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NACWA Leads Coalition Letter Encouraging House Consideration of WRDA Bill
The House WRDA package NACWA has been working hard to encourage passage of the Senate WRDA bill before Congress leaves for its Summer Recess on July 15. However, it is appearing increasingly unlikely the Senate will hold votes on WRDA before recess as the remaining floor time is being taken up by other matters. NACWA is already planning additional outreach over the remainder of the Summer to encourage both the Senate and House to take up WRDA when Congress returns to Washington in September. For more information, contact This e-mail address is being protected from spambots. You need JavaScript enabled to view it , NACWA’s Legislative Affairs Manager.
Association Comments on EPA Environmental Justice Plan, Calls for Greater Focus on Affordability Concerns
The Association’s comments support EPA’s recognition of the need to increase partnership at all level of government to advance EJ initiatives, especially the need to work collaborative with local governments and co-regulators. Municipal clean water utilities have long been critical partners and co-regulators within the Clean Water Act context – particularly around industrial pretreatment and municipal stormwater issues – and it is gratifying to see an acknowledgement of this co-regulator role in the context of EJ concerns. At the same time, NACWA’s comments call on EPA to provide a broader definition of EJ that includes a greater focus on community affordability concerns. As NACWA has previously made clear to EPA, the low-income communities most targeted for EJ initiatives in the clean water sphere are also the same ones that are least able to afford the significant rate increases – and bear a disproportioned percentage of the cost – related to federal clean water mandates. The financial impact on these households must be part of EPA’s overall EJ analysis. NACWA’s comments also request EPA take a more proactive approach in providing compliance assistance to communities and utilities struggling with EJ issues before proceeding straight to an enforcement action. NACWA’s comments were developed in conjunction with the Association’s Environmental Justice Task Force. EPA will continue to take comments on the Action Agenda until July 28th if other Association members would like to submit input to the Agency. NACWA will continue to stay engaged with EPA on EJ issues moving forward – anyone with questions about NACWA’s EJ work can contact This e-mail address is being protected from spambots. You need JavaScript enabled to view it . Feedback Requested on Revised CWA 404 Nationwide Permit & Potential TMDL, CSO Program Implications
NWP 27 is the primary national 404 permit dealing with work in streambeds. This is relevant for clean water utilities if their existing combined sewer overflow (CSO) or total maximum daily load (TMDL) programs require restoration of streams. This memo NACWA is exploring whether the Association should seek additional changes to NWP 27 to simply the 404 permitting process for clean water utilities pursuing streambed restoration. Member responses to the following questions are critical to helping make this determination:
Any feedback should be sent to This e-mail address is being protected from spambots. You need JavaScript enabled to view it by July 15. The deadline for comment on the draft NWP is August 1.
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