Details about the documents included in pending application packages for wastewater permits. Also describes the timeframe and who is responsible for each step in the process.
On this page:
When TCEQ determines that a wastewater permit application contains complete responses to all required questions in the administrative report and all necessary attachments, we will declare it administratively complete. The admin. package will include:
TCEQ also reviews the technical elements of the admin. package and—using recommendations from those reviews—prepares a draft permit. A tech package will contain:
Applicants must accurately summarize what they are applying for in plain language. The application summary must be provided in English, and other languages when required, and include all the following information:
They must submit the activity summary with the application and display copies of the activity summary and application materials—in the public viewing locations provided in the notice.
TCEQ will make the summary and the application materials available for viewing and download online on our webpages for Pending Wastewater Permits within 7 calendar days of the application being declared administratively complete.
An applicant for a wastewater discharge or land application permit must publish two public notices in the newspaper with the largest general circulation in the county where the facility is or will be located. The notice must be provided in English and—when required—other languages. For detailed information about the notice, public comments, and how TCEQ responds to comments, see our webpage Participating in Environmental Permitting and Title 30, Texas Administrative Code (30 TAC), Chapters 39, 50, 55, and 281.
This first notice, the “Notice of Receipt of Application and Intent to Obtain a Water Quality Permit” (NORI) (required by 30 TAC, Section 39.411), includes all the following information:
The applicant must publish the NORI within 30 calendar days of TCEQ declaring the application administratively complete. The applicant must also place a copy of the notice and the application materials in the public viewing location or locations provided in the notice. TCEQ’s Office of the Chief Clerk will mail a notice as required.
TCEQ will provide the NORI and application materials on our Pending Wastewater Permits webpages within 7 calendar days of the application being declared administratively complete.
This second notice, “Notice of Application and Preliminary Decision” (NAPD) (also required by 30 TAC Section 39.411) includes all of the following:
The applicant must publish the NAPD within 45 calendar days of TCEQ declaring the application technically complete. The applicant must also place a copy of the second notice, application materials, draft permit, and technical summary or fact sheet, in the public viewing locations provided in the notice.
TCEQ will also provide these documents on our webpages about Pending Wastewater Permits within 7 calendar days of the application being declared technically complete.
This is the initial application submitted to TCEQ to obtain a water quality permit. For this part of the package, you may find a core data form, administrative and technical reports, and a public involvement plan. TCEQ provides various application forms specific to the applicant’s activity so you may also see associated attachments required by the reports and forms.
TCEQ may request additional administrative or technical application materials from the applicant.
The executive director prepares a draft permit per Texas Water Code (TWC), Chapter 26 which authorizes TCEQ to set permit requirements that comply with state and federal water quality rules and regulations before an entity may discharge treated wastewater into or adjacent to surface water in the State. We will file the draft permit with the Office of the Chief Clerk where it will be available for public review.
A draft permit must contain:
Cover Page Provides information on the facility’s operation, discharge route, permit term, a space for the date the permit is issued, and a space for the commissioner’s signature. This cover page is not signed however and doesn’t have an issued date because it is a tentative decision and has not been approved or finalized.
Effluent Limitations and Monitoring Requirements Provides information for each disposal location or outfall, including a table with proposed treated wastewater or effluent characteristics, discharge limitations and minimum self-reporting requirements like monitoring locations, parameters monitored, and frequency of sampling.
Definitions and Standard Permit Conditions Establishes the characteristics and standards for waste discharge permits, including sewage sludge, and those sections of Title 40, Code of Federal Regulations (40 CFR), Part 122 that TCEQ has adopted by reference.
Other Requirements Establishes additional narrative requirements specifically for that facility’s operation such as: mixing zones, definitions, additional testing requirements, etc. This section is considered a continuation of the Effluent Limitations and Requirements section.
A draft permit may contain:
Whole Effluent Toxicity (WET) Testing (also known as Biomonitoring) Establishes testing requirements where the discharge’s effluent has a significant potential for toxicity. WET testing directly measures a discharge’s effects on specific test organisms' ability to survive, grow and reproduce when exposed to the effluent at the critical flow conditions.
Biomonitoring requirements may be included in draft permits for industrial discharges and domestic wastewater based on classification, flow, or potential for toxicity.
The executive director prepares a Fact Sheet and a Preliminary Decision (referred to together as a Fact Sheet) for Texas Pollutant Discharge Elimination System (TPDES) permits for facilities that the United States Environmental Protection Agency (EPA) classifies as major—for industrial discharges—and for major domestic facilities with a design flow of one million gallon per day (MGD) or greater.
The Fact Sheet provides detailed information about the proposed facility, discharge, and receiving waters and describes any principal and significant factual, legal, methodological, and policy questions considered in preparing the draft permit. Specifically, it describes:
The executive director prepares a Technical Summary and Preliminary Decision (also referred to as the Technical Summary or Statement of Basis) for facilities where a Fact Sheet is not required. This includes minor facilities as classified by EPA or domestic facilities with less than one MGD.
The Technical Summary contains similar information as the Fact Sheet, including information about the proposed facility, discharge, and receiving waters and any principal and significant factual, legal, methodological, and policy questions considered in preparing the draft permit; however, the Statement of Basis is less detailed.
Also like the Fact Sheet, The Technical Summary will provide: