HomeMy WebLinkAbout12/07/2022 - 1st Stormwater Peer Review - - 149 MAIN STREET %�.
Horsley Wiften Group
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SUStainable, Ehvirownental Solutions
112 W'at r `tr t-61 Floor-Boston,MBA 02109 ..........
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December 7, 2022
Ms. Jean Enright, Planning Director
North Andover Planning Board
120 Main Street
North Andover, Massachusetts 01845
Ref: Initial Stormwater Peer Review
149 Main Street & 14 Second Street
North Andover, Massachusetts
Dear Ms. Enright and Board Members:
The Horsley Witten Group, Inc. (HW) is pleased to provide the North Andover Planning Board
with this letter report summarizing our initial review of the Stormwater Management Plan for the
proposed mixed-use development at 149 Main Street & 14 Second Street, North Andover, MA.
The plans and stormwater report were prepared by Langan Engineering & Environmental
Services, Inc. on behalf of Main and Second, LLC (Applicant). The project proposes the
demolition of the two existing buildings and the construction of a 14,800 square foot (sf) three-
story mixed-use building with 22 at-grade parking spaces covered by the building, along with
associated utilities, stormwater management, and landscaping on a previously developed 0.66-
acre site. The stormwater management for the proposed building includes trench drains, a
manhole, a water quality unit, and a subsurface infiltration system (SIS). It does not appear that
the site is within the jurisdiction of the North Andover Conservation Commission.
The following documents and plans were received by HW:
• Applications for Site Plan, Downtown Overlay District and Parking Special Permits, 149
Main Street and 14 Second Street, North Andover, MA, prepared by Smolak &Vaughan,
LLP, dated November 17, 2022 (288 pages) including:
o Stormwater Management Plan for 149 Main Street & 14 Second Street, North
Andover, prepared by Langan Engineering & Environmental Services, Inc, dated
November 2022; and
o Permit Site Plans, 149 Main Street and 14 Second Street Development, North
Andover, Massachusetts, prepared by Langan Engineering & Environmental
Services, Inc, dated November 21, 2022 (24 Sheets).
Stormwater Management Design Peer Review
In accordance with the North Andover Zoning Bylaw §195-8.14. E. (8) A Stormwater
management plan is required for all site plan review applications. The stormwater management
plan shall be prepared in accordance with the latest version of the Massachusetts Stormwater
Handbook (MSH) and demonstrate full compliance with the Massachusetts Stormwater
Standards and the North Andover Stormwater Management and Erosion Control Regulations.
HW offers the following comments concerning the stormwater management design. We have
used the MSH as the basis for organizing our comments. However, in instances where the
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December 7, 2022
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additional criteria established in §250-22 of the North Andover Code requires further
recommendations; we have referenced these as well.
1. Standard 1: No new stormwater conveyances (e.g., outfalls) may discharge untreated
stormwater directly to or cause erosion in wetlands or waters of the Commonwealth.
a. It appears that the existing site sheet flows onto Main Street and Second Street and is
captured by the existing municipal drainage system. Runoff appears to flow north down
Main Street and east down Second Street with a low point at the two catch basins at the
intersection of Main and Second Streets. Under proposed conditions the Applicant has
intercepted the runoff from the site and piped it into the municipal drainage system. It
does not appear that the stormwater is directed into a wetland resource area. However,
HW recommends that the Applicant document where the municipal drainage system
eventually outlets.
2. Standard 2: Stormwater management systems shall be designed so that post-development
peak discharge rates do not exceed pre-development peak discharge rates.
a. The Applicant has drawn the existing and proposed watershed maps within the property
boundaries of the Project Site. It appears that the parcels directly to the south of the site
at 159 Main Street and 161 Main Street may flow onto the proposed development. HW
recommends that the Applicant clarify where the runoff from 159 and 161 Main Street is
directed under existing and proposed conditions.
b. If the proposed stormwater features are capturing offsite runoff, HW recommends that
the Applicant confirm the stormwater systems are sized adequately.
c. HW has reviewed the HydroCAD model provided in the Stormwater Report. We concur
with the curve numbers and time of concentration (Tc) values included in the model.
d. The Applicant has utilized precipitation values in accordance with the Northeast
Regional Climate Center (NRCC). HW recommends that the Applicant use precipitation
values equal to or greater than the values provided by National Oceanic and
Atmospheric Administration (NOAA) Atlas 14 for the 24-hour storm events, as outlined in
§250-23 E. (19) of the North Andover Code.
e. In accordance with §250-22 B. (6) a summary of pre- and post-development peak rates
and volumes of stormwater demonstrating no adverse impacts should be provided as
part of the narrative. The Applicant has provided the peak flows but not the peak
volumes for the 2-year, 10-year, 25-year, and 100-year storm events. HW recommends
that the Applicant add the peak volumes to Table 1 in the narrative.
f. HW recommends that the Applicant review the proposed contours at the top of curbs.
Furthermore, HW recommends that the Applicant add spot grades along the patio areas
to confirm runoff is being directed away from the building and towards the trench drains.
g. The Applicant has proposed a subsurface infiltration system to manage the roof runoff
and a portion of the parking lot. The system includes 431 R-Tanks that are 13.8 inches
in height with 3 inches of stone placed below the tanks and 6 inches of stone placed
over the tanks. HW recommends that the Applicant include the total number of tanks to
be installed on the plan set.
h. The Applicant has noted that the subsurface system is a combined detention/infiltration
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system. The HydroCAD model does not include an exfiltration rate to indicate that
infiltration has been included. HW recommends that the Applicant clarify the type of
stormwater practice proposing.
i. The soil test pits provided indicate that a concrete slab was encountered in the area
where the subsurface stormwater system is proposed. HW recommends that the
Applicant indicate on the plan set that the concrete slab will be removed in its entirety as
well as any fill encountered beneath the subsurface stormwater system.
