Water Resiliency

Coalition Letter to EPA for Liability Relief for Public Works from CERCLA

Dear Administrator Regan: The undersigned organizations represent local governments and public and private entities responsible for safeguarding public health and the environment. The purpose of this letter is to request…

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Joint PFAS Receivers Letter on CERCLA

Dear Chairman Carper and Ranking Member Capito: The undersigned organisations represent local governments and private entities responsible for safeguarding public health and the environment, including drinking water, wastewater treatment, stormwater…

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Coalition Letter to EPA about Concerns with Proposed Designation of PFOA and PFOS as CERCLA Hazardous Substances

Dear Ms. Schutz: The undersigned organizations—representing “passive receivers” of perfluorooctanoic acid (PFOA) and perfluorooctanesulfonic acid (PFOS) that may be present in drinking water, wastewater, and solid waste facility influent—are concerned…

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APWA Letter to EPA about Concerns with Proposed Designation of PFOA and PFOS as CERCLA Hazardous Substances

Dear Ms. Schutz: On behalf of the more than 30,000 members of the American Public Works Association (APWA), we appreciate the opportunity to submit comments on the designation of Perfluorooctanoic…

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APWA Comment Letter on Domestic Procurement Waiver for Water Infrastructure

Dear Assistant Administrator Fox, On behalf of the more than 30,000 members of the American Public Works Association (APWA), we appreciate the opportunity to submit comments to the Office of…

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Joint Letter to Congress Urging Full Funding for FY2023 Water IIJA Infrastructure Appropriations

Dear Chair Leahy, Vice Chair Shelby, Chair DeLauro, and Ranking Member Granger: On behalf of the local governments, members, businesses, employees, and customers we represent throughout the U.S., we strongly…

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