A letter from U.S. EPA Office of Enforcement and Compliance Assurance (OECA) extending flexibilities to count both off-site and onsite compliance assurance activities in meeting state compliance monitoring commitments through September 2021. (EPA will evaluate the need to extend this date further at that time, if appropriate.) The letter also provides additional clarification on processes and documentation.
Documents
2021 National Pretreatment Virtual Event – ACWA
Thursday, May 20, 2021 1:00-2:00 PM TRAINING SESSION 1 Local Limit Analysis 2:00-3:00 PM TRAINING SESSION 2 Combined Waster Stream Formula 3:00-3:15 PM BREAK 3:15-4:15 PM TRAINING SESSION 3 SIU… Read More »
2021 National Pretreatment Virtual Event – Joint Agenda
Monday, May 17, 2021 1:00 – 1:10 Welcome & Opening Remarks 1:10 – 2:00 Breaking Down Barriers: EPA, States, & POTWs as Co-Regulators For nearly 40 years, the pretreatment program… Read More »
2021 ACWA Member Survey Results
These are the summarized takeaways from ACWA’s 2021 Member Survey.
ACWA 2021 Mid-Year Meeting Presentations: Day 2
Here are the presentations from the second day of ACWA’s 2021 Mid-Year Meeting.
ACWA 2021 Mid-Year Meeting Presentations: Day 1
Here are the presentations from the first day of ACWA’s 2021 Mid-Year Meeting.
ACWA 2021 Mid-Year Meeting Speaker Bios
These are the biographies for the ACWA 2021 Mid-Year Meeting panelists.
FY2021 Funding Chart
This document breaks down key water appropriations from the FY21 Omnibus.
ACWA 2021 Mid-Year Meeting Agenda
This is the finalized agenda for the 2021 Mid-Year Meeting.
Final ACWA Comment Letter Maui Decision Guidance
Comment Letter: EPA should engage in meaningful collaboration with states before finalizing the Maui Decision guidance and/or a future rule making. Meaningful collaboration includes early engagement, reviewing draft products, identifying… Read More »
Final ACWA Comment Letter Criminal Negligence Standard Proposal
ACWA would like to express support for the Environmental Protection Agency’s (EPA) recent proposed rule clarifying that “state or tribal programs approved pursuant to CWA Sections 402 and 404 are not required to include the same criminal intent standard that is applicable to EPA under Section 309 of the CWA.”
EPA 50 Years
A half-century ago, our nation was in the grips of an unpopular war in Vietnam, trying to navigate new social norms and struggling to fulfill the historic promises of the… Read More »