Public comments are invited on the Citipoint Church construction stormwater permit application.
Official Courthouse Record · AI-summarized for clarity
- Published
- Category
- Public Hearing
- City
- Mount Vernon
What You Should Do Next
- 1
Submit Comments
Write your comments and send them to the Washington State Department of Ecology.
- 2
Check Publication Date
Find the last publication date to ensure your comments are submitted on time.
- 3
Review Project Details
Understand the project scope and its potential impact on local water quality.
Frequently Asked Questions
- How can I comment on the stormwater permit application?
- You can submit your comments in writing to the Washington State Department of Ecology.
- What is the deadline for submitting comments?
- Comments must be submitted no later than 30 days from the last publication date of this notice.
- What is the purpose of the public hearing?
- The hearing allows the public to express views on the stormwater permit application.
The above suggestions and answers are AI-generated for informational purposes only. They may contain errors. NoticeRegistry assumes no responsibility for their accuracy. Consult a qualified professional before taking action.
Full Notice Text
LEGAL NOTICE BYK Construction, Inc., PO Box 619 Sedro Woolley, WA 98284, is seeking coverage under the Washington State Department of Ecology's Construction Stormwater NPDES and State Waste Discharge General Permit. The proposed project, Citipoint Church, is located at 4206 McLaughlin Rd in Mount Vernon in Skagit county. This project involves 2.6 acres of soil disturbance for Commercial, construction activities. The receiving water is Nookachamps Creek. Any persons desiring to present their views to the Washington State Department of Ecology regarding this Application, or interested in Ecology's action on this Application, may notify Ecology in writing no later than 30 days of the last date of publication of this notice. Ecology reviews public comments and considers whether discharges from this project would cause a measurable change in receiving water quality, and, if so, whether the project is necessary and in the overriding public interest according to Tier II anti-de