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Description of the Regional Inflow/Infiltration (III) Program <br />The 2040 Water Resources Policy Plan states that the Council will establish 1f1 goals for all <br />communities discharging wastewater to the MDS. Communities that have excessive Ill in their sanitary <br />sewer systems will be required to eliminate excessive 111. The Council will continue the implementation <br />of its on-going 111 reduction program. Communities identified through the program as needing to <br />eliminate excessive 111 will be required to submit a work plan that details work activities to identify and <br />eliminate sources of III. The Council can limit increases in service within those communities having <br />excess 111 that do not demonstrate progress in reducing their excess Ill. The Council will meet with the <br />community and discuss this alternative before it is implemented. <br />It is required that those communities that have been identified as contributors of excessive Ill, and that <br />have not already addressed private property sources, do so as part of their Ill program. Significant work <br />has been accomplished on the public infrastructure portion of the wastewater system. The Council will <br />pursue making funds available through the State for Ill mitigation, and promote statutes, rules and <br />regulations to encourage Ill mitigation. <br />Management of Subsurface Sewage Treatment Systems (SSTS) and Private <br />Systems <br />The Metropolitan Land Planning Act requires the sewer element of the local comprehensive plan to <br />describe the standards and conditions under which the installation of subsurface sewage treatment <br />systems and other private wastewater treatment systems will be permitted and to the extent <br />practicable, the areas not suitable for public or private systems. <br />The appropriate density for development with subsurface sewage treatment systems depends on the <br />suitability of the soils to treat wastewater and whether space is available for a primary and back up <br />drainfield. It is the Council's position that all municipalities and counties allowing subsurface sewage <br />treatment systems should incorporate current MPCA regulations (Minn. Rules Chapter 7080-7083) as <br />part of a program for managing subsurface sewage treatment systems in the sewer element of their <br />local comprehensive plan and implement the standards in issuing permits. <br />Hugo should adopt a management program consistent with state rules. An overview of Hugo's <br />management program must be included in the community's local comprehensive plan update. If <br />adequate information on the management program is not included; the comprehensive plan will be <br />found incomplete for review until the required information is provided to the Council. Specific <br />requirements for the local comprehensive plan can be found in the Local Planning Handbook. <br />Small private treatment plants are located throughout the Metropolitan Area serving such developments <br />as individual industries, mobile home parks, and other urban type uses. The Council's position is that <br />such private wastewater treatment plants should be permitted only if they are in areas not programmed <br />for metropolitan sewer service in the future and they are provided for in a community's comprehensive <br />plan that the Council has approved. Furthermore, the community is responsible for permitting all <br />community or cluster wastewater treatment systems consistent with Minnesota Rules Chapter 7080- <br />7083 and MPCA standards. The Council will not provide financial support to assist communities if these <br />systems fail. <br />Hugo should include in the sewer element of its local comprehensive plan the conditions under which <br />private treatment plants or municipal treatments would be allowed, and include appropriate <br />management techniques sufficiently detailed to ensure that the facilities conform to permit conditions. <br />Hugo is responsible for ensuring that permit conditions for private treatment plants are met and <br />financial resources to manage these facilities are available. <br />Page - 23 12015 SYSTEM STATEMENT — HUGO WATER RESOURCES <br />