a great way to obtain grant funding for local water quality enhancement projects. Our next LRPI meeting is'August 12, 2019 at noon. The LRPI meets our Water Utility Field Offices at 3133 Washington Street Oust south of the entrance to Jupiter Community Park). 3. Reasonable Assurance Plan (RAP) —The Loxahatchee River Management Coordinating Council (LRMCC - advisory committee to the SFWMD) is the working group which has been the mechanism for all entities in the river basin to address the water quality impairments through the formation of a Reasonable Assurance Plan with FDEP staff. I know it would be appreciated by all others involved if the Village could immediately infuse itself in the process as a void in the plan remains. As mentioned, work that is probably already �eing done by the Village such as street sweeping, the proposed fertilizer ordinance, stormwater improvements all could be quantified and help achieve the ultimate goal of eliminating impaired waters within the Loxahatchee. I must stress that time is of the essence relative to the RAP. I would suggest that Village staff contact Julie Espy with FDEP to determine the best way to get caught up on the RAP process. Julie is great to work with and I am sure she will be pleased that the Village is back in the mix. Her email address is J u lie. Espy@dep.state.fl. us. According to my calendar, the next scheduled meeting of the LRMCC is September 23, 2019 at 2 pm. The meetings are normally held at the River Center on USI at Burt Reynolds Park. Take care, David From: Bob Shaw [maIlto:shawbob20@gmall.com1 Sent: Tuesday, July 30, 2019 4:30 PM To: David Brown Subject: Fertilizer Ordinance TOWN OF JUPITER DATE: October 4, 2018 TO: Honorable Mayor and Members of the Town Council .t THRU: Matt Benoit, Town Manager Weq FROM: David L. Brown, Director of Utilities SUBJECT: Ordinance No. 21-18 Prohibiting the Rainy Season Application of Fertilizers, 2nd Reading EXECUTIVE SUMMARY: Proposed code amendment prohibiting the application of fertilizers during the rainy season to mitigate nutrient -related water quality impairments. In 2013, the Town Council adopted numerous code amendments aimed at promoting the use of "Florida - friendly fertilizer use" as nutrient pollution is considered one of most challenging local environmental problems. Excess nutrients in the Loxahatchee River and its tributaries can cause algae growth in excess of what the natural ecosystem can handle, depleting oxygen in the water leading to fish kills. Some algae blooms can also be harmful to humans as they produce toxins and bacterial growth. The 2013 code amendments were in direct response to the Town's Florida Department of Environmental Protection (FDEP) / USEPA Municipal Storm Sewer Permit which required the Town, given that it is within a watershed of a nutrient impaired water body, to adopt all of the requirements set forth in FDEP's Model Ordinance for Florida Friendly Fertilizer Use on Urban Landscapes. The ordinance provided guidance for proper use of fertilizers by an applicator, required training for applicators, prohibited pre -storm application (greater than 2" of rainfall expected in 24 hour period), established fertilizer free zones within 10 feet of water bodies and provided for exemptions. In the past several years, the FDEP has established that the southwest and northwest branches of the main embayment of the Loxahatchee River are impaired from Chlorophyll a and Phosphorus. Preliminary modeling indicates that a 37% reduction in the nutrient load is needed to eliminate the impairment. Presently, Town staff is working with the Florida Department of Environmental Protection and other local agencies to mitigate known nutrient -related impairments in the river. The Town, as part of the Loxahatchee River Management Coordinating Council, is working to establish a Reasonable Assurance Plan (RAP) with other local entities outlining a strategy to address these impairments. The RAP allows local governments to establish its own plan on its own schedule. If the RAP is not established, FDEP's alternative course of action is to mandate a Basin Management Action Plan which would not have such flexibility. The enactment of this summertime application ban is now considered a best -management practice in the region to address this environmental concern. Locally, both Palm Beach Gardens and Martin County have previously adopted such an ordinance. If adopted, staff intends on implementing public outreach to residents and businesses detailing the importance of this code amendment. Staff will continue to reach out directly to fertilizer applicators while signage will be provided by the Town to local businesses who sell and apply fertilizers detailing the rule, its benefits and the possible ramifications if all do not assist in this effort to preserve and protect the Loxahatchee River. Also, we will be educating the residents of the Town through social media and the Town Times. If the ordinance is approved, outreach will ramp up in October in preparation of the proposed January 1, 2019 effective date of the rule. It is important to note that the sale of fertilizers is not being regulated, only the summer -time application of them. Public education will be the most effective tool to achieve compliance. If enforcement action is considered, it would be done by Utility Stormwater Staff in conjunction with Town Code Enforcement Staff. V - ,iv (e) Yard waste compost, mulches or other similar materials that are primarily organic in nature and. are applied to improve the physical condition of the soil. (f) Reclaimed or Irrigation Quality (IQ) water used for irrigation. (g) All golf course landscaping which shall meet the provisions of the Florida Der)artment of Environmental Protection document, "Best Management Practices for the Enhancement of Environmental Qualit on Florida Golf Courses" when applying fertilizer to the golf course practice and play areas. (h) For all other Specialized Turf Areas, the Specialized Turf Managers which shall use their best professional judgement and apply the concepts and princiRles embodied in the Flodda Green BMPs, to maintain the health and function of their Specialized Turf Areas. (i) Fertilizer