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Published byGregory Pitts Modified over 8 years ago
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SAFE DRINKING WATER GENERAL UPDATE TO CHAPTER 109 June 19, 2007 Bureau of Water Standards and Facility Regulation
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Purpose of Proposed Rulemaking Obtain and/or maintain primacy Improve data quality Coordinate efforts with other regulatory packages Other clarifications
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Primacy Status RuleEPA Final Rule DEP Final Rule Primacy Status Phase II01/30/199110/08/1994No Phase IIB07/01/199110/08/1994No Phase V07/17/199210/08/1994No Arsenic01/22/2001N/ANo LCR06/07/199112/23/1994Conditional RADs12/07/200004/03/2004Conditional FBRR06/08/200104/03/2004Conditional
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Phase II/IIB/V Monitoring requirements for IOCs/VOCs/SOCs New source sampling requirements Criteria for increased & reduced monitoring: MCL exceedances vs. detections
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Phase II/IIB/V Criteria for increased & reduced monitoring (cont) Reliably/consistently below MCL: Nitrate/nitrite – means <50% of MCL IOCs/VOCs/SOCs – means <80% of MCL
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Phase II/IIB/V Criteria for increased & reduced monitoring (cont) Monitoring waiver criteria: IOC 9-year waivers VOC 3-year use waivers SOC 3-year use & susceptibility waivers
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Phase II/IIB/V IOC Waiver Criteria: Previous analytical results Other factors that may affect concentrations, such as changes in: Groundwater pumping rates System configuration Operating procedures Stream flows or characteristics
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Compliance determinations: Quarterly: Running annual average Annual or less frequent: Average of routine and confirmation sample Phase II/IIB/V
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LCR Rule Minor revisions to: Monitoring requirements for nontransient noncommunity water systems Reporting requirements (sample site location plans)
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RADs Rule Clarification: Bulk water hauling or vended water systems that serve at least 25 of the same persons year-round or over 6- months per year shall comply with the monitoring requirements for community or noncommunity water systems, as appropriate
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FBRR Rule Clarification: Reporting and record maintenance violations under the FBRR require the issuance of Tier 3 PN
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Improve Data Quality QA/QC requirements for on-line instrumentation are being amended to clarify the requirements for calibration. Reporting requirements are being amended to mandate electronic reporting of self-monitoring data.
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Electronic Reporting DWELR is a secure web application Available since 2003 Currently receives @ 70% of data voluntarily Error detection programs Water systems can view data
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Other Reg Packages Lab Accreditation Operator Certification
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Other Clarifications Incorporate how compliance is determined Clarify that brief description forms must be filed prior to construction
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Public Outreach Worked with EPA Region III staff from 2003 – 2005 Worked with DEP field staff from 2004 - 2005 Advisory Committee Activity: TAC - November 17, 2005 WRAC - May 10, 2006 CPAC - November 17, 2006
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TAC Comments Clarify turbidity monitoring and calibration requirements Use preamble to describe cost and impact of mandatory electronic reporting Extend implementation date for electronic reporting by water suppliers Clarify that water suppliers can defer reporting to their lab
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