Quicksilver Caucus (QSC) letter to EPA/OMB Letter on mercury pollution. ACWA is a member of the QSC, a coalition of state, local, and territorial environmental leaders working to reduce toxic mercury pollution.
Documents
A Long-Term Vision for Assessment, Restoration, and Protection under the Clean Water Act Section 303(d) Program
EPA document created with significant ACWA input describing long term vision and goals for CWA 303(d) Program and implementation plans
Comment letter to EPA on Nonpoint Source Program and Grant Guidelines for States
Comments to EPA on Nonpoint Source Program and Grant Guidelines
Letter to EPA Administrator Stoner supporting collaboration with States on Long Term Vision for Assessment, Restoration, and Protection under the CWA 303(d) Program
Letter to EPA Administrator Stoner supporting collaboration with States on Long Term Vision for Assessment, Restoration, and Protection under the CWA 303(d) Program
ACWA Comments on EPA Development of Multijurisdictional TMDLs
ACWA comments submitted to EPA on development of EPA’s memorandum “Considerations for the Development of Multijurisdictional TMDLs”
Healthy Waters Coalition Final Policy Recommendations
Healthy Waters Coalition Final Policy Recommendations for the 2012 Farm Bill
ACWA Comments on Draft 2011 Guidance
Comments from ASIWPCA (ACWA’s old name) on Docket ID No. EPA-HQ-OW-2011-0409, following up on comments made on 2008 Guidance.
The 2011 Nancy Stoner Memo: Working in Partnership with States to Address Phosphorous and Nitrogen Pollution though Use of a Framework for State Nutrient Reductions
The 2011 Nancy Stoner Memo: Working in Partnership with States to Address Phosphorous and Nitrogen Pollution though Use of a Framework for State Nutrient Reductions
ACWA Comments on 2008 Rapanos WoUS Guidance
A copy of the comments submitted to EPA and the Army Corps of Engineers on the 2008 Rapanos Guidance