Document R8nmeNewjw115YZqQQ876Nxv
UNITED STATESUNITED STATES ENVIRONMENTAL PROTECTION AGENCY
REGION 1
NVIRONMAGEENBCYOS5 TPOOSNT, OFMFAIC E0 S2Q1U0AR9E-, 3S9U1IT2E
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NMENTAL PROTECTION
Date:Dated as shown on electronic signature(s)
Subj:Inspection Report
Clean Water Act - National Pollutant Discharge Elimination System
Murray Road Residential Development
From:Damian Bednarz, EPA InspectorDigitally signed by DAMIAN
DAMIAN BEDNARZ BEDDNatAe:R 2Z02
4.03.03 14:34:49 -05'00 '
Thru:Andrew Spejewski, EPA Inspector
To:File
I. Facility Information
A. Facility Name:20 Murray Road Residential Development
B. Facility Location:20 Murray Road
Ashburnham, MA 01430
C. Facility Contacts:Jamison Vandyke, Operator
jbvandyke@formupfoundations.com
Tom Harvey, Operator
Tom.harvey.nh@gmail.com
Josh Joslyn, Engineer in Training, Graz Engineering LLC
josh@grazengineering.com
D. NPDES ID No (s).: MAR1004ZS
II. Background Information
A. Date(s) of inspection: February 12th, 2024
B. Weather Conditions: Mostly clear sky, approximately 35 F
C. US EPA Representative(s):
Damian Bednarz, EPA Inspector
Ray Putnam, EPA Inspector
D. State / Local Representative(s):
Chris Picone, Ashburnham Conservation Commission
Catherine Laramie, Ashburnham Conservation Commission
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Katie Guertin, Ashburnham Conservation Commission
Mia McDonald, Massachusetts Department of Environmental Protection
Kim Roth, Massachusetts Department of Environmental Protection
E. Federally Enforceable Requirements Covered During the Inspection:
National Pollutant Discharge Elimination System Construction General Permit
Effective February 17th, 2022
F. Previous Enforcement Actions:
No previous enforcement action by the EPA.
III. Type and Purpose of Inspection
On February 12th, 2024, the EPA conducted an additional compliance evaluation
inspection after the filing of a Notice of Intent to discharge stormwater by operator
Jamison VanDyke on January 5th, 2024. This inspection's purpose was to determine
compliance regarding conditions and requirements set within the Construction General
Permit. This inspection, and the EPA's involvement, was announced to the Development
on February 2nd, 2024, via email.
IV. Facility Description
The Murray Road Residental Development in Ashburnham, Massachusetts, referred to
hereafter as the " Site " or the " Development ", is an ongoing residential construction
project that began earth - disturbing construction activity since at least October of 2023.
The Development consists of seven single family homes, each identified in
predetermined lots (Lots 1-7). Each lot within this Development borders Murray Road.
The lots generally slope down to the east towards Murray Road, where elevation
continues to decrease in the eastern direction, with the highest local points being the
most southwestern portions of the Development. There is a drainage swale on the west
side of Murray Road that flows north, where waters enter stormwater infrastructure
before flowing east towards the Whitmanville Reservoir and Whitman River. According
to Development engineering schematics and observations taken during inspections,
there exist four stormwater culverts along this length of Murray Road which previously
served water crossings traveling eastwards and flows that enter a swale shouldering the
road. Additionally, a wetlands delineation was conducted during early stages of the
construction project in the shape of a wide " U ". These features, as well as flow paths
observed during the day of the inspection, can be found in slide 1 of the attached photo
album. The area of this Development is approximately six acres.
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V. Inspection
A. Opening Conference
Mr. Putnam of the EPA and I arrived at Murray Road at approximately 10 a.m. by prior
arrangement. Present at the site at my arrival was Mr. Picone, Ms. Guertin, Ms. Laramie,
Ms. McDonald, Ms. Roth, and Mr. Joslyn. Mr. Joslyn explained that an operator of the
Development, Mr. Harvey, was to meet with the group soon and that Mr. VanDyke was
unavailable to attend this inspection. Approximately 15 minutes later, Mr. Harvey
arrived, and the group reintroduced themselves to him.
