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April 2, 2010
Momentum Grows for Legislative Affordability Fix; Mayors’ Report Provides Helpful DataNACWA reached out to several key lawmakers to seek their support for including language in the fiscal year 2011 EPA appropriations bill to require the Agency to undertake an affordability/financial capability review process and update its outdated 1997 guidance document establishing its approach to wet weather affordability issues. NACWA met with staff for the Chairman of the Senate Appropriations Committee, Senator Inouye (D-Hawaii), as well as Senator Herb Kohl (D-Wisc.) and Congresswoman Marci Kaptur (D-Ohio) all of whom understood the fiscal challenges communities must deal with when confronting large wastewater treatment infrastructure projects and costly new regulatory requirements. Each of these meetings went well and NACWA staff believes these offices will provide assistance to this important part of NACWA’s affordability advocacy effort. As NACWA’s affordability efforts proceed on the Hill as well as with EPA, these initiatives are also receiving vital assistance from the U.S. Conference of Mayors both from an advocacy and an information-development standpoint. The Mayors recently released and continue to distribute their report titled Trends in Local Government Expenditures on Public Water and Wastewater Services and Infrastructure: Past, Present and Future. NACWA encourages its members to download the report by clicking here, review it and share it or the press release Clearly, in the context of the current economic downturn, the growing capital project needs and regulatory compliance costs are coming just as municipalities are bumping up against affordability limits. This issue is critical for municipal officials and transcends geographic boundaries. As a member of the Mayors Urban Water Council, NACWA and its members will be working closely with the U.S. Conference of Mayors and the array of key stakeholder groups to continue to fully address these vital concerns.
NACWA Meets with EPA Deputy AA for Water; SSO Policy Announcement Expected SoonNACWA met this week with EPA’s new Deputy Assistant Administrator (AA) for Water Nancy Stoner and the Director of the Office of Wastewater Management Jim Hanlon to hear from them regarding their short and long-term clean water initiatives. The issues discussed included sanitary sewer overflows (SSOs)/blending; affordability/financial capability; green infrastructure; and nutrients. NACWA was pleased to learn that EPA anticipates an announcement in the next 30-60 days on a path forward for SSOs. EPA intimated that their preference was to move forward with initiating work toward a comprehensive SSO rule or policy that among other key issues would encompass peak excess flow blending. NACWA will be watching this closely in terms of how it may impact NACWA’s strategy as it continues work on a petition to EPA to develop an SSO policy. On the affordability front, Nancy Stoner clearly connected affordability concerns with EPA’s goal of moving toward sustainability of wastewater systems. She stated that an integrated approach to financial capability assessments that could account for the suite of potential environmental costs in a manner that was flexible, rather than static, and could best achieve environmental improvement should be a component of a sustainable path forward. It was clear that the details of such an approach had not yet been contemplated and NACWA provided them with an update about its ongoing work with EPA’s Offices of Water and Enforcement and Compliance Assurance on affordability issues. It was also clear that Nancy Stoner understood the important link between affordability concerns and the use of green infrastructure from both a policy and an enforcement standpoint and she clearly is in favor of a greater focus from EPA on supporting green infrastructure techniques as a viable option. Interestingly, due to her work with the Natural Resources Defense Council on their nutrient petition before she joined EPA, Nancy Stoner has recused herself from all nutrient discussions because the petition is still active at EPA. She does not, however, have to recuse herself from blending or SSO discussions.
EPA Reaffirms Current Stance on Blending in Letter to Illinois DischargerIn a March 26 letter
NACWA Explores Potential Merger of Key Green Infrastructure BillsNACWA met with the Philadelphia Horticultural Society (PHS) this week to discuss combining The Green Infrastructure for Clean Water Act of 2009 (H.R. 4202) — the bill that NACWA provided significant input into and on whose behalf NACWA has been advocating strongly — and the Green Communities Act (H.R. 2222) into a single bill focused on promoting green infrastructure investments at both EPA and the Economic Development Administration (EDA) housed at the Department of Commerce. PHS has been the primary supporter of H.R. 2222 though both legislative efforts enjoy the support of growing stakeholder coalitions. Both bills have similar aims and need to be considered by the Transportation and Infrastructure (T&I) Committee before moving to other committees and the House floor for ultimate passage. The Green Infrastructure for Clean Water Act of 2009 would create a green infrastructure office within EPA Headquarters, provide grants for utilities and municipalities to plan, design and implement green infrastructure projects and set up centers of green infrastructure excellence throughout the United States. The Green Communities Act seeks to create more greening opportunities in urban environments by providing grants to municipalities through the EDA to revitalize parks and public spaces, increase tree plantings, green roof construction and green stormwater management techniques. NACWA and PHS believe that by combining these two bills into a single legislative package on green infrastructure, we can both benefit from growing congressional support for both bills and provide momentum for passage. NACWA and PHS are discussing the idea of merging the bills with key Congressional sponsors and respective coalition stakeholders and NACWA will keep members apprised as these efforts advance.
