American Water Works Association
EPANonrulemakingEPA-HQ-OGC-2020-0140

Waterkeeper Alliance, Inc. et al v. U.S. et al, EPA, No. 1:19-cv-00899

RIN
Last modified
Jun 12, 2024
Comment window
closed 2262d ago
American Water Works Association filings
1

Activity

American Water Works Association filed 1 comment on this docket between May 20, 2020 and May 20, 2020. 0 other organizations filed here. The comment window closed 2262d ago.

What American Water Works Association filed (1)

May 20, 2020· Comment submitted by G. Tracy Mehan, III, Executive Director for Government Affairs, American Water Works Association (AWWA)· EPA-HQ-OGC-2020-0140-0005

Filed on regulations.gov — full text not in the inline record.

Abstract

On January 30, 2019, the Plaintiffs filed a complaint pursuant to the Safe Drinking Water Act (SDWA) and the Administrative Procedure Act (APA) seeking declaratory and injunctive relief to resolve several claims regarding EPA’s obligations to develop new and revised National Primary Drinking Water Regulations (NPDWRs). Under the proposed settlement agreement, the EPA would agree to deadlines for (1) publishing a proposed regulatory determination for at least five contaminants that are listed on the Fourth Contaminant Candidate List (CCL); (2) signing for publication in the Federal Register the Fifth and Sixth CCLs; (3) making a determination as to whether the existing NPDWR for chromium is appropriate for revision; (4) signing for publication in the Federal Register a proposal to revise the NPDWRs for the microbial and disinfection byproduct (MDBP) contaminants identified as candidates for revision in the EPA’s Six-Year Review 3, published on January 11, 2017; and (5) signing for publication in the Federal Register a notice of final action on the proposal to revise the NPDWRs for the MDBPs.

View on regulations.gov →