3. Standard 3 requires that the annual recharge from post-development shall approximate
annual recharge from pre-development conditions.
a. It appears from adjacent test pits that the subsurface infiltration system will have greater
than 2 feet of separation to Estimated Seasonal High Groundwater (ESHGW) but less
than 4 feet. HW recommends that the Applicant provide a mounding analysis per the
MSH Volume 3, Chapter 1, Page 28. Furthermore, HW recommends that additional soil
testing is conducted prior to installation of the system to confirm that adequate
separation has been provided.
b. The Applicant has provided the required recharge volume and drawdown time
calculations per the MSH Volume 3, Chapter 1, Pages 15 and 25. The recharge
calculations indicate an exfiltration rate of 1.02 inches per hour (iph). HW concurs that
this value is reasonable however as noted previously additional soil testing beneath the
subsurface infiltration system should be conducted prior to installation. HW further notes
that additional soil testing should be performed by a soil professional, and
documentation provided to the Planning Board.
4. Standard 4 requires that the stormwater system be designed to remove 80% Total
Suspended Solids (TSS) and to treat 1-inch of volume from the impervious area for water
quality.
a. The Applicant has noted in its narrative that the proposed stormwater system has been
designed to treat one-half inch of water quality volume. Per §250-23 B. (1)(b) new
developments are required to retain the volume of runoff equivalent to one inch
multiplied by the total post-construction impervious surface. Per§250-23 C. (1)(b)
redevelopment projects are required to retain the volume of runoff equivalent to 0.8
inches multiplied by the total post-construction impervious surface. Per §250-23 C. (2)
when both new development and redevelopment are proposed for a project site, the
redevelopment and new development work shall be conducted per the applicable
regulations. HW recommends that the Applicant review the proposed design and confirm
compliance with §250-23 Design and Performance Criteria.
b. HW recommends that the Applicant provide documentation to support the TSS removal
provided by the Trench Drain Filter.
5. Standard 5 is related to projects with a Land Use of Higher Potential Pollutant Loads
(LUHPPL).
a. The site is not considered a LUHPPL. Therefore, Standard 5 is not applicable.
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6. Standard 6 is related to projects with stormwater discharging into a critical area, a Zone II, or
an Interim Wellhead Protection Area of a public water supply.
a. The proposed development is not discharging near or into a critical area, Zone II or an
IWPA area. Therefore, Standard 6 is not applicable.
7. Standard 7 is related to projects considered Redevelopment.
a. The proposed project is a mix of new development and redevelopment. The area
consisting of the existing parking lot behind the existing commercial building may be
considered redevelopment. In this redevelopment area, a decrease in paved area is
proposed and being converting to roof top which is considered an improvement. The
proposed roof runoff is being managed by the subsurface infiltration system as new
development. HW recommends that the Applicant respond to the other comments in this
review letter to confirm it has adequately incorporated Standard 7.
8. Standard 8 requires a plan to control construction related impacts including erosion,
sedimentation, or other pollutant sources.
a. The proposed project requires land disturbance of under 1 acre. Therefore, a
Stormwater Pollution Prevention Plan (SWPPP) per the EPA NPDES Construction
General Permit will not be required.
b. HW recommends that the Applicant confirm that any stormwater runoff from the
upgradient properties that may currently flow onto the site will not cause ponding on
abutting properties during construction.
c. HW recommends that the Applicant explain how the site will be accessed during
construction and locate the stabilized construction entrance on the erosion control plan.
d. In accordance with §250-23 A. (7) of the North Andover Code the Applicant has
identified five (5) trees to be removed within the limit of disturbance. The Applicant has
illustrated six (6) trees to be planted along Main Street and Second Street. HW
recommends that the Applicant confirm whether the critical root zones (CRZs) of any
large trees will be impacted by the proposed development; construction activity over
CRZs will potentially damage the root systems of trees and cause long-term degradation
of the tree's health. HW further recommends that any trees at the edge of the limit of
work proposed to be protected are clearly marked in the field and a tree protection detail
is added to the plan set.
9. Standard 9 requires a Long-Term Operation and Maintenance (O &M) Plan to be provided.
a. In accordance with the MSH Volume 1 Chapter 1 Page 23, the Applicant has provided a
Long-Term Operation & Maintenance Plan as a standalone document as Appendix F of
the Stormwater Management Plan. HW recommends that the Planning Board reference
this document and require a signed O&M Plan as a condition of approval.
b. HW recommends that the O&M Plan include a simple plan that is drawn to scale and
shows the location of all stormwater practices within the parcel requiring inspections and
long-term maintenance.
10. Standard 10 requires an Illicit Discharge Compliance Statement be provided.
a. The Applicant has provided an Illicit Discharge Compliance Statement in Appendix G of
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the Stormwater Management Plan. HW recommends that the Planning Board include a
condition of approval requiring that the Illicit Discharge Compliance Statement be signed
by the property owner prior to land disturbance.
Conclusions
HW recommends that the Planning Board require that the Applicant provide a written response
to address these comments as part of the Board's review process. The Applicant is advised that
provision of these comments does not relieve him/her of the responsibility to comply with all
Town of North Andover Codes and By-Laws, Commonwealth of Massachusetts laws, and
federal regulations as applicable to this project. Please contact Janet Bernardo at 508-833-6600
or at jbernardo@horsleywitten.com if you have any questions regarding these comments.
Sincerely,
HORSLEY WITTEN GROUP, INC.
Janet Carter Bernardo, P.E.
Associate Principal
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