HomeMy WebLinkAbout2023/10/06 - 2nd Stormwater Peer Review - - %�.
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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October 6, 2023
Ms. Jean Enright, Planning Director
North Andover Planning Board
120 Main Street
North Andover, Massachusetts 01845
Ref: Second Stormwater Peer Review
Corner Development Project at Merrimack College
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 second review of the Stormwater Management Report
and Site Plan for the proposed Merrimack College Corner Development Project at 315 Turnpike
Street, North Andover, MA. The plans and stormwater report were prepared by VHB on behalf
of Merrimack College (Applicant). The project proposes the construction of a 77,600 square foot
(sf) building situated along Turnpike Street and a 62,000-sf building situated along Andover
Street on 4.0 acres of land within the Merrimack College campus. The proposed project also
includes improvements to Medina Drive, pedestrian improvements, utilities, stormwater
management, and landscaping. The stormwater management for the two proposed buildings
and site improvements includes a closed drainage system with catch basins and area drains
which discharge into three separate subsurface infiltration chamber systems. The subsurface
chamber systems connect into the existing drainage system within Andover/Elm Street. The
project is considered new development. The Applicant will increase the impervious surface by
60,710 sf of roof top and pavement area within a watershed area of 377,520 sf, an increase of
approximately 50%.
The following additional documents and plans were received by HW in response to our initial
peer review letter dated September 6, 2023:
• Letter to Jean Enright, Re: response to Initial Stormwater Peer Review, Merrimack
College, 315 Turnpike St, North Andover, MA 01845, dated September 26, 2023 (8
pages);
• Stormwater Management System Operations and Maintenance Manual, Corner
Development Project at Merrimack College, 315 Turnpike Street, North Andover, MA,
dated September 15, 2023 (53 pages);
• Email from John Borgesi to Jean Enright, MC — New Dorms, dated September 29, 2023
(1 page);
• Stormwater Management Report, Corner Development Project at Merrimack College,
prepared by VHB, revised September 15, 2023 (246 pages); and
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Town of North Andover
October 6, 2023
Page 2of6
• Site Plans, Corner Development Project at Merrimack College, 315 Turnpike St., North
Andover, MA, prepared by VHB, dated August 17, 2023, revised September 15, 2023
(13 pages) including:
o Cover Sheet C0.0
o Legend and General Notes C1.0
o Site Preparation and Erosion Control Plan C2.0
o Layout and Materials Plan C3.0
o Grading and Drainage Plan C4.0
o Utility Plan C5.0
o Site Details C6.1-C6.3
o Landscape Plan L1.0
o Landscape Details L2.0
o Lighting Plan SL1.0
o Existing Conditions Plan of Land Sv-1 (August 15, 2023)
Stormwater Management Design Peer Review
HW offers the following comments concerning the stormwater management design as per the
Massachusetts Stormwater Handbook (MSH) dated February 2008, and the North Andover
Chapter 165 Stormwater Management and Erosion Control Bylaw (Bylaw), and the Chapter 250
Stormwater Management and Erosion Control regulations (Stormwater Regulations) adopted
June 21, 2022.
In accordance with Stormwater Regulations, Article V-Applicability, §250-9 activities entailing
land disturbance of over 43,560 square feet must obtain a Land Disturbance Permit. In
accordance with the Stormwater Regulations, Article VI - Stormwater Management Plan, §250-
21. B. The Stormwater Management Plan shall be designed to meet the most recent version of
the Massachusetts Stormwater Standards. Therefore, we have used the Massachusetts
Stormwater Standards as the basis for organizing our comments. However, in instances where
the additional criteria established in §250-22 of the North Andover Code requires further
recommendations; we have referenced these as well.
The following comments correlate to our initial review letter dated September 6, 2023, follow up
comments are provided in bold font.
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. The Applicant has analyzed the pre- and post-development stormwater runoff to one
design point (DP-1). DP-1 is the closed drainage system across Andover/Elm Street on
the northwest side of the Project Site. It is not clear on the plan set where the closed
drainage system eventually discharges though it appears to be piped into a resource
area. HW recommends that the Applicant clarify the outfall. If the outfall is a resource
area, HW recommends that the Applicant confirm that erosion is not currently occurring.
