A summary of proceedings pertaining to WoUS definitions.
Watersheds, TMDLs and Nonpoint Sources
Priorities for State Water Quality Programs in the New Administration
ACWA urges the Trump Transition team to consider opportunities & needs to ensure that water quality programs continue to improve the nation’s water quality.
Assumable Waters Under the Clean Water Act Section 404
A letter from ACWA, ECOS and ASWM to the USACE expressing disappointment in the Corps’ position on “traditional navigable waters” under the CWA
The 2016 Joel Beauvais Memo: Renewed Call to Action to Reduce Nutrients Pollution and Support for Incremental Actions to Protect Water Quality and Public Health
2016 Joel Beauvais Memo: Renewed Call to Action to Reduce Nutrients Pollution and Support for Incremental Actions to Protect Water Quality and Public Health
The state of Wisconsin’s comments on the Proposed Waters of the U.S. Rule
A copy of the comments submitted by Wisconsin to the EPA and the Army Corps of Engineers on the Proposed Waters of the U.S. Rule.
The state of Nevada’s comments on the Proposed Waters of the U.S. Rule
A copy of the comments submitted by Nevada to the EPA and the Army Corps of Engineers on the Proposed Waters of the U.S. Rule.
The commonwealth of Kentucky’s comments on the Proposed Waters of the U.S. Rule
A copy of the comments submitted by Kentucky to the EPA and the Army Corps of Engineers on the Proposed Waters of the U.S. Rule.
The state of Missouri’s comments on the Proposed Waters of the U.S. Rule
A copy of the comments submitted by Missouri to the EPA and the Army Corps of Engineers on the Proposed Waters of the U.S. Rule.
The California State Water Resources Control Board comments on Proposed Waters of the U.S. Rule
A copy of the comments submitted by the California State Water Resources Control Board to the EPA and the Army Corps of Engineers on the Proposed Waters of the U.S. Rule.
The Commonwealth of Virgina’s comments on the Proposed Waters of the U.S. Rule
A copy of the comments submitted by Virgina to the EPA and the Army Corps of Engineers on the Proposed Waters of the U.S. Rule.
The state of Oklahoma’s comments on the Proposed Waters of the U.S. Rule
A copy of the comments submitted by Oklahoma to the EPA and the Army Corps of Engineers on the Proposed Waters of the U.S. Rule.
The state of Indiana’s comments on the Proposed Waters of the U.S. Rule
A copy of the comments submitted by Indiana to the EPA and the Army Corps of Engineers on the Proposed Waters of the U.S. Rule.

