This letter includes comments ECOS submitted to U.S. EPA on its draft FY23-24 National Program Guidances (NPGs).
Letters
ECOS Letter on U.S. DOJ SEP Policy
This letter to U.S DOJ provides comments on the recently issued guidelines and limitations for settlement agreements involving payments to non-governmental third parties.
ECOS Letter to EPA on Proposed Build America Buy America SRF Waiver
This ECOS Letter to U.S. EPA’s Office of Water shares state feedback on the proposed Build America, Buy America (BABA) waiver for the SRF program.
ECOS Statement on PFAS Health Advisories
ECOS Letter on Emerging Contaminant Funding Under the Bipartisan Infrastructure Law
This ECOS letter to EPA details the need for flexibility for states in using the SRF funding for emerging contaminants contained in the Bipartisan Infrastructure Law.
ECOS Submits Comments on U.S. EPA’s draft FY2022-2026 Strategic Plan
This letter includes comments ECOS submitted to U.S. EPA on its draft FY22-26 Strategic Plan.
ECOS Fiscal Year 2023-2024 National Program Guidances (NPG) Early Engagement Comments
ECOS members submitted FY 2023 – 2024 NPG early engagement comments to U.S. EPA program offices. For more information, see the letter below.
Joint Association Letter to Congress on Infrastructure Investment and State and Tribal Assistance Grants
This joint letter to Congress from ECOS, the Association of State Drinking Water Administrators (ASDWA), the Association of Clean Water Administrators (ACWA), and Western States Water Council (WSWC), which represent…
Joint Letter on Toxic Substances Control Act Reporting and Recordkeeping Requirements for PFAS
This letter by ECOS, ASDWA, and ACWA outlines the associations’ comments on the TSCA Reporting and Recordkeeping rule for PFAS.
Joint Letter on PFAS, Emerging Contaminants in Drinking Water
This joint letter from ECOS, the Association of State Drinking Water Administrators (ASDWA), and the Association of Clean Water Administrators (ACWA) outlines comments on NIH’s request for information on its…
