Atch_7_Specs_31_25_10_DAFB_Sediment_and_Erosion_Control.pdf

PDF 83 KB Posted

Attached to
Simplified Acqusition of Base Engineer Requirements (SABER) Federal contract opportunity
Solicitation number
FA4497-13-R-0001
Issued by
Department of the Air Force Air Mobility Command

About this file

Attachment 7 Dover AFB Sediment and Erosion Control 31 25 10

View the file

Other files for this federal contract opportunity

Other files attached to Simplified Acqusition of Base Engineer Requirements (SABER), newest first.
File Type Posted
INSTRUCTIONS_FOR_PROPOSAL_RECEIPT.pdf PDF
SABER_Q_ _A___3___25_Feb_13.pdf PDF
Contractor's_Info_Guide_to_Compliance_w_Davis_Bacon_Act.pdf PDF
Pre_Proposal_Minutes_SABER____19_Feb_13.pdf PDF
Attendance_Sheet_Preprooposal_Mtg_19_Feb_13.pdf PDF
SABER_Q_ _A___2___19_Feb_13.pdf PDF
Attendance_Sheet_13_Feb_13.pdf PDF
Contractor's_Info_Guide_to_Compliance_w_Davis_Bacon_Act.pdf PDF
Pre_Proposal_Minutes_SABER__13_Feb_13.pdf PDF
As_Builts_12_Feb_13.pdf PDF
SABER_Q_ _A.pdf PDF
As_Builts_B714.pdf PDF
Sketch_Contractors_Office_Area_B638.pdf PDF
Solicitation_31_Jan_13_Released.pdf PDF
Atch_5_Specs_01_14_10_DAFB_Site_Management.pdf PDF
Atch_9_Specs_0283_Lead_Based_Paint.pdf PDF
Atch_2_Local_Milcon_and_SRM_Design_Guide.pdf PDF
Atch_3_Architectural_Compatibility_Guide.pdf PDF
Atch_6_Specs_02_61_10_DAFB_Environmental_Specifications.pdf PDF
Atch_8_Specs_0282_Asbestos.pdf PDF
Atch_1_Technical_Specifications_General_Requirements.pdf PDF
Atch_11_Past_Performance_Questionnaire.pdf PDF
Atch_13_SABER_Seed_Project.pdf PDF
Atch_12_Sample_Proposal_Estimate.pdf PDF
Atch_16_Heavy_Wage_Determination.pdf PDF
Atch_10_Locally_Developed_Unit_Price_Guide.pdf PDF
Atch_15_Building_Wage_Determination.pdf PDF
Atch_4_Specs_01_11_10_Dover_AFB_General_Requirements.pdf PDF
Atch_17_Highway_Wage_Determination.pdf PDF
Atch_14_Opertional_Climatic_Data_Summary.pdf PDF
Show all 30

On GovTribe

Work with this file on GovTribe

  • Download the original file
  • Contacts named in this file
  • Similar government files
  • Ask GovTribe AI about this file

Text version

1 MAY 12 Attachment 7

31 25 10 - 1

31 25 10

DOVER AFB SEDIMENT AND EROSION CONTROL

PART 1 – CONTRACTOR PLAN SUBMITTALS

1.1 Sediment and Erosion Control Plans. The project drawings contain a compliant sediment and erosion control plan. It is labeled RECOMMENDED SEDIMENT &

EROSION CONTROL PLAN and has been reviewed and approved by Dover AFB Base

Civil Engineering personnel to ensure compliance with Environmental Protection Agency

(EPA) and Delaware Department of Natural Resources and Environmental Control

(DNREC) regulations.

1.2 The Contractor shall submit a sediment and erosion control plan for this project. The plan can consist of the plan contained in the contract drawings or a modified version of the contract drawing, or another plan prepared by the Contractor. Whichever plan is selected, the Contractor must submit the plan to Dover AFB Base Civil Engineering for review and coordination to ensure compliance with applicable federal and state regulations.

1.3 Dover AFB Base Civil Engineering will review the submitted plan for compliance and provide comments for incorporation or provide a “Review Complete” status for the plans. Upon receiving a “Review Complete” status, the contractor must file the Notice of

Intent with the EPA for this project. The contractor is the holder of the sediment and erosion control permit, not Dover AFB. A copy of the filed Notice of Intent shall be provided to Dover AFB. Note, the EPA does not review drawings, but if they perform an inspection, the drawings must be made available.

1.4 Before initiating construction, the Contractor must schedule a pre-construction meeting for the purposes of discussing sediment and erosion control on the project, to include the Contractor, the associated certified construction reviewer (CCR) and Dover

AFB Base Civil Engineering representatives. No construction can begin until the plans have been reviewed, the Notice of Intent filed and the pre-construction meeting has occurred.

PART 2 - CONTRACTROR RESPONSIBILITIES DURING CONSTRUCTION

2.1 The Contractor is required to ensure permit compliance during the term of the permit. To ensure continued compliance, the contractor must have a licensed CCR, as defined by the DNREC sediment and storm water regulations; perform weekly inspections as required by those same regulations.

2.2 A copy of the completed CCR reports shall be provided to Dover AFB Base Civil

Engineering at the end of each month. Dover AFB reserves the right to request these reports more frequently if problems persist, or an issue of non-compliance is observed.

1 MAY 12 Attachment 7

31 25 10 - 2

2.3 The Dover AFB CCR will perform an independent inspection at their discretion to ensure continued compliance with the submitted plan and contract requirements. A copy of the Dover AFB CCR reports can be obtained by the contractor upon written request.

2.4 In-field changes must be submitted prior to implementation and must be reviewed by

Dover AFB Base Civil Engineering. Particularly, environmental compliance changes, i.e. changes to sediment and erosion control practices, will be reviewed by Dover AFB

Base Civil Engineering. These requested changes must still comply with all applicable federal and state environmental regulations.

PART 3 – PENALTIES FOR NON-COMPLIANCE

3.1 Dover AFB Non-Compliance Issues

3.1.1 Should non-compliance issues be identified on either the Contractor’s internal CCR report or a Dover AFB CCR report, the Contractor shall correct the issue within the work week (5 work days). If long term repairs are necessary, a continuance of 5 days can be granted. Repeated non-compliance or ignoring non-compliance issues will result in a deficiency notice issued through the Contracting Officer. Deficiency notices shall constitute a violation of environmental requirements and will result in less favorable reviews pertaining to environmental compliance on subsequent projects at Dover AFB.

3.1.2 Continued deficiency notices may result in work stoppage by the Contracting

Officer to correct sediment and erosion control issues. This type of work stoppage will not extend the contract completion date.

3.2 Regulatory Non-Compliance Issues

3.2.1. Continued non-compliance issues identified on contractor’s CCR or Dover AFB

CCR reports may be forwarded to the EPA enforcement division for their action. EPA enforcement issues resulting from forwarding of CCR reports or from an unannounced

EPA inspection will be resolved between the permit holder (Contractor) and the EPA.

END OF SECTION

File details come from the government source that posted it. Updated .