Filed on regulations.gov — full text not in the inline record.
National Primary Drinking Water Regulations: Long Term 2 Enhanced Surface Water Treatment Rule
Activity
Association of Metropolitan Water Agencies filed 8 comments on this docket between Jan 7, 2004 and Jan 9, 2004. 63 other organizations filed here. The comment window closed 8236d ago.
What Association of Metropolitan Water Agencies filed (8)
Filed on regulations.gov — full text not in the inline record.
Filed on regulations.gov — full text not in the inline record.
Filed on regulations.gov — full text not in the inline record.
Erica Michaels Brown <brown@amwa.net> 01/07/2004 02:16 PM To: Group Ow-Docket@EPA cc: Diane Van DeHei <vandehei@amwa.net>, TOM SCHAEFFER <schaeffer@amwa.net> Subject: Attention: Docket ID No. OW-2002-0039 Dear EPA Docket, Attached please find the cover letter and comments for the Association of Metropolitan Water Agencies for the LT2ESWTR, Docket ID No. OW-2002-0039. These comments were also sent to the EPA docket today via courier. Sincerely, Erica Michaels Brown Manager of Regulatory Affairs Association of Metropolitan Water Agencies 1620 I Street NW, Suite 500 Washington, DC 20006 202-331-2820 (phone) 202-785-1845 (fax) brown@amwa.net Email message sent by Erica Michaels Brown, Manager of Regulatory Affairs, transmitting AMWA's (AMWA) comments
Filed on regulations.gov — full text not in the inline record.
Filed on regulations.gov — full text not in the inline record.
Filed on regulations.gov — full text not in the inline record.
Abstract
Contact: Dan Schmelling, USEPA/OW/OGWDW, (202) 564-5281, HQ
View on regulations.gov →Co-filers (63)
See everyone who commented →- Association of Metropolitan Water AgenciesTHIS ORG8 filings · confidence 97%
- American Water Works Associationtrade assoc.26 filings · confidence 97%
- Texas Commission on Environmental Qualityunverified attribution5 filings · confidence 70%
- Association of California Water Agenciestrade assoc.3 filings · confidence 85%
- Cobb County - Marietta Water Authorityunverified attribution3 filings · confidence 70%
- Maryland Department of the Environmentunverified attribution3 filings · confidence 70%
- Natural Resources Defense Council (NRDC)trade assoc.3 filings · confidence 97%
- Public Utilities Bureau Managerunverified attribution3 filings · confidence 70%
- Water Utility Council of the Pennsylvania American Waterworks Associationtrade assoc.3 filings · confidence 85%
- American Chemistry Counciltrade assoc.2 filings · confidence 97%
- and to promote drinking water treatment technologies with a broader range of water quality benefits" submitted byunverified attribution2 filings · confidence 70%
- and turbidity for small water systemsunverified attribution2 filings · confidence 70%
- Arkansas Department of Healthunverified attribution2 filings · confidence 70%
- Association of State Drinking Water Administratorstrade assoc.2 filings · confidence 85%
- Attachment focusing on "Kentucky firmly supports the flexibility of considering "combined" distribution systems of producing and purchasing systems for Stage 2 monitoring" submitted by Jeff Prattunverified attribution2 filings · confidence 70%
- Colorado Department of Public Health and Environmentunverified attribution2 filings · confidence 70%
- Hach Companyunverified attribution2 filings · confidence 70%
- Maine Department of Human Servicesunverified attribution2 filings · confidence 70%
- New York State American Water Works Association's (Association) Water Utility Counciltrade assoc.2 filings · confidence 85%
- San Francisco Public Utilities Commissionunverified attribution2 filings · confidence 70%
- South Dakota Section of the American Water Works Associationtrade assoc.2 filings · confidence 85%
- State of Utah Department of Environmental Qualityunverified attribution2 filings · confidence 70%
- Trojan Technologies Incunverified attribution2 filings · confidence 70%
- University of Massachusettsunverified attribution2 filings · confidence 70%
- Alyeska Pipeline Service Companyunverified attribution1 filing · confidence 70%
- Anonymous Comment focusing on "States and Systems should have more flexibility regarding the sampling dates"unverified attribution1 filing · confidence 70%
- Association of Metropoltan Water Agenciestrade assoc.1 filing · confidence 85%
- Broad River Water Authorityunverified attribution1 filing · confidence 70%
- Calgon Carbon Corporationunverified attribution1 filing · confidence 70%
