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Association of Clean Water Administrators

The Voice of States & Interstates since 1961

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Home > Letters

Letters

Association of Clean Water Administrators Comments on Proposed MSGP Permit

Posted: April 29, 2025

ACWA is the independent, nonpartisan, national organization of state, interstate, and territorial water program managers (hereafter referred to simply as “states”), who daily implement the clean water quality programs of… Read More »

Fiscal Year 2026 Appropriations Testimony

Posted: April 4, 2025

As you begin working on Fiscal Year 2026 Appropriations, the members of the Association of Clean Water Administrators (ACWA) urge you and your colleagues to robustly fund surface water programs funded through Clean Water Act (CWA) §106 State and Tribal Assistance Grants (STAG), the CWA § 319 programs, and the geographic programs like the Chesapeake Bay, the Long Island Sound, and the Gulf Hypoxia Task Force. As the Administration works to reorganize and downsize the federal government, robust appropriations for state programs are even more critical than ever as states consider the most efficient ways to implement the CWA and Powering the Great American Comeback Initiative.

Coalition Letter for Justification Process for State Payments

Posted: March 20, 2025

A letter to EPA urging the agency as it works to develop policies for the Executive Order Implementing the President’s Department of Government Efficiency Cost Efficiency Initiative, the undersigned organizations… Read More »

State Media Associations Letter on FY 2025 Funding

Posted: March 20, 2025

Funding cuts below Fiscal Year 2024 levels will undermine the protections our agencies provide to the prosperity and health of people across the country. Appropriated funding that adequately accounts for new and historic environmental law mandates is critical for state and local agency budgets and ensuring the balance of cooperative federalism. The complexity of today’s environmental challenges and the opportunities for American leadership in a transforming economy requires robust state/federal partnership to ensure reasonable, balanced, effective, and efficient strategies for environmental protection. We rely on Congress to support that partnership by sustaining the funding and resources that give our agencies what they need to assure Americans of the cleanest air, water and land.

Coalition Letters Urges Full Funding of the Clean Water and Drinking Water State Revolving Funds

Posted: February 21, 2025

CIFA organized a coalition of 37 national and state organizations to urge Congress to fully fund the Clean Water and Drinking Water SRFs at congressionally authorized levels of $3.25 billion for fiscal years 2025 and 2026. Read the letter. The coalition also urged EPA Administrator Lee Zeldin to support full funding of the SRFs. Read the letter.

ACWA Letter to Trump Transition Team

Posted: January 9, 2025

The Association of Clean Water Administrators (hereinafter “ACWA” or the “states”) is the independent, nonpartisan, national organization of state, interstate, and territorial water program managers, who on a daily basis implement the water quality programs of the Clean Water Act (“CWA”). ACWA is a nationally recognized organization whose agenda and mission are set by a Board of Directors and leadership which are composed entirely of state/interstate water quality program administrators and managers. ACWA is uniquely positioned as a critical resource to EPA as ACWA can quickly and efficiently facilitate feedback from its members, the nation’s experts on implementing the CWA. Because the states, largely, implement CWA regulations and policies, proposed changes to applicable EPA regulations and policies should be developed in collaboration with the states. The complexity of today’s water quality issues requires effective collaboration to ensure reasonable, balanced, and effective strategies for water quality improvement.

Final Comment Letter – Proposed Guidance CSO Integrated Planning

Posted: March 18, 2024

The Association of Clean Water Administrators (ACWA) submits this letter to the U.S. Environmental Protection Agency (EPA) in response to notice of available Draft Guidance for Future NPDES Permitting of… Read More »

Final Comment Letter – Proposed Maui Guidance 12-23-2023

Posted: March 18, 2024

ACWA appreciates that EPA has drafted a guidance document that reinforces support for the Supreme Court created list of seven factors that could be considered when determining whether a discharge… Read More »

Extension Request: Implementing the Supreme Court’s Maui Decision in the Clean Water Act Section 402 National Pollutant Discharge Elimination System Permit Program

Posted: December 1, 2023

In its published notice of the Draft Guidance, EPA has provided an opportunity for public participation through the submission of public comments to the rulemaking docket. However, EPA has unnecessarily… Read More »

FY 2024 House Appropriations Letter

Posted: July 14, 2023

FY 2024 House Appropriations Letter

FY 2024 Senate Appropriations Letter

Posted: July 14, 2023

FY 2024 Senate Appropriations Letter

ACWA Comments on 304(a) PFAS Criteria

Posted: July 15, 2022

On this page: (1) June 29, 2022 ACWA comments on the Draft Ambient Water Quality Criteria Recommendations for PFOA and PFOS. ACWA noted their general support for development of these… Read More »

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Weekly Wrap

  • ACWA Weekly Wrap Vol. XVI, Issue 13 (Week of April 28, 2025)

    May 2, 2025
  • ACWA Weekly Wrap Vol. XVI, Issue 12 (Week of April 21, 2025)

    April 25, 2025

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ACWA

The Association of Clean Water Administrators

nonprofit [501(c)3] organization

1725 I Street NW
Suite 225
Washington, DC 20006

Phone: (202) 756-0605
Fax: (202) 793-2600

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