Safe drinking water
TLA Engineering & Planning, Inc.
Member, APWA Small Cities/Rural Communities Forum
The average individual takes for granted that when you turn on the faucet, clean and healthy water will flow—clean enough to quench a thirst, create a meal, wash off a juicy apple or use it for a whole host of other daily items. As a public works employee, you know that there is more than just the laying out of pipes to get safe drinking water from the source to the various homes, businesses and institutions in your community. Let's start further up the pipeline and see how our drinking water is kept safe.
Since 2002 an Environmental Protection Agency (EPA) work group, called the CCL3 Work Group under the National Drinking Water Advisory Council (NDWAC), has been busy with the creation and recommendation of the Contaminant Candidate List (CCL). This process began as a continuous examination by the EPA of water concerns in order to be compliant with the 1996 amended Safe Drinking Water Act (SDWA). The EPA publishes a list of currently unregulated contaminants which are known or anticipated to occur in the public water systems and which may require regulation. The EPA also makes determinations on whether or not to regulate at least five contaminants from the CCL on a staggered five-year cycle. The question that needs to be answered is, "How does the EPA determine the list of contaminants?"
The EPA creates the NDWAC work group, which starts the process of compiling a "Universe" list of over 64,000 contaminants that adversely affect drinking water. The work group will whittle down the contaminants to several hundred that are critical; this will be called the "Preliminary CCL" (PCCL). Based on additional discussion and further investigation, the council pares it down to the top list, which includes microbial, chemical and other miscellaneous impurities. After the list is compiled, the CCL is then distributed for consultation with the scientific community. The NDWAC group consults with the primary stakeholders, which includes microbiologists, toxicologists, public health scientists and engineers, and members of the scientific community including the Science Advisory Board and National Academy of Sciences. These stakeholders will evaluate and provide expert review of the PCCL. Finally, there is a period of time for the public to provide comment, feedback and contaminant nomination.(1) The information gathered during this period is assembled and delivered to the NDWAC, which then, if approved, passes the recommendations on to the EPA Director.
The purpose of this top list is a step towards improving risk assessment, strengthening science and data, and achieving better decision making and future priority setting. The outcome from the CCL provides the influence and helps substantiate the resulting regulations the EPA will create. These will address any urgent threats to public health as outlined by the SDWA. The Agency's drinking water program proceeding from the CCL is "divided among priorities for drinking water research, priorities for additional occurrence data collection and those contaminants which are priorities for consideration for Agency determination of whether or not to regulate (these) specific contaminants."(2)
The process for finalizing the Contaminant Candidate List takes between six to nine years for the findings to be written and approved in the Federal Register. A large portion of this time is devoted to the collection of data, researching needs and determining future steps.
Sufficient data are needed to conduct analyses on extent of exposure and risk to populations via drinking water in order to determine appropriate Agency action (development of health advisories, or regulations or no action) for many of these contaminants. If sufficient data are not available, they must be obtained before such as an assessment can be made. The data and information required will be gathered by research or monitoring programs...(3)
The SDWA stipulates that the EPA consider and adhere to statutes and executive orders that will directly affect certain subpopulations, such as infants and children. These considerations, along with the CCL, are taken into account when the EPA provides regulation on particular contaminants.
When the CCL is published in the Federal Register and the subsequent regulations are established by the EPA, it is up to the local jurisdictions to adhere to these regulations. As a smaller community, you have the added challenge of establishing local policies and procedures that comply with new regulations.
During a recent phone conversation, Bruce Florquist, a Small Systems Consultant from Severance, Colorado, made several recommendations for Small Cities/Rural Communities(4):
Membership in the following organizations:
National Rural Water Association (www.nrwa.org)
Rural Community Assistance Partnership (www.rcap.org)
American Public Works Association (www.apwa.org)
Consider the consolidation and management of common systems and resources. It's not only about hooking up pipes together; think globally. How is your system interacting with others upstream and downstream of your operations? Is there a way to work with other organizations or with a larger municipality?
In all, the EPA's National Drinking Water Advisory Council is tasked with a multi-year process of sifting through the numerous microbes and chemicals that threaten our drinking water. When the Contaminant Candidate List lands on the desk of the EPA Director, the recommendations and regulations that follow are to the benefit of the people that make up our communities. The difficulty for small cities and rural communities is the managerial, financial and operational issues that result from the EPA's regulations. The preemptive actions taken by the local jurisdictions can simplify or streamline the changes necessary to meet these regulations. As a public works employee for a smaller community, you know how imperative it is to be connected to federal and state organizations for much-needed advocacy, training and funds. Like a clear glass of refreshing water, it makes sense to tap into the numerous resources and offerings!
Valerie Hoff can be reached at (916) 786-0685 or email@example.com. TLA Engineering & Planning, Inc. is a land planning and civil engineering firm dedicated to providing a full range of services to its private and public clients. The firm's services include feasibility studies, site planning, land use planning, environmental coordination, design engineering, hydrology/hydrologic engineering, facilities master planning, project management, and construction management.
(1) "CCL3 Fact Sheet. National Drinking Water Advisory Council Briefing Book. Fall 2006 Meeting. Fort Worth, TX." Page 1.
(2) "Announcement of the Drinking Water Contaminant Candidate List," Part III Environmental Protection Agency. Federal Register / Vol. 63. No. 40. / Monday, March 2, 1998 / Notices. Page 10275.
(3) Ibid, Page 10285.
(4) Mr. Bruce Florquist, phone conversation on December 18, 2006 regarding the CCL process. (Mr. Florquist is a past member of the APWA Water Resources Management Technical Committee - Ed.)