Specifications include, but are not limited to: The engineer shall provide services for fulfilling the requirements of EPA’s Municipal Separate Storm Sewer System (MS4) Phase I permit in District 3, Phase II permits in Districts 1, 3, and 5, the Middle Rio Grande Watershed Based MS4 Permit, and the state wide general permits expected in 2018 or 2019. This includes revising the Storm Water Management Plans (SWMP) for all permits, attending meetings and workshops pertaining to NPDES and MS4 permits, assisting the NMDOT in complying with EPA’s Phase I, Phase II, and watershed-based permit requirements, and preparing reports and other documentation as requested by NMDOT Environmental Bureau. It is the intent of the NMDOT to negotiate a lump sum fee for each task assigned. This work shall include, but not be limited to the above description (exact scope shall be negotiated on this contract). Activity I: Revise or develop SWMPs to comply with the existing or proposed EPA permit requirements. This work entails rewriting the existing SWMPs in Microsoft Office, and presenting to the Environmental Bureau for review. This shall be based on prioritizing and revising the sections that need to be rewritten first in order to comply with the deadline schedule set by the EPA. This includes writing and submitting appropriate Notice of Intent (NOI) documents for MS4 permits. Activity II: Attend meetings with other MS4 co-permittees on a monthly basis or as needed to continue to comply with MS4 requirements and discuss related issues. This task includes participating in any activity that the MS4 partners deem necessary, such as public meetings, participation in local events, etc. It is estimated that approximately two to three meetings per month will be required, and should be included in the estimate. Activity III: Attend meetings with NMED and other state and local agencies for EPA’s Watershed Based Permit mandate. According to the EPA this permit will replace the existing permit and will include many State agencies. The Consultant shall ensure that NMDOT’s role in this process is in compliance with the EPA mandate. There are responsibilities that are laid out for each copermittee so far and more will be added as the process continues. The Consultant shall take an active role in fulfilling the assigned responsibilities. Activity IV: Make revisions to the NPDES Manual as required by any new EPA permit language, and include Low Impact Development/Green Infrastructure (LID/GI) measures in the Manual as mandated by the EPA in the new permit language.