ECOS members appreciate the opportunity to provide early input on the OECA FY 2022 – FY 2023 National Program Guidance (NPG