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Clean Water Action Endorses Dickinson and Hodges for Mayoral elections in St. Paul and Minneapolis
Clean Water Action is proud to announce our endorsements of Elizabeth Dickinson for mayor of St. Paul, and Betsy Hodges for re-election as mayor of Minneapolis.
Elizabeth Dickinson for Mayor of St. Paul
Clean Water Action is happy to announce our endorsement of Elizabeth Dickinson for Mayor of St. Paul. Her progressive vision for the city and commitment to environmental issues will keep St. Paul on the path to becoming a more sustainable and equitable city for all.
Elizabeth is no stranger to environmental leadership, for years she has advocated for clean energy, environmental justice
Over 11,000 Clean Water Action members make their voices heard, tell MDEQ to shut down Line 5
NJ Legislative Scorecard 2017 - What Environmental Heroes Are Saying
Check out the Environmental Heroes from Clean Water Action's NJ Legislative Scorecard 2017!
NJ Legislative Scorecard 2017
Clean Water Action presents the NJ Legislative Scorecard 2017. The scorecard represents a permanent record that scores every NJ state legislator on votes, action and leadership on significant environmental bills in August 2015 - August 2017. Tell legislators what you think about their scores.
2017 Scorecard Reveals Most Legislators Still Not Making the GradeThe New Jersey Legislature tried but failed to counter Governor Christie on the environment. They now must work with the new Governor to undo Christie's wrongdoing and counter Donald Trump.
New Jersey has not been at a more critical
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