Mr. Putnam and I presented our credentials and explained the purpose of our
inspection, which was a follow - up to a previous visit and to conduct compliance
assessments regarding the EPA's Construction General Permit. I asked Mr. Harvey
whether he was an operator with control over work at the Development. He stated that
he was, and that Mr. VanDyke was the owner as well as an operator.
B. Facility Tour
The group initially met in front of Lot 2, which featured a recently erected home (slide
33) and a semicircle of crushed stone containing a foundation pipe that feeds into Culvert
2 (slide 34). The flows emanating from Culvert 2 were laden with sediment, and
deposition was observed for approximately 100 feet outside of the culvert, heading
downhill to the east (slide 35). At some point, Mr. Joslyn explained that this culvert
previously served flows sourcing from a previously existing logging road.
In efforts to minimize stormwater overflow from the Development onto Murray Road,
several blockages, consisting of both large and small rocks, were installed at two stream
crossing locations near culvert openings. The group made their way over to Culvert 1 and
the stream leading into it (slide 36). The control measures within the stream crossing area
are consistent with what I had observed in early January of 2024, which featured a laid
mulch layer, staked - in silt socks, and a riprap berm that slows incoming flows. Since
January, the Development has installed a dirt channel to convey stormwaters around the
mulch layer placed on top of unstabilized area (slide 38-40). Ms. McDonald expressed
that control measures should not exist within this area and its 50-foot buffer zone, and
that this area should have been untouched by the Development. Mr. Putnam agreed with
this statement and mentioned the rock fill ought to be removed. Mr. Picone expressed that
the immediate removal of rock fill and other stormwater control measures might have
unanticipated consequences such as the inundation of Murray Road and increased
pollution risk due to the unstabilized state of this portion of the site, but ultimately agreed
that at some point during the project that these control measures need to be removed.
Reading verbatim from a copy of the Construction General Permit, I stated at that there is
a related permit condition, Part 2.2.1, which requires construction planning to consider
and retain a 50-foot buffer zone.
Mr. Putnam suggested that the diverted flow could be instead diverted to Culvert 2, rather
than through the stream crossing underneath Murray Road at Culvert 1.
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The group proceeded to observe the second stream crossing at Culvert 3, which did not
display any significant changes from my last inspection in early January of 2024. I
observed a wall of riprap composed of both small and large rocks at the stream crossing
with undisturbed area where the flow emerges. Ms. McDonald quickly reiterated
concerns with blockages within and around the intermittent stream buffer zone.
I observed accumulated sediment within the swale shouldering Murray Road (slide 43) in
front of Lot 4. At the time of the inspection, I observed newly cleared areas at Lot 5 since
my last inspection (slide 44). The riprap driveway at this location appeared to have been
recently maintained.
C. Records Review
There were no records to be reviewed.
D. Closing Conference
I explained to the group and Mr. Harvey that I would submit my report detailing
observations made on this inspection in addition to the January inspection within 70
calender days of my initial visit. I further explained that now that the Development had
submitted a Notice of Intent to the EPA, that they are obligated to meet permit conditions
outlined in the Construction General Permit, which can be found online. I mentioned that
perimeter controls need to be installed in all perimeter areas downgradient of where
unstabilized areas exist, and that the main objective of the permit is to prevent washout of
sediment via stormwater. I also mentioned that inspections, conducted in a frequency as
specified in the permit, need to commence in addition to documentation of these
stormwater inspections. Mr. Harvey expressed at this time that the Development had
already spent an undesirable amount of money in efforts to control stormwater and
contain pollution.
Unless otherwise noted, this report describes conditions at the facility / property as
observed by EPA inspector(s), and / or through records provided to and / or information
reported to EPA inspector(s) by facility representatives and as understood by the
inspector(s). This report may not capture all operations or activities ongoing at the time
of the inspection. This report does not make final determinations on potential areas of
concern. Nothing in this report affects EPA's authorities under federal statutes and
regulations to pursue further investigation or action.
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