- Comments focusing on "EPA reducing complex monitoring patterns in the rule to allow water systems to concentrate on water treatment issues that improve water quality rather than spending considerabletime and effort to avoid monitoring violations"unverified attribution1 filing · confidence 70%
- Department of Environmental Qualityunverified attribution1 filing · confidence 70%
- Environmental Associates Ltd.unverified attribution1 filing · confidence 70%
- Fairfax County Water Authorityunverified attribution1 filing · confidence 70%
- focusing on " concerns that would significantly affect filtered and unfiltered systems without questionable benefits" submitted by San Francisco Public Utilities Commissionunverified attribution1 filing · confidence 70%
- focusing on "EPA's (EPA) efforts to increase public health protection by concurrently addressing risks from microbial contaminants and disinfection byproducts (DBPs)" submitted by The Colorado Department of Public Health and Environmentunverified attribution1 filing · confidence 70%
- focusing on "Kentucky firmly supports the flexibility of considering "combined" distribution systems of producing and purchasing systems for Stage 2 monitoring" submitted by Jeff Prattunverified attribution1 filing · confidence 70%
- focusing on "monitoring requirements that are problematic and may result in monitoring failures due to circumstances beyond the utility's (utility) control" submitted by Louisville Water Companyunverified attribution1 filing · confidence 70%
- focusing on "Requiring systems to conduct monitoring that would start for large systems 30 months prior to the effective date of a regulation is an unreasonable acceleration of activities" submitted by Richard P. Nelsonunverified attribution1 filing · confidence 70%
- focusing on "Responses to EPAs specific requests for comments on the treatment requirementsfor unfiltered systems" submitted by Massachusetts Water Resources Water Authorityunverified attribution1 filing · confidence 70%
- focusing on "the proposed requirement that unfiltered source water systems and systems with uncovered finished storage should build additional treatmentunverified attribution1 filing · confidence 70%
- focusing on "the source water monitoring Guidance Manual For Public Water Systems for the Long Term 2 Enhanced Surface Water Treatment (LT2 Rule)" submitted by Kemon Papacostaunverified attribution1 filing · confidence 70%
- focusing on"Section IV.A Additional Cryptosporidium Treatment TechniqueRequirements for Filtered Systems" submitted by Washington Aqueductunverified attribution1 filing · confidence 70%
- for 68 FR 47640 from Croton Watershed Clean Water Coalition.trade assoc.1 filing · confidence 85%
- Iowa Association of Water Agenciestrade assoc.1 filing · confidence 85%
- Kansas Department of Health and Environmentunverified attribution1 filing · confidence 70%
- Kentucky Rural Water Associationtrade assoc.1 filing · confidence 85%
- laboratory availability and toolbox technologiesunverified attribution1 filing · confidence 70%
- Los Angeles Department af Water and Powerunverified attribution1 filing · confidence 70%
- Massachusetts Water Resources Authorityunverified attribution1 filing · confidence 70%
- Minnesota Department of Healthunverified attribution1 filing · confidence 70%
- National Rural Water Associationtrade assoc.1 filing · confidence 85%
- PCI Membrane Systems Inc.unverified attribution1 filing · confidence 70%
- referring to "National Primary Drinking Water Regulations: Long Term 2 Enhanced Surface Water Treatment Rule" submitted by Lincoln Water Systemunverified attribution1 filing · confidence 70%
- referring to "Proposed Long-Term 2 Enhanced Surface Water Treatment Rule" submitted by American Water Works Associationtrade assoc.1 filing · confidence 85%
- referring to LT2 sampling for small water systemsunverified attribution1 filing · confidence 70%
- referring to the LT2 sampling for small water systemsunverified attribution1 filing · confidence 70%
- Santa Clara Valley Water Districtunverified attribution1 filing · confidence 70%
- Springfield Water and Sewer Commissionunverified attribution1 filing · confidence 70%
- Syracuse Universityunverified attribution1 filing · confidence 70%
- The Illinois Environmental Protection Agencyunverified attribution1 filing · confidence 70%
- The Partnership for Safe Watertrade assoc.1 filing · confidence 85%
- University Hygienic Laboratoryunverified attribution1 filing · confidence 70%
- Water Resources Committeetrade assoc.1 filing · confidence 85%
- Western Coalition of Arid Statestrade assoc.1 filing · confidence 85%