National Association of Clean Water Agencies (NACWA)
EPANonrulemakingEPA-HQ-OW-2018-0063

Clean Water Act Coverage of “Discharges of Pollutants” via a Direct Hydrologic Connection to Surface Water

RIN
Last modified
May 22, 2023
Comment window
closed 2990d 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 May 23, 2018 and May 23, 2018. 112 other organizations filed here. The comment window closed 2990d ago.

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

May 23, 2018· Comment submitted by Adam Krantz, Chief Executive Officer, National Association of Clean Water Agencies (NACWA) et al.· EPA-HQ-OW-2018-0063-0513

See uploaded comments supplemented with "Attachment A" submitted by the National Association of Clean Water Agencies (NACWA), the WateReuse Association, the National League of Cities (NLC), National Association of Counties (NACo), the California Association of Sanitation Agencies (CASA), and the Central Valley Clean Water Association (CVCWA).

May 23, 2018· Comment submitted by Amanda Waters, General Counsel, National Association of Clean Water Agencies ( NACWA), et al.,· EPA-HQ-OW-2018-0063-0283

See uploaded comments submitted by the National Association of Clean Water Agencies (NACWA), the WateReuse Association, the National League of Cities (NLC), National Association of Counties (NACo), the California Association of Sanitation Agencies (CASA), and the Central Valley Clean Water Association (CVCWA).

Abstract

EPA is requesting comment on the Agency’s previous statements regarding the Clean Water Act that pollutant discharges from point sources that reach jurisdictional surface waters via groundwater or other subsurface flow that has a direct hydrologic connection to the jurisdictional surface water may be subject to CWA regulation.

View on regulations.gov →