National Association of Clean Water Agencies (NACWA)
EPANonrulemakingEPA-HQ-OA-2011-0156

Improving Regulations: General

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Apr 16, 2024
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closed 4129d ago
National Association of Clean Water Agencies (NACWA) filings
2

Activity

National Association of Clean Water Agencies (NACWA) filed 2 comments on this docket between Apr 6, 2011 and Apr 13, 2015. 67 other organizations filed here. The comment window closed 4129d ago.

What National Association of Clean Water Agencies (NACWA) filed (2)

Apr 13, 2015· Comment submitted by Ken Kirk, Executive Director, National Association of Clean Water Agencies (NACWA)· EPA-HQ-OA-2011-0156-0177

April 8, 2015 RE:NACWA Comments on EPAs Plan for Retrospective Review under Executive Orders 13563 and 13610, Docket No. ID No. EPA-HQ-OA-2011-0156 The National Association of Clean Water Agencies (NACWA) is pleased to provide the attached comments (file name: NACWA Comments on EPA-HQ-OA-2011-0156_April 2015.pdf) on the EPA plan for review of regulations under Executive Order (E.O.) 13563 and E.O. 13610 (80 Fed. Reg. 12372; March 9, 2015). NACWA represents the interests of nearly 300 public clean water utilities nationwide subject to a wide array of Agency rules, primarily those developed pursuant to the Clean Water Act (CWA). NACWA is hopeful that EPA's attempt to identify rules that may be ineffective or excessively burdensome will not prove to be merely a perfunctory exercise. If executed thoughtfully and in a timely manner, this effort can have a positive impact on the regulated community. NACWA appreciates this opportunity to comment and looks forward to working with the Agency to develop a sound approach to ensuring that the suite of existing regulations maximizes environmental benefit for the Nations communities. Sincerely, Ken Kirk Executive Director

Apr 6, 2011· Comment submitted by Ken Kirk, Executive Director, National Association of Clean Water Agencies (NACWA)· EPA-HQ-OA-2011-0156-0063

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

Abstract

This docket contains general public suggestions regarding the design of EPA's plan to periodically review its regulations. This docket should be used when the commenter is not sure what other category to choose, or if the comment spans multiple categories. Also, use this docket to provide other general comments on the factors EPA should consider in conducting its review, the process EPA will use in setting priorities, or the identification of candidate rules for review.

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