LCRI Compliance Requires Action Now

IF 0.7 4区 环境科学与生态学 Q4 ENGINEERING, CIVIL
Steve Via
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Systems still trying to understand the LCRI should review the 10 technical fact sheets on key facets of the LCRI, which are available on EPA's website—yes, 10 unique fact sheets that serve as an introduction to the rule requirements. These fact sheets are important in that they explain what EPA intends in the challenging-to-interpret LCRI regulatory text.</p><p>At present, there is no published timeline for substantive LCRI implementation guidance. EPA has indicated that its first two priorities are guidance to assist states in submitting their primacy packages and a small-system guide to the LCRI. Most states chose to wait on the LCRI before submitting a primacy package to EPA. 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While some of the details of the LCRI are troubling, we share a common goal with EPA and state primacy agencies of protecting the public from lead in water.</p><p>As noted in the 2024 column, the Safe Drinking Water Act turned 50 in December 2024. 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引用次数: 0

Abstract

The January 2024 DC Beat encouraged water systems to begin the planning necessary to comply with the then proposed Lead and Copper Rule Improvements (LCRI) rulemaking, anticipating that the US Environmental Protection Agency (EPA) would publish the final rule by Oct. 16, 2024. EPA met that schedule, and the rule's deadlines are now a year closer. Now, with a year to study what it will take to comply with the LCRI, the challenges are beginning to take shape.

Systems can now read the revised regulatory text in the National Archives’ electronic Code of Federal Regulations (eCFR). While still a difficult read, the eCFR allows readers to look at rule revisions in the context of the parts that are unchanged. Systems still trying to understand the LCRI should review the 10 technical fact sheets on key facets of the LCRI, which are available on EPA's website—yes, 10 unique fact sheets that serve as an introduction to the rule requirements. These fact sheets are important in that they explain what EPA intends in the challenging-to-interpret LCRI regulatory text.

At present, there is no published timeline for substantive LCRI implementation guidance. EPA has indicated that its first two priorities are guidance to assist states in submitting their primacy packages and a small-system guide to the LCRI. Most states chose to wait on the LCRI before submitting a primacy package to EPA. Because LCRI guidance is being developed concurrent with a change in presidential administration, there are likely to be delays that stem from the logistics of the transition, probably slowing the availability of detailed guidance on specific rule elements.

Under the Safe Drinking Water Act, states have two years to submit complete primacy packages, unless they seek a two-year extension from EPA. Since the Lead and Copper Rule Revisions (LCRR) were promulgated in 2021, states are running out of time for those submissions, which include regulatory and legislative changes states are making to accomplish rule requirements. Until their primacy packages are approved, states are expected to operate under EPA guidance for the LCRR consistent with early implementation agreements. We should expect similar practice with the LCRI.

As states prepare their primacy applications, they will have to think through the practicalities of LCRI implementation, and water systems need to inform those considerations. At the end of the day, water systems will be the ones implementing the rule—sound state policy begins with state decision makers knowing what is really entailed in complying with the rule requirements. Moreover, we saw with the LCRR that states not effectively involving water systems early unnecessarily complicated LCRR implementation. Utilities would be well advised to do their part to inform the state's process.

AWWA has a long history of supporting both effective corrosion control practice and removal of sources of lead in contact with drinking water. During the development of the LCRI, AWWA shared concerns (and suggested practical alternatives) with EPA about the impact of the rule on water affordability, the feasibility and unintended consequences of the service line replacement requirements in the rule, and the agency's equating water system “access” to lines on private property with “control” of those lines. After EPA did not address these concerns in the final rule, AWWA submitted a petition for judicial review. Such reviews frequently take a year or more, and AWWA will post information at www.awwa.org/lead throughout the process.

Systems should not delay efforts to prepare to comply with the LCRI in light of the judicial review. Regardless of the rule requirements, there are clear benefits from having a sound service line inventory and a plan for replacing lead service lines, and there is good reason to be certain that your corrosion control is performing well. While some of the details of the LCRI are troubling, we share a common goal with EPA and state primacy agencies of protecting the public from lead in water.

As noted in the 2024 column, the Safe Drinking Water Act turned 50 in December 2024. Hopefully, water systems across the United States were able to celebrate that anniversary and are now on a clear path to addressing lead in drinking water for the communities they serve.

