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Storm Water Program
Pursuant to the Federal Water Pollution Control Act (Clean Water Act) section 402(p), storm water permits are required for discharges from a municipal separate storm sewer system (MS4) serving a population of 100,000 or more. USEPA defines an MS4 as a conveyance or system of conveyances (including roads with drainage systems, municipal streets, catch basins, curbs, gutters, ditches, man-made channels, or storm drains) owned or operated by a State (40 CFR 122.26(b)(8)).
The California Department of Transportation (Caltrans) is responsible for the design, construction, management, and maintenance of the State highway system, including freeways, bridges, tunnels, Caltrans' facilities, and related properties, and is subject to the permitting requirements of Clean Water Act section 402(p). Caltrans' discharges consist of storm water and non-storm water discharges from State owned rights-of-way.
Before July 1999, discharges from Caltrans' MS4 were regulated by individual NPDES permits issued by the Regional Water Boards. On July 15, 1999, the State Water Board issued a statewide permit (Order No. 99-06-DWQ) which regulated all discharges from Caltrans MS4s, maintenance facilities and construction activities. On September 19, 2012, the Department's permit was re-issued (Order No. 2012-0011-DWQ) and will become effective on July 1, 2013.
Caltrans' Storm Water Management Plan (SWMP) describes the procedures and practices used to reduce or eliminate the discharge of pollutants to storm drainage systems and receiving waters. A revised SWMP was submitted to the State Water Board for approval.
- New! Order No. 2012-0011-DWQ as Amended by the following Orders:
Caltrans Storm Water Management Plan (SWMP)
- Approved SWMP
- Letter of Approval
- Comments received
- Comment Response Report
Total Maximum Daily Loads (TMDLs)
- Final TMDL Reach Prioritization Inventory
- TMDL Status Review Report
- Approval Letter for TMDL Compliance Unit Crediting for Stream Crossing Projects
- Comprehensive TMDL Monitoring Plan
- Approval Letter for Comprehensive TMDL Monitoring Plan
Annual Report and District Workplans
Annual Report Appendices
- Appendix A Management and Organization
- Appendix B Treatment BMP Tracking System Data Summary
- Appendix C Project Planning and Design
- Appendix D Construction
- Appendix E Maintenance Program Activity and Facilities Operations
- Appendix F Chemical Use
- Appendix G Historical Maintenance Facilities Inspections
- Appendix H Slope Stabilization and Inspection Activities
- Appendix I Drain Inlet Inspection and Cleaning
- Appendix J Status of Facility Pollution Prevention Plans
- Appendix K Public Education Program
- Appendix L Training
- Appendix M Reporting
- Appendix N Program Effectiveness Evaluation
- Appendix O Seasonal Runoff Volumes at ASBS Sites 18 inch or greater
- Stormwater Monitoring and BMP Development Status Report
- Construction Compliance Reviews
- Legal Authority Statement
- Maintenance Activity Storm Water Compliance Reviews
- Maintenance Facility Storm Water Compliance Reviews
- TMDL Status Review Report
- Treatment BMP Technology Report 2016
- Fish Passage Assessment
- District 1 Work Plan FY 2017-18
- District 2 Work Plan FY 2017-18
- District 3 Work Plan FY 2017-18
- District 4 Work Plan FY 2017-18
- District 5 Work Plan FY 2017-18
- District 6 Work Plan FY 2017-18
- District 7 Work Plan FY 2017-18
- District 8 Work Plan FY 2017-18
- District 9 Work Plan FY 2017-18
- District 10 Work Plan FY 2017-18
- District 11 Work Plan FY 2017-18
- District 12 Work Plan FY 2017-18
- District_Water Boards Boundary Map
- Calleguas Creek TMDL Monitoring Report 2015
- Marina Del Rey Harbor Monitoring Report 2015
- San Francisco Bay RMP Monitoring Report 2015
- Ventura River Trash TMDL MOA Extension
- Ventura River Trash TMDL Monitoring Report
- Field Data
- Laboratory Batch Data
- Laboratory Data
- Toxicity Batch Data
- Toxicity Batch Duplicate Data
- Toxicity Summary Results
Other Reports and Letters
- Construction Compliance Evaluation Plan
- Illegal Connection/Illicit Discharge (IC/ID) and Illegal Dumping Response Plan
- Landslide Management Plan
- Waste Management Plan
- Safe Practice Requirements for Inspections
- Water Quality of Flow Through Cured-In-Place Pipe (CIPP) Report and Transmittal Letter
The Frequently Asked Questions are provided for purposes of guidance to the Department and to interested persons. The provisions of Order No. 2012-0011-DWQ constitute the legal authority with regard to requirements governing the Departmentís actions and the Frequently Asked Questions do not amend those requirements.
- Is Caltrans required to comply with the State Water Board statewide Construction General Permit post-construction treatment control requirements for construction projects one acre or greater?
Caltrans is not required to comply with the post construction treatment control requirements under the Construction General Permit. Section XIII (p. 35) of the Construction General Permit exempts from its post-construction treatment control requirements projects that are located within an area subject to post-construction standards of an active municipal separate storm sewer system (MS4) permit. The 2012 Caltrans Statewide Storm Water Permit (2012 Caltrans Permit) is an active MS4 permit that incorporates post-construction treatment control requirements specific to Caltrans projects statewide. Caltrans projects are therefore exempt from the post-construction requirements of the Construction General Permit and the exemption applies regardless of whether a specific project must comply with the post-construction treatment control requirements of the 2012 Caltrans Permit.
In Section E.2.d.(p.37), the 2012 Caltrans Permit states that the post-construction requirements shall apply to all new and redevelopment projects that have not completed the project initiation document [PID] phase by July 1, 2013. Therefore all Caltrans projects that have completed or will complete the project initiation phase on or after July 1, 2013 must comply with the post-construction treatment control requirements in the 2012 Caltrans Permit.
- Are Caltrans' contractors required to obtain coverage under the Industrial general permit when operating a concrete batch plant?
For Caltrans projects that require enrollment in the Construction General Permit - if a contractor plans to operate: (1) a batch plant to manufacture Portland Cement Concrete, Hot Mixed Asphalt, or other material, or (2) a crushing plant to produce rock or aggregate, as part of a Caltrans project, either outside the job site or within the job site, that serves 1 or more contracts, the contractor must obtain coverage under the Industrial General Permit.
The above requirement for enrollment in the Industrial General Permit is a contract requirement between Caltrans and its contractor(s), as specified in the Caltrans Standard Specifications Section 13-1.01 D(2), which the contractor should be aware of. Any variance from this specified in the specification will require a contract change order which is to be processed by Caltrans. Written documentation from Caltrans to the contractor is required to waive the above referenced Caltrans Standard Specification requirement.