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Home > Letters > Page 5

Letters

ACWA Comment Letter – Pre-proposal Recommendations for Clarification of Provisions within Clean Water Act Section 401 and Related Federal Regulations and Guidance

Posted: June 7, 2019

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… Read More »

ACWA Comment Letter – EPA Interpretive Statement on Application of CWA NPDES Programs to Releases of Pollutants from a Point Source to Groundwater

Posted: June 7, 2019

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… Read More »

ACWA Letter to Appropriations in Support of STAG Grants

Posted: April 26, 2019

ACWA’s letter to the Senate Appropriations Committee in support of STAG Grants.

ACWA Comments on “Revised Definition of “Waters of the United States”” Proposed Rule

Posted: April 16, 2019

ACWA comment letter submitted April 15, 2019, regarding the US EPA and US ACE proposed rule redefining Waters of the US.

Association Comment Letter on EPA PFAS Action Plan

Posted: April 4, 2019

ECOS, ACWA, and ASDWA, and ASTSWMO, shared comments on the EPA PFAS Action Plan with Administrator Wheeler outlining their concerns with the Action Plan.

Clean Water SRF Joint Letter

Posted: March 22, 2019

ACWA-ECOS joint letter in support of the Clean Water SRF submitted to House Transportation and Infrastructure Subcommittee on Water Resources and the Environment

ACWA, ECOS, ASWM, AFWA Letter Requesting 60-day Extension of Comment Period for WOTUS Redefinition

Posted: February 14, 2019

In this comment letter submitted to EPA and USACE through regulations.gov, ACWA, ECOS, ASWM, and AFWA request a 60-day extension of the existing 60 day comment period for the proposed… Read More »

ACWA/ASWM Letter on Sec. 404(g) of the CWA

Posted: January 28, 2019

We encourage EPA to consider these issues during the rulemaking process, as well as the following: 1) additional uncertainty about assumable waters in response to ongoing Water of the United States proposed rulemaking; 2) limited state and tribal experience with assumption for other states and tribes to build on; 3) the possibility of allowing partial assumption; and 4) the impact of assumption on consistency with federal statutes such as the Endangered Species Act, National Historical Preservation Act, etc., considerations. Most importantly, we strongly encourage EPA to continue an engaged stakeholder process with states and tribes.

Water Infrastructure Investment Needs

Posted: January 11, 2019

ACWA joined a broad coalition of organizations in urging Congress to provide funding for water, wastewater, stormwater and reuse infrastructure projects in any infrastructure funding packages considered during the 116th… Read More »

Coalition Letter on Potential Changes to Sec. 401

Posted: December 4, 2018

We urge you to reject any changes to agency rules, guidance, and/or policy that may diminish, impair, or subordinate states’ well-established sovereign and statutory authorities to protect water quality within their boundaries. Any regulatory action related to states’ CWA Section 401 authority raises significant federalism concerns, and therefore, we request that EPA engage in meaningful and substantive consultation with state officials before the commencement of such action.
With the adoption of the CWA, Congress purposefully designated states as co-regulators under a system of cooperative federalism that recognizes state authority over the allocation, administration, protection, and development of water resources. Section 101 of the CWA clearly expresses Congress’s intent to:
…recognize, preserve, and protect the primary responsibilities and rights of States to prevent, reduce, and eliminate pollution, to plan the development and use (including restoration, preservation, and enhancement) of land and water resources, and to consult with the Administrator in the exercise of his authority under this chapter.
This declaration demonstrates Congress’s understanding that a one-size-fits-all approach to water management and protection does not accommodate the practical realities of geographic and hydrologic diversity among states.

Vessel Incidental Discharge Act (VIDA) Letter

Posted: November 16, 2018

The Vessel Incidental Discharge Act (VIDA) passed the senate as a part of the Coast Guard Reauthorization Act. Under VIDA, the EPA and Coast Guard must work together to develop… Read More »

ACWA Comment Letter Peak Flows Management

Posted: November 1, 2018

The August 31, 2018 Federal Register Notice indicates EPA is requesting input on “possible approaches to updating the National Pollutant Discharge Elimination System (NPDES) regulations related to the management of… Read More »

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