National Association of Clean Water Agencies (NACWA)
EPARulemakingEPA-HQ-OA-2018-0107

Improving Consistency and Transparency of Cost Considerations in Rulemaking

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Last modified
Apr 15, 2022
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closed 2906d ago
National Association of Clean Water Agencies (NACWA) filings
3

Activity

National Association of Clean Water Agencies (NACWA) filed 3 comments on this docket between Jun 27, 2018 and Aug 28, 2018. 68 other organizations filed here. The comment window closed 2906d ago.

What National Association of Clean Water Agencies (NACWA) filed (3)

Aug 28, 2018· Comment submitted by Emily Remmel, Director of Regulatory Affairs, National Association of Clean Water Agencies (NACWA)· EPA-HQ-OA-2018-0107-1843

Comment submitted by Emily Remmel, Director of Regulatory Affairs, National Association of Clean Water Agencies (NACWA)

Jul 16, 2018· Comment submitted by Adam Krantz, Chief Executive Officer, National Association of Clean Water Agencies, Diane VanDe Hei, Chief Executive Officer, Association of Metropolitan Water Agencies, G. Tracy Mehan, III, Executive Director of Government Affairs, American Water Works Association, and Eileen J. O'Neill, Ph.D., Executive Director, Water Environment Federation· EPA-HQ-OA-2018-0107-0230

Comment submitted by Adam Krantz, Chief Executive Officer, National Association of Clean Water Agencies, Diane VanDe Hei, Chief Executive Officer, Association of Metropolitan Water Agencies, G. Tracy Mehan, III, Executive Director of Government Affairs, American Water Works Association, and Eileen J. O'Neill, Ph.D., Executive Director, Water Environment Federation

Jun 27, 2018· Comment submitted by Adam Krantz, Chief Executive Officer, National Association of Clean Water Agencies (NACWA) et al.· EPA-HQ-OA-2018-0107-0020

Comment submitted by Adam Krantz, Chief Executive Officer, National Association of Clean Water Agencies, Diane VanDe Hei, Chief Executive Officer, Association of Metropolitan Water Agencies, G. Tracy Mehan, III, Executive Director of Government Affairs, American Water Works Association, and Eileen J. O'Neill, Ph.D., Executive Director, Water Environment Federation.

Abstract

In an Advanced Notice of Proposed Rulemaking (ANPRM), EPA will solicit comments and recommendations on how it can make regulatory cost considerations more consistent, reliable, and transparent. The ANPRM is expected to illustrate how EPA considered costs in recent rulemakings and pose questions to help identify opportunities for improvement. Based on the comments received and further considerations, EPA may move to develop implementing regulations through the notice-and-comment rulemaking process (NPRM/FRN).

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