October 5, 2023: The Applicant has revised the drainage figures to identify the
closed drainage system outfall into an existing intermittent stream (bordering
vegetated wetland and bank). Due to the concrete headwall and the proposed
reduction of flow by 4 CFS in the 25-year design storm, the Applicant claims no
proposed disturbance. HW has no further comment.
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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. 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 and the peak volumes
for the 2-year, 10-year, 25-year, and 100-year storm events. HW recommends that the
Applicant provide a revised table if needed based on the comments below.
October 6, 2023: The Applicant has revised the documents as requested. HW has
no further comment.
b. HW has reviewed the Existing and Proposed Drainage Conditions figures and the
HydroCAD model. The subcatchment areas, surface materials, times of concentrations,
and flow patterns appear reasonable. No further action required.
October 6, 2023: No further action required.
c. The Applicant has included three subsurface infiltration chamber systems. HW notes
that the Outlet Control Detail (OCS) for Subsurface Infiltration System B indicates that
the structure is 4.0 feet diameter and illustrates the two 10-inch orifices in line vertically.
The HydroCAD model includes Device 2 as a 6-foot weir with two 10-inch orifices set at
the same horizontal elevation. HW recommends that the Applicant revise the HydroCAD
model using a 4-foot weir or adjust the OCS detail. HW further recommends that the
Applicant adjust the OCS detail to show the orifices beside each other to avoid
confusion.
October 6, 2023: The Applicant updated the OCS detail to match the HydroCAD
model. No further action required.
d. The HydroCAD model for Pond 3, Subsurface Infiltration System B, utilizes an outlet
device set at elevation 215.8. The Grading and Drainage Plan includes a callout for an
outlet elevation at 216.2. HW recommends that the Applicant revisit this outlet and
confirm the system has been modeled correctly.
October 6, 2023: The Applicant updated The Grading and Drainage Plan to match
the HydroCAD model. No further action required.
e. The Applicant has used 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). No further action required.
October 6, 2023: No further action required.
f. Per §250-23 E. (25) Stormwater basins shall be sized to accommodate the 100-year
storm event with a minimum of one foot of freeboard. The Applicant has documented
that the proposed subsurface chamber systems can accommodate a 100-year storm
event. The proposed chamber systems do not provide one foot of freeboard. HW
recommends that the Planning Board provide direction to the Applicant on whether the
subsurface chambers are required to provide a foot of freeboard.
September 29, 2023: The Applicant has provided ponding elevations during the
peak of the 100-year design storm, and modeling to confirm that peak rates of
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runoff and runoff volumes were decreased from existing to proposed in the 100-
year storm event. HW agrees that subsurface systems typically are not required to
have freeboard however defer acceptance to the Planning Board.
g. Per §250-23 E. (30) All drainpipes are to be reinforced concrete pipes and have a
minimum diameter of 12 inches. The Applicant has proposed HDPE drainpipes with
some being less than 12 inches. HW recommends that the Applicant review these
criteria and revise the plans or provide justification to the Planning Board to allow the
use of the different pipe material and sizes.
October 6, 2023: The Applicant has increased the proposed drainpipes to a
minimum of 12-inches. The Town Engineer has confirmed that the use of the
HDPE pipes is acceptable.
3. Standard 3 requires that the annual recharge from post-development shall approximate
annual recharge from pre-development conditions.
a. The Applicant has provided a Stormwater Evaluation Memorandum prepared by
GeoEngineers, dated July 27, 2023. The geotechnical report recommended using an
exfiltration rate of 0.52 inches per hour (iph). The Applicant has used 0.52 iph in the
HydroCAD model and has provided the required 2 feet of separation to groundwater. No
further action required.
October 6, 2023: No further action required.
b. HW concurs that the Applicant has provided the required recharge. However, HW was
not able to confirm the values listed in Table 5 of the Stormwater Management Report.
For documentation purposes HW recommends that the Applicant review the values
listed and confirm the depth proposed between the lowest outlet and the bottom of the
system. It may be beneficial for the Applicant to provide the stage storage area print out
from the HydroCAD model. If applicable, HW recommends that the Applicant update
Table 5.
October 6, 2023: The Applicant has added the system elevations to the Site Details
Sheet C6.3, included the stage storage area print out from the HydroCAD model,
and updated Table 5 to include the bottom of the system area, the bottom of
system stone elevation, and the lowest system outlet invert. HW has no further
comment.