遵守LCRI要求现在就采取行动
2024年1月的DC Beat鼓励水系统开始必要的规划,以遵守当时提出的铅和铜规则改进(LCRI)规则制定,预计美国环境保护署(EPA)将在2024年10月16日之前公布最终规则。环保署满足了这一时间表,而该规定的截止日期现在又近了一年。现在,有一年的时间来研究如何遵守LCRI,挑战开始显现。系统现在可以在国家档案馆的电子联邦法规(eCFR)中读取修订后的法规文本。虽然eCFR仍然很难阅读,但它允许读者在未更改部分的上下文中查看规则修订。仍然试图理解LCRI的系统应该查看关于LCRI关键方面的10个技术情况说明书,这些情况说明书可以在EPA的网站上找到——是的,10个独特的情况说明书,作为规则要求的介绍。这些情况说明书很重要,因为它们解释了EPA在具有挑战性的LCRI监管文本中的意图。目前,还没有公布实质性LCRI实施指导的时间表。环境保护署表示,它的前两个优先事项是指导各州提交其主要一揽子计划,以及向LCRI提供一个小系统指南。大多数州选择等待LCRI,然后再向EPA提交首要方案。由于LCRI的指导方针是在总统政权更迭的同时制定的,因此可能会由于过渡的后勤工作而出现延误,这可能会减慢有关具体规则要素的详细指导方针的可用性。根据《安全饮用水法》,各州有两年的时间提交完整的首要方案,除非他们向环保署申请延期两年。自《铅和铜规则修订版》(LCRR)于2021年颁布以来,各州提交这些文件的时间已经不多了,其中包括各州为满足规则要求而进行的监管和立法改革。在他们的首要方案获得批准之前,各州预计将在EPA对LCRR的指导下运作,与早期实施协议保持一致。我们应该期待LCRI的类似做法。当各州准备他们的首要申请时,他们将不得不考虑LCRI实施的可行性,而水系统需要为这些考虑提供信息。在一天结束时,水系统将是执行规则健全的国家政策的人,从国家决策者了解遵守规则要求的真正要求开始。此外,我们在LCRR中看到,各州没有有效地在早期将水系统纳入LCRR的实施中,这不必要地复杂化了LCRR的实施。建议公用事业公司尽自己的一份力量,告知州政府的处理过程。AWWA在支持有效的腐蚀控制实践和去除与饮用水接触的铅源方面有着悠久的历史。在LCRI的制定过程中,AWWA与EPA就该规则对水的可负担性的影响,该规则中服务管道更换要求的可行性和意想不到的后果,以及该机构将供水系统“访问”与“控制”这些管道等同起来的问题分享了担忧(并提出了切实可行的替代方案)。在EPA没有在最终规则中解决这些问题之后,AWWA提交了一份司法审查请愿书。这种审查通常需要一年或更长时间,AWWA将在整个过程中在www.awwa.org/lead上发布信息。各制度不应因司法覆核而拖延准备遵守《土地权利法》的努力。无论规则要求如何,拥有完善的服务管线库存和更换铅管管线的计划都有明显的好处,并且有充分的理由确保腐蚀控制运行良好。虽然LCRI的一些细节令人不安,但我们与环保署和各州主要机构有一个共同的目标,即保护公众免受水中铅的危害。正如2024专栏所指出的,《安全饮用水法》在2024年12月满50周年。希望美国各地的供水系统能够庆祝这一周年纪念日,现在已经走上了一条明确的道路,为他们所服务的社区解决饮用水中的铅问题。
本文章由计算机程序翻译,如有差异,请以英文原文为准。
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来源期刊
CiteScore
1.00
自引率
28.60%
发文量
179
审稿时长
4-8 weeks
期刊介绍: Journal AWWA serves as the voice of the water industry and is an authoritative source of information for water professionals and the communities they serve. Journal AWWA provides an international forum for the industry’s thought and practice leaders to share their perspectives and experiences with the goal of continuous improvement of all water systems. Journal AWWA publishes articles about the water industry’s innovations, trends, controversies, and challenges, covering subjects such as public works planning, infrastructure management, human health, environmental protection, finance, and law. Journal AWWA will continue its long history of publishing in-depth and innovative articles on protecting the safety of our water, the reliability and resilience of our water systems, and the health of our environment and communities.
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