Filter By:
Type
State
Priority
Posted On
Search Results
Healthy Legacy: Minnesota Policy Victories
Since 2006, Healthy Legacy has worked to protect the health of Minnesota’s children from toxic chemicals in their shampoo, toys, and throughout their homes and schools. Due to the work of Healthy Legacy and the leadership of state lawmakers, Minnesota has enacted numerous laws that address toxic chemicals in consumer products.
Donate Crypto
Clean Water Fund is now able to accept cryptocurrency donations, a smart way to help protect clean water.
Comments on EPA's Revised Pollution Standards for Power Plants, May 2023
Coal plants have gotten a free pass to dump millions of pounds of toxic metals, nutrients, chlorides, bromide, and other pollutants into our nation’s waters for over 40 years. t is long past time these power plants treat all of their wastewater using modern and effective pollution control technologies, as required by the Clean Water Act. It is long past time these power plants treat all of their wastewater using modern and effective pollution control technologies, as required by the Clean Water Act.
Letter to EPA: 93 organizations urge finalizing strongest possible coal plant wastewater treatment standards
Coal plants have gotten a free pass to dump millions of pounds of toxic metals, nutrients, chlorides, bromide, and other pollutants into our nation’s waters for over 40 years. t is long past time these power plants treat all of their wastewater using modern and effective pollution control technologies, as required by the Clean Water Act. It is long past time these power plants treat all of their wastewater using modern and effective pollution control technologies, as required by the Clean Water Act.
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