May 30, 2023 Comment Letters PFAS National Primary Drinking Water Regulation Rulemaking – Joint Comment Letter Agency: U.S. Environmental Protection Agency Subject: Docket ID #: EPA-HQ-OW-2022-0114; PFAS National Primary Drinking Water Regulation Rulemaking Letter excerpt: The undersigned […] Read More
Apr 4, 2023 Comment Letters OEHHA’S Five-Year Review of the Perchlorate Public Health Goal Agency: Office of Environmental Health Hazard Assessment Subject: OEHHA’S Five-Year Review of the Perchlorate Public Health Goal Letter excerpt: On […] Read More
Mar 2, 2023 Comment Letters AB 249 (Holden): Testing for Lead in Drinking Water at Schools To: The Honorable Alex Lee, Chair, Assembly Environmental Safety and Toxic Materials Committee Subject: AB 249 (Holden): Testing for Lead […] Read More
Feb 16, 2023 Comment Letters Public Health Goals for Hexavalent Chromium Agency: Office of Environmental Health Hazard Assessment Subject: Public Health Goal for Hexavalent Chromium: ACWA’s Concerns regarding July 6, 2022 […] Read More
Aug 9, 2022 Member Tools Updated PFAS Toolkit ACWA has updated its PFAS communications toolkit to include a frequently asked questions handout to explain the U.S. Environmental Protection […] Read More
Aug 5, 2022 Comment Letters Proposed Revisions to State’s Capacity Development Strategy for Public Drinking Water Systems Agency: State Water Resources Control Board Subject: Proposed Revisions to the State’s Capacity Development Strategy for Public Drinking Water Systems […] Read More
Jun 13, 2022 Member Tools Toolkit to Communicate Taste, Odor Issues in Drinking Water ACWA has produced some communications tools for water suppliers that need to communicate with customers about changes in the taste, […] Read More
Apr 29, 2022 Comment Letters Administrative Documents of a Regulation for the Hexavalent Chromium MCL Agency: State Water Resources Control Board Subject: ACWA and CMUA Comment Letter regarding Administrative Documents of a Regulation for the Hexavalent […] Read More
Apr 28, 2022 Comment Letters Necessity of Protecting Water Systems from CERCLA Liability for PFAS To: Dear Chairman Carper, Ranking Member Capito, Chairman DeFazio, Ranking Member Graves, Chairman Pallone, and Ranking Member McMorris Rodgers Subject: […] Read More