Dear Administrator Regan:

On behalf of the more than 31,000 members of the American Public Works Association (APWA), we appreciate the opportunity to submit comments on the proposed rule for a National Primary Drinking Water Regulation (NPDWR) for Per- and polyfluoroalkyl substances (PFAS). APWA members are responsible for an array of water infrastructure including drinking water, stormwater, and wastewater. In these roles APWA members understand and appreciate the efforts made towards cleaner water and have a long history of achieving compliance with NPDWRs along with providing subject matter expertise to policymakers at all levels and branches of government.

As they design, build, and maintain infrastructure they are simultaneously…

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