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Banning Unrecyclable Plastics in Montgomery County
Update: both Bill 32-20 and 33-20 have passed and been signed into law! For more about our work to move Maryland beyond incineration and toward zero waste, click here. Here is our testimony in support of Montgomery County Council Bills 32-20 and 33-20, to ban unrecyclable plastics in Montgomery County: October 5, 2020 Dear Montgomery County Council, On behalf of Clean Water Action’s over 10,000 members within Montgomery County, we urge you to support and pass Council Bills 32-20 and 33-20. Together, these pieces of legislation will help Montgomery County fulfill its existing mandate to
Solving Stormwater Problems with an Innovative Approach
Over many years and decades, ineffective stormwater management has become a leading cause of the degradation of District waterways like the Anacostia and Potomac Rivers, and smaller tributaries such as Rock Creek, Watts Branch, and Oxen Run.
Minnesota's Cumulative Impacts Law: Rulemaking
In the 2023 Minnesota legislative session, we saw the passage of an important environmental justice law; the cumulative impacts law. This law is currently entering into the rulemaking process, where the Minnesota Pollution Control Agency will clarify details of how the law will work in effect. This will be an incredibly important process to engage with, as weak rules could effectively undermine any power this law could hold.
Clean Water Currents | Fall 2023
In This Issue: Congress Should Protect People, Not Polluters! | Devastating Sackett v. EPA Supreme Court Decision Puts All Water At Risk | Lead In Drinking Water - Putting Lead Service Lines Behind Us | PFAS Chemicals - Taking the Burden Off Communities and Our Health | EPA Proposes to Expand Regulation of Toxic Coal Ash | State and Regional News
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