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By the Wayside...Are They Serious?
By Lynn Thorp, National Campaigns Director (Follow Lynn on Twitter - @LTCWA) Charleston Gazette reporter Ken Ward Jr. just tweeted that local officials in West Virginia had this to say about planning for chemical accidents and spills: “That's just something that's kind of fallen by the wayside.” This is horrifying in light of hundreds of thousands of people without water for 5 days, businesses unable to open and people’s health threatened in ways no one quite understands. But it’s not that surprising. We take tap water for granted and rely on our Public Water Systems to clean up pollution that
WV Water Unsafe Due to Coal De-Foaming Chemical: How Does Something Like This Happen?
By Lynn Thorp, National Campaigns Director (Follow Lynn on Twitter - @LTCWA) The chemical spill in West Virginia, which has resulted in undrinkable and unusable tap water for hundreds of thousands of people, definitely falls into the category of Things We Are Not Doing to Put Drinking Water First. As readers of this blog know, we are committed to identifying activities which put our drinking water at risk and to solving those problems before they get into the treatment plant or in fact into your kitchen sink. Here are some of the questions we have today: Why allow a storage tank containing
Marchers Demand Clean Air and Fair Development
By Will Fadely, Baltimore Organizer The march to the incinerator Energy Answers a dirty Waste-to-Energy Incinerator is being constructed less than 1 Mile from Schools, Parks, Playgrounds, Homes, and Water Bodies of the community of Curtis Bay. Waste-to-Energy (WTE) may sound “green”, but residents of Curtis Bay know that this is nothing but a euphemism for a trash burning incinerator with all its toxic pollution and health hazards. Energy Answers plans to build a new incinerator in Baltimore which leads the nation in air pollution related deaths per capita. A recent report found that, “WTE
Clean Water Action | Clean Water Fund Comments on the Lead and Copper Rule to SAB
May 4, 2020 Dr. Thomas Armitage, Designated Federal Officer (DFO) EPA Science Advisory Board (1400R) U.S. Environmental Protection Agency 1200 Pennsylvania Avenue NW, Washington, DC 20460 via email: armitage.thomas@epa.gov Dear Dr. Armitage, We provide these comments for consideration by the EPA Science Advisory Board (SAB) in their review of EPA’s National Primary Drinking Water Regulations: Proposed Lead and Copper Rule Revisions. We urge the SAB to consider aspects of the Proposed Revisions where EPA’s proposal missed the mark in terms of achieving significant public health risk reduction
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