COMMENT LETTERS
A key provision of CVCWA’s mission is to effectively represent the interests of wastewater agencies in the Central Valley in regulatory matters. One of the ways we do this is through Comment Letters.
COVID-19 MESSAGE
On behalf of CVCWA we’d like to thank you all for your continued support of our organization in these uncertain times. One thing that is certain is the dedication and commitment the volunteer leadership and staff have to continue to serve our members. CVCWA is open...
CVCWA Comment Letter on Toxicity Provisions
Dear Chair Esquivel:The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to provide comments on the Draft Water Quality Control Plan for Inland Surface Waters, Enclosed Bays, and Estuaries of California; and Toxicity Provisions, July 7, 2020...
CVCWA Comments – Proposed Revised ELAP Fee Structure
Dear Mr. Ceccarelli:The Central Valley Clean Water Association (CVCWA) actively participated in the California Environmental Laboratory Accreditation Program’s (ELAP) development and review of the adopted ELAP Regulations regarding accreditation, and appreciates the...
PFAS – Publicly Owned Treatment Works – Final Order
State Water Resources Control Board WATER CODE SECTIONS 13267 AND 13383 ORDER FOR THE DETERMINATION OF THE PRESENCE OF PER- AND POLYFLUOROALKYL SUBSTANCES AT PUBLICLY OWNED TREATMENT WORKS ORDER WQ 2020-0015-DWQ Pursuant to Water Code sections 13267 and 13383, the...
Comments – February 2020 Draft Supplemental Guidance: Screening and Evaluating Vapor Intrusion
Dear Mr. Waggoner: The Southern California Alliance of Publicly Owned Treatment Works (SCAP), Central Valley CleanWater Association (CVCWA), Bay Area Clean Water Agencies (BACWA) and California Association ofSanitation Agencies (CASA) appreciate the opportunity to...
Comments on White Paper Discussion on: Economic Feasibility Analysis in Consideration of a Hexavalent Chromium MCL dated February 2020
CVCWA appreciates the opportunity to comment on this document and to participateas a stakeholder providing input into the process of adopting a maximum contaminate level(MCL) for Hexavalent Chromium. CVCWA is a non-profit association of public agencieslocated within...
Comments Regarding Proposed Definition of Microplastics in Drinking Water
Dear Ms. Townsend: The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to provide comments on the Proposed Definition of Microplastics in Drinking Water. CVCWA is a non-profit association of public agencies located within the Central Valley...
Hearing a lot about PFAS Lately?
Per- and polyfluoroalkyl substances (PFAS), including perfluorooctane sulfonic acid (PFOS) and Perfluoroocanoic Acid (PFOA), is a family of environmentally persistent substances that have been in the headlines lately and subject of a Hollywood movie, Congressional...
Board Meeting Item No. 5 – ELAP Program Fees
The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to comment on the California Environmental Laboratory Accreditation Program’s (ELAP) Draft Emergency Regulations governing fees for the program. CVCWA is a non-profit association of public...
CVCWA Comment on the Necessity of Salinity Management Plan in area with Very Low Salinity
The Regional Water Board’s Tentative Order for would require Mariposa County Lake Don Pedro Wastewater Treatment Facility to submit an individual, facility-specific Salinity Management Plan. The groundwater in the area is of good quality well below the recommended...
