ARCHIVE SITE - Last updated Jan. 19, 2017. Please visit www.NACWA.org for the latest NACWA information.
ARCHIVE SITE - Last updated Jan. 19, 2017. Please visit www.NACWA.org for the latest NACWA information.
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NACWA Plays Leadership Role in Advisory Council Recommendations on Water Sector Resiliency
As part of development of the report, the NIAC Working Group enlisted a number of experts in a Study Group, chaired by NACWA President Adel Hagekhalil, to undertake extensive subject matter expert interviews and literature reviews to inform the NIAC findings and recommendations. The Study Group determined, and the NIAC agreed, that the water sector is in major need of renewal and increased investment, much like many of the other critical national infrastructure across the United States. The report acknowledges that while it is not the Federal Government’s responsibility alone to strengthen the water sector’s resilience to uncertain risks, policy makers have failed to make reinvestment in water infrastructure a top national priority. The specific recommendations for federal action suggested by the Study Group and approved by the NIAC are as follows:
The NIAC’s five recommendations underscore the need for more support from the Federal Government as public water and clean water systems struggle with maintaining a highly specialized workforce, cyber dependency, more severe weather and climate, and affordability concerns – all while also facing the need to address deteriorating infrastructure in a limited-resource environment. NACWA’s Climate and Resilience Committee will be reviewing the five recommendations from the report at the committee’s meeting as part of the upcoming Utility Leadership Conference in Denver and discussing how to ensure they are seriously considered by the Administration. A final version of the report will be available the week of July 11. NACWA will continued to stay closely engaged as the final report’s recommendations are considered by the White House and will keep the membership updated on developments. Momentum Builds for Senate Consideration of WRDA Prior to July Recess
The letter comes after a targeted outreach campaign by NACWA and other stakeholders, including the Water Infrastructure Network, to key Republican Senators urging them to support action by the Senate as quickly as possible so that final enactment of the legislation could potentially occur this Fall. NACWA members led successful letter-writing campaigns in key states, including Ohio The Senate WRDA package contains several provisions that address long-standing Clean Water Act-related concerns for wastewater utilities including inadequate federal funding, ratepayer affordability challenges, and incentives for innovation. The Senate package enjoys broad, bipartisan support and was reported out of committee on a near- unanimous vote of 19-1. The House WRDA package NACWA, EPA Discuss Path Forward on Recovered Resources
NACWA has been working on this issue for over two years and discussions at the meeting signaled that EPA may now be comfortable with an approach that ensures full compliance with existing regulations, but that could also evaluate recovered resources on a case by case basis to determine whether they can be deemed products and no longer regulated by the Clean Water Act. NACWA is optimistic that the Agency will take action to formalize this process before the end of the year. The Association will continue to work closely with EPA on this issue and report on developments as they unfold.
NACWA Members Participate in Workshop on Protecting Wastewater Workers
The NACWA Member Agencies participating in the workshop included the Orange County Sanitation District, CA; DC Water, DC; the Narragansett Bay Commission, RI; the Denver Metro Wastewater Reclamation District, CO; the Littleton/Englewood Wastewater Treatment Plant, CO; and the Sacramento Regional County Sanitation District, CA. For more information on the workshop, contact This e-mail address is being protected from spambots. You need JavaScript enabled to view it . EPA Publishes Effluent Guidelines Plan; NACWA Requests Member Input
NACWA’s Pretreatment & Pollution Prevention Committee has provided EPA with input on the Metal Finishing study during a March 8 conference call and at the NACWA Pretreatment & Pollution Prevention Workshop in May. The Committee also provided input on the CWT study during the Workshop.Although the CWT detailed study is currently focused on oil and gas extraction wastewater, EPA could consider making this study broader. The Committee supported expanding the study due to the problems utilities have experienced with discharges from CWTs. NACWA will plan to send comments on the Preliminary Plan by the July 27 due date. Members are requested to provide input for the Association’s comments to This e-mail address is being protected from spambots. You need JavaScript enabled to view it by July 20. State & Regional Organizations React to NPDES Updates Rule
Many organizations on the call, including those from Oregon, Missouri, and Texas, expressed concern with EPA’s inclusion of an “Objection to Administratively Continued Permits” provision in the proposal. EPA proposes to revise section 40 CFR 123.44 to allow its regional administrators to designate certain expired National Pollutant Discharge Elimination System (NPDES) permits that are deemed “environmentally significant” as “proposed permits.” These changes would allow EPA to take over the permit and issue the permit as a federal EPA permit should the state be unwilling or unable to act adequately. Participants on the call noted that this provision could impact existing state delegation Memoranda of Agreement (MOAs), would not account for permits that have been continued for State Revolving Fund (SRF) purposes or pending TMDL development, and would create potential legal vulnerabilities. NACWA encouraged participants to submit comments to the Agency with their state perspectives before the August 2 deadline, and the Association will also work to incorporate feedback from the call into NACWA’s comments. Participants on the call also heard a presentation from the Texas Association of Clean Water Agencies about recent success around a state SSO reporting law NACWA regularly convenes this state and regional network of clean water and stormwater organizations, providing an opportunity for their perspectives to inform NACWA’s efforts while also boosting the Association’s national advocacy agenda through more local engagement. If you are involved with a state or regional group that would be interested in joining this coalition, please contact This e-mail address is being protected from spambots. You need JavaScript enabled to view it .
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