Summary provides an overview of the proposed bill, the Water Quality Improvement Act of 2017
ACWA letter to EPA regarding use of CWA Section 308 authority to collect information.
ACWA letter of support to EPA regarding the migration of data from netDMR to the Central Data Exchange system. This data migration has to do with the NPDES eReporting Rule.
Letter to the EPA to discuss development of ambient water quality criteria for the protection of human health at the state level with regard to fish consumption.
2016 Joel Beauvais Memo: Renewed Call to Action to Reduce Nutrients Pollution and Support for Incremental Actions to Protect Water Quality and Public Health
ACWA comment letter submitted to EPA regarding the National Pollution Discharge Elimination System Application and Program Updates (“NPDES Updates Rule”)
ACWA’s letter commenting on EPA’s updating of the federal NPDES regulations with provisions that create new challenges for states.
This is the official ACWA comment letter regarding EPA’s proposed small MS4 Remand Rule.
Joint letter with multiple state organizations responding to EPA’s March 11, 2015 Letter on Efficient and Effective Oversight of State Permitting Programs
Quicksilver Caucus (QSC) comment letter to EPA Letter on the Effluent Limitations Guidelines and Standards for the Dental Category (the “Dental Amalgam Rule”). ACWA is a member of the QSC, a coalition of state, local, and territorial environmental leaders working to reduce toxic mercury pollution.
ACWA comment letter submitted to EPA on the Effluent Limitations Guidelines and Standards for the Dental Category (the “Dental Amalgam Rule”)
ACWA comment letter submitted to EPA on the Supplemental Notice NPDES Electronic Reporting Rule.