NACWA Comments on EPA's Revised, More Stringent Ammonia CriteriaNACWA submitted comments NACWA's April 1, 2010, comments supported EPA's approach of using bifurcated criteria, with different levels of protection for those waters where mussels were present, but highlighted a list of issues with the data being used, including the use of invasive species toxicity information, and several implementation questions that remain unanswered. The top implementation issue for NACWA is the manner in which the ‘mussels present' determination is made. Once the ‘mussels present' determination is made, then the more stringent criteria must be met. Clean water agencies will have difficulty meeting the new, lower numbers and their efforts to comply will result in other operational impacts, making the details of this threshold determination and subsequent implementation of vital importance. Unfortunately, few details are provided in the criteria document. EPA only notes that it appears that many states in the continental U.S. have freshwater mussel fauna in at least some of their waters. Given the complexity of the tiered criteria and the potential impacts on clean water agencies, NACWA's comments stressed the need for detailed implementation guidance. EPA representatives have indicated that implementation guidance will be released with the final criteria, but NACWA believes that any implementation guidance must be released for public review and comment before the final criteria are released.
Apply Today — Peak Performance Award Application Deadline Is April 9!Don't miss the chance to recognize your facilities with a 2009 Peak Performance Award for outstanding compliance with National Pollutant Discharge Elimination System (NPDES) permit limits! The deadline to apply is next Friday, April 9, 2010. The Peak Performance Awards recognize excellence in three categories: Platinum, Gold and Silver. Submit your applications online through CleanWater Central, by e-mail to Mark Hoeke, This e-mail address is being protected from spambots. You need JavaScript enabled to view it , or by regular mail to Kelly Brocato at the NACWA National Office, 1816 Jefferson Place, NW, Washington, DC 20036. More information on the 2009 Peak Performance Awards is available on the Awards section of NACWA's website or in the Member Update sent March 18.
Time Is Running Out — Register Now for the 2010 National Environmental Policy ForumNACWA's National Environmental Policy Forum is a little over two weeks away so make your plans to join us now in Washington, D.C. The Policy Forum offers a unique opportunity to gain a greater understanding of current federal legislative, regulatory and legal issues – and brings together top lawmakers, influential decision- makers and key staff for a series of robust discussions of evolving national issues certain to impact communities across the country. Also, don't forget to schedule a meeting with your congressional delegation on the afternoon of Tuesday, April 20. We urge attendees to set up meetings to ensure that national leaders take into account NACWA member perspectives and concerns when developing clean water legislation. If you would like assistance setting up these visits, please contact John Krohn, NACWA's Manager of Legislative Affairs, at 202.833.4655 or This e-mail address is being protected from spambots. You need JavaScript enabled to view it . Finally, in order to make sure you are included on the Policy Forum participants' list that will be included with the registration packets, NACWA must receive your registration by Monday, April 5, 2010 so make your plans today! For additional information on the 2010 National Environmental Policy Forum, visit NACWA's website.
Make Your Plans Today for NACWA's Pretreatment and Pollution Prevention WorkshopJoin other pretreatment professionals May 19 – 21, 2010 at the Hyatt Phoenix in Phoenix, Arizona for NACWA's National Pretreatment & Pollution Prevention Workshop, the only national conference designed especially for pretreatment professionals. Topics at this year's Workshop, P3: The Next Generation – Its Continuing Mission to Clean the Nation's Water, include legal cases involving discharges of fats, oils, and greases (FOG); the increasing responsibilities of pretreatment programs to handle stormwater and the impacts of upcoming stormwater regulations; and how NACWA and utilities are dealing with the problem of "flushable" wipes that cause problems in sewer systems and treatment plants. The latest information on mercury control measures and their potential nationwide impacts will also be provided. Staff from EPA will be on hand to update participants on the current status of effluent guidelines development, pretreatment performance measures, and other programs. Regional EPA staff will participate in the popular Regional Roundtable discussion session. As a new feature at the Workshop, an additional roundtable session on various pretreatment-related topics will be held to allow participants to network with their colleagues from utilities nationwide. Visit NACWA's website for additional information and make your plans to attend the Workshop today! |