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 provided a TSS worksheet that lists the water quality units and the
subsurface infiltration chambers to provide the 90% TSS removal per the Town's
requirements. No further action required.
October 6, 2023: No further action required.
b. Per §250-23 B. (1) the Applicant is required to remove 60% of the average annual load
of Total Phosphorus. The Applicant has provided the Phosphorus Removal worksheets
that indicate that the Applicant is removing 79% of the Phosphorus load via the
subsurface infiltration chambers. The calculations appear reasonable. No further action
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required.
October 6, 2023: No further action required.
c. 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 or meet a combination of
retention and treatment that achieves the above standards listed under §250-23 B. (1). It
appears that the criteria have been met. No further action required.
October 6, 2023: No further action required.
5. Standard 5 is related to projects with a Land Use of Higher Potential Pollutant Loads
(LUHPPL).
a. The use of the site as dormitories within a college campus is not considered a LUHPPL.
Standard 5 is not applicable.
October 6, 2023: No further action required.
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.
October 6, 2023: No further action required.
7. Standard 7 is related to projects considered Redevelopment.
a. The project is considered new development. The Applicant will increase the impervious
surface by 60,710 sf of roof top and pavement area within a watershed area of 377,520
sf, an increase of approximately 50%. Standard 7 is not applicable.
October 6, 2023: No further action required.
8. Standard 8 requires a plan to control construction related impacts including erosion,
sedimentation, or other pollutant sources.
a. The Applicant has provided a Site Preparation and Erosion Control Plan, sheet C2.0 with
details on Sheet C6.1. The Applicant has also provided a narrative for Recommended
Construction Period Pollution Prevention and Erosion and Sedimentation Controls in
Appendix E of the Stormwater Management Report.
October 6, 2023: No further action required.
b. HW recommends that the Applicant add a note stating, prior to any land disturbance
activities commencing on the site, the developer shall physically mark limits of no land
disturbance with tape, signs, or orange construction fence, so that workers can see the
areas to be protected. The physical markers shall be inspected daily.
October 6, 2023: A note has been added to the Site Preparation and Erosion
Control Plan Sheet C2.0 as requested. HW has no further comment.
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c. The Applicant is proposing to disturb more than one acre of land. In accordance with the
EPA Construction General Permit, the Applicant is required to file a Notice of Intent with
the EPA and prepare a Stormwater Pollution Prevention Plan (SWPPP). HW
recommends that the Applicant provide the Town of North Andover with a copy of the
SWPPP a minimum of 14 days prior to land disturbance. The Planning Board may
choose to require receipt of the final SWPPP signed by the contractor as a condition of
approval.
October 6, 2023: The Applicant proposes to submit a copy of the SWPP to the
Town of North Andover prior to filing the Notice of Intent with the EPA 14 days
prior to land disturbance. HW has no further comment.
9. Standard 9 requires a Long-Term Operation and Maintenance (O & M) Plan to be provided.
a. The Applicant has provided an Operation and Maintenance Plan in Appendix D of the
Stormwater Management Report. The O&M Plan can be removed from the Stormwater
Management Report and be a standalone document for use by the college. HW notes
that the town is listed incorrectly on the cover page.
October 6, 2023: The Applicant provided the revised O & M Plan as a standalone
document. No further action required.
b. In the Long-Term Maintenance/Evaluation Checklist, Section E.4 of Appendix D, HW
recommends that the Applicant add the water quality units.
October 6, 2023: The Applicant added the water quality units. No further action
required.
c. HW recommends that the Planning Board reference this document and require a signed
O&M Plan as a condition of approval.
October 6, 2023: The Applicant provided a signed O&M Plan. No further action
required.
10. Standard 10 requires an Illicit Discharge Compliance Statement be provided.
a. The Applicant has provided an Illicit Discharge Compliance Statement signed by the
property owner. No further action required.
October 6, 2023: No further action required.
Conclusions
HW is satisfied that the Applicant has adequately addressed our comments. Please contact
Janet Bernardo at 508-833-6600 or at jbernardo@horsleywitten.com if you have any questions.
Sincerely,
HORSLEY WITTEN GROUP, INC.
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Janet Carter Bernardo, P.E. Ava Schully
Associate Principal Designer
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