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Chesapeake Currents | Summer 2025
In this Issue: New Heat Stress Law: Making Summer Safer, Baltimore Amends its Budget to Invest in Zero Waste, W.R. Grace Moves Forward with Chemical Recycling Despite Community Opposition, Reducing Food Waste, Bottle Bill on the Horizon, Burning Trash is No Longer
Renewable Energy in Maryland, Legislative Updates, National Updates
Pennsylvania Currents | Summer 2025
In this Issue: Getting a Raw Deal; Lobby & Day of Action in Harrisburg; Philadelphia Environmental Justice Summit; A Victory for Residents
Concerned About Their Water; Keeping Water Public Controlled; Ending Illegal Dumping in Philly; National Updates
New England Currents | Summer 2025
In this Issue: New England States Sticking to Bans on Toxic “Forever Chemicals” in Pans; Plastic-Free July Update:
ReThink Gains Ground in Cafeterias; CT Team Scores Big Legislative Wins in 2025; Honoring Longtime Connecticut Director, Anne Hulick; Energy Network; PFAS Victory; What’s Next for the Rhode Island Bottle Bill; Fighting for Asthma Justice in Massachusetts; Toxic Free Kids; National Updates.
"Permission to Pollute" Act - Factsheet
The U.S. House of Representatives is advancing dangerous legislation: the “PERMIT Act” (H.R. 3898), a package of over 15 anti-clean water bills. This legislation would gut the Clean Water Act and make it far easier for polluters to contaminate our rivers, lakes, wetlands, and sources of drinking water. That’s why we are calling it the “Permission to Pollute 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