applications Derformed by a Commercial Fertilizer Applicato who l2ossesses a valid limited certification fdr urban landscape commercial fertilizer application from the Florida Department of Ngricultural and Consumer Services or possesses evidence of completion of the Florida Department of Environmental Protection Floricla-Friendly Best Management Practices for Protection of Water Resources Training Program. &'10"" 0J)"r- nN A ordinance 23W2019 Fertilizer Regulation Sec. 20-162. Training. within the city shall abide by (a) All commercial and institutional applicators who apply fertilizer and successfully complete the six (6) hour training program entitled "Florida -Friendly Best practices for Protection of Water Resources by the Green industries" offered by the Management n through the University of Florida Extension Florida Department of Environmental PrOtectiO ed equivalent programs pursuant to section "Florida-FriendlY LandscaPes�` Program, or appro, completion 403.93380)(b), F.S. Commercial and institutional applicators shall Provide Proof of . al or institutional application of the program to the public works director, prior to any cOmmcrcl of fertilizer within the city. (b) In accordance with section 482.1562(2) F.S., beginning January 1, 2014, any person applying commercial fertilizer must be certified by the Florida Department of Environmental Protection - (c) Non.commercial applicators, including private property Owners or occupants on their own to familiarize themselves with the recommendations of the residential property, are encouraged ards and Neighborhoods Program when applying fertilizers, University of Florida WAS Florida Y as applicable. and am encouraged to comply with the provisions of this article, Sec. 20-163. Timing of fertilizer applications - (a) No applicator shall apply fertilizers containing nitrogen and/Or Phosphorus to turf and/or landscape plants during the Prohibited Application Period, Or to saturated soils' (b) Prohibited Application Period — No fertilizer containing nitrogen or Phosphorus shall be applied between June I and November 30. Additionally, -0 fertilizer shall be applied during a Flood Watch or Warning, or a Tropical storm Watch or Warning, or a Hurricane Watch or warning, as issued by the National Weather Service, or if heavy rains (in excess of 2 inches in 24 hours) are expected- C dJ A-1 See. 20-164. EXEMPTIONS. CV -e and other provisions set forth in (a) The timing of applications, application rate PTOVI Section 20 shall not apply to: y are not within ten feet of any water body and/or 1. Vegetable gardens, provided the wetland; other similar materials that are primarily organic 2. yard waste compost, mulches or ve the physical condition of the soil; in nature and are applied to impro (which may contain 3. Reclaimed, or irrigation quality (IQ) water used f0r'ngat'on s,,bstantiai amounts of nitrogen and Phosphorus); (b) Commercial applicators and institutional applicators shall maintain documentation to support said exemption(s). anagers shall use their best professional (c) For all other specialized turf areas the In died in the Florida Green BMPS, judgment to apply the concepts and principles embO while maintaining the health and function of their specialized turf areas. Florida Department of Environmental Protection MODEL ORDINANCE FOR FLORIDA -FRIENDLY FERTILIZER USE ON URBAN LANDSCAPES [alternate title: MODEL ORDINANCE FOR FLORIDA -FRIENDLY USE OF FERTILIZER ON URBAN LANDSCAPES] 2015 [Note: Title revision for clarity. There is no defined Florida -Friendly fertilizer product, as timing, chemistry, grade, amount, site-specific conditions and application practices all affect "Florida - friendliness".] INTRODUCTION This attached Model Fertilizer Use Ordinance is another tool to reduce sources of nutrients coming from urban landscapes to reduce the impact of nutrients on Florida's surface and ground waters. Limiting the amount of fertilizer applied to the landscape will reduce the risk of nutrient enrichment of surface and ground waters, but effective nutrient management requires more comprehensive control measures. Such a comprehensive approach is needed that may include, but is not limited to, land planning and low -impact development, site plan design, landscape design, irrigation system design and maintenance, fertilizer application, landscape maintenance, and waste disposal. To assist local governments in improving their existing land development regulations, several "model" ordinances have been developed. These include: "Low Impact Design" ordinances which seek to reduce the impact of urbanization on our natural resources by stressing "source controls" that either minimize the generation of stornawater or minimize the pollutants that can get into stornawater. For example, promoting development designs that minimizes clearing of natural vegetation and the compaction of urban soils. A Model Springs Protection Code was developed by DCA, DEP, and other stakeholders that includes specific Land Development Regulation recommendations that promote Low Impact Design. This Model Code is available as Chapter 5 in Protecting Florida's Springs: An Implementation Guidebook. It is available at hU://www.dca.state.fl.us/fdcl?/DCP/sl2rin,gs/index.cfm. "Landscape Ordinances" because design, construction, and maintenance are major determinants in the amount of fertilizer and irrigation that is needed to maintain healthy urban landscapes and minimize adverse impacts on water resources. A model Landscape Ordinance entitled "Guidelines for Model. Ordinance Language for Protection of Water Quality and Quantity Using Florida -Friendly Lawns and Landscapes" was developed by a group of agencies, industries, and interest groups over a two year period and published in 2003. It was fundamentally an adaptation of earlier water conservation ordinances revised to include water quality protections for compliance with Total Maximum Daily Load (I'MDL) or stormwatef NPDES permit requirements. The language focused on continuing education of lawn care and landscape professionals, proper planning and supervision during development and construction, and the use of best management practices, including the Florida-