1. Topsoil stockpile heights shall not exceed 35 feet. Stockpile side slopes must be 2:1 or flatter.

2. A copy of the approved erosion and sediment control plan must be available at the project site at all times.

7. All pumping of sediment laden water shall be through a sediment control BMP, such as a pumped water filter bag or equivalent sediment removal facility, over undisturbed vegetated areas.

23. All building materials and wastes must be removed from the site and recycled or disposed of in accordance with the Department’s Solid Waste Management Regulations at 25 Pa. Code 260.1 et seq., 271.1., and 287.1 et seq. No building materials or wastes or unused building materials shall be burned, buried, dumped, or discharged at the site.

24. The contractor will be responsible for the removal of any excess material and make sure the site(s) receiving the excess has an approved erosion and sediment control plan that meets the conditions of Chapter 102 and/or other State or Federal regulations.

25. Clean Fill is defined as:  Uncontaminated, non-water soluble, non-decomposable, inert, solid material.  The term includes soil, rock, stone, dredged material, used asphalt, and brick, block or concrete from construction and demolition activities that is separate from other waste and is recognizable as such.  The term does not include materials placed in or on the waters of the Commonwealth unless otherwise authorized.  (The term “used asphalt” does not include milled asphalt or asphalt that has been processed for re-use.).

26.  Any placement of clean fill that has been affected by a spill or release of a regulated substance must use form FP-001 to certify the origin of the fill material and the results of the analytical testing to qualify the material as clean fill.  Form FP-001 must be retained by the owner of the property receiving the fill. 

27. Environmental due diligence must be performed to determine if the fill materials associated with the project qualify as clean fill.  Environmental due diligence is defined as:  Investigative techniques, including, but not limited to, visual property inspections, electronic data base searches, review of property ownership, review of property use history, Sanborn maps, environmental questionnaires, transaction screens, analytical testing, environmental assessments or audits.  Analytical testing is not a required part of due diligence unless visual inspection and/or review of the past land use of the property indicates that the fill may have been subjected to a spill or release of a regulated substance.  If the fill may have been affected by a spill or release of a regulated substance, it must be tested to determine if it qualifies as clean fill.  Testing should be performed in accordance with Appendix A of the Department’s policy “Management of Clean Fill.”