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Produced Wastewater Report Appendix
The following table contains detailed information about oil and gas extraction NPDES permits to discharge wastewater to waters of the U.S. for states in the U.S. where permits were found during a systematic search. It includes general (G) and individual (I) permits. Note: When searching for general permits, it was not clear which permits were specific to oil and gas extraction operations; therefore, the numbers available in the table are not conclusive. For individual permits, an asterisk * was added to states where permits were not found due to procedural deficiencies or lack of transparency
Re: Comments on Study of Oil and Gas Extraction Wastewater Management Under the Clean Water Act, No. EPA‐821‐R19‐001
July 1, 2019 Mr. Jesse Pritts U.S. Environmental Protection Agency Office of Water (4303T) 1200 Pennsylvania Avenue, N.W. Washington, DC 20460 Submitted via email to: oil-and-gas-study@epa.gov and pritts.jesse@epa.gov Dear Mr. Pritts: On behalf of our members and supporters, Clean Water Action/Clean Water Fund appreciates the opportunity to provide input to US EPA on the Study of Oil and Gas Extraction Wastewater Management Under the Clean Water Act (Draft), No. EPA‐821‐R19‐ 001 (hereinafter referred to as the “Draft Study”). The Draft Study, insofar as it addresses the question of whether or
Residential Sewage Backups in Baltimore City, FY2018
The purpose of this essay is to shed light on the issue of basement backups of raw sewage in the homes of Baltimore City residents. There are many different aspects of this issue that will be addressed including health impacts, climate change, and reimbursement for households. One of the essential parts of addressing this issue starts with identifying areas that are most impacted. This essay features the first known collective maps of residential raw sewage basement backups that occurred in quarters one through four of the fiscal year 2018. This essay also offers insight as to what future
Comments on Denver Water's Draft Lead Reduction Plan
Clean Water Action strongly supports Denver Water’s commitment to seek an alternative to orthophosphate that will achieve the same or greater reduction in lead exposure risk for its customers.
Statement on the Development of the 5th Unregulated Contaminant Monitoring Rule
We urge all stakeholders to work with EPA to address these challenges so that the most comprehensive understanding of PFAS chemical occurrence possible can be undertaken.