ACWA joined a broad coalition of groups supporting USGS streamgage networks and modernization efforts. These vital networks, managed within the USGS Groundwater and Streamflow Information Program, provide critical and life-saving information and serve the national interest with continuous streamflow information at over 8,400 locations. Additions to these networks are needed to adequately manage the Nation’s… Read More »
A letter to Congressional leadership as they work on a COVID-19 relief package urging them to fix a potential flaw in the legislation. H.R. 6201, the Families First Coronavirus Response Act, expands paid sick leave and family medical leave benefits for all public sector employees who are affected by the coronavirus crisis. While we support… Read More »
In February 2020, ACWA jointly submitted comments with ASDWA and ECOS in response to EPA’s ANPRM, “Addition of Certain Per- and Polyfluoroalkyl Substances; Community Right-to-Know Toxic Chemical Release Reporting (Docket # EPA-HQ-TRI-2019-0375).”
ACWA’s comment letter to EPA’s Office of Ground Water and Drinking Water on Proposed Lead and Copper Rule revisions.
ACWA sent this letter to Chairman Barrasso and Ranking Member Carper of the Senate Committee on Environment and Public Works regarding S. 1087, The Water Quality Certification Improvement Act of 2019.
This coalition letter was sent to the Senate Committee on Environment and Public Works regarding Senator Barasso’s (R-WY) bill, S. 1087, which makes changes to Clean Water Act Section 401.
This comment letter was submitted October 21, 2019 and was responsive to EPA-HQ-OW-2019-0405, Proposed Rule – Updating Regulations on Water Quality Certification.
Thank you for your February 20, 2019 letter regarding Clean Water Act (CWA) Section 401 and your thoughtful list of potential process reforms.
ACWA and ASDWA’s comment letters on reuse: Comments on the publicly-available draft National Water Reuse Action Plan, and initial Comments on the Development of a draft Water Reuse Action Plan – [Docket No. EPA-HQ-OW2019-0174]
This ACWA comment letter was submitted on May 24, 2019 and was responsive to EPA’s Pre-proposal Recommendations for Clarification of Provisions within Clean Water Act Section 401 and Related Federal Regulations and Guidance.
ACWA’s comment letter to EPA requesting that the Agency engage in meaningful collaboration with states on EPA’s Interpretive Statement on Application of CWA NPDES Programs to Releases of Pollutants from a Point Source to Groundwater.
ACWA’s letter to the Senate Appropriations Committee in support of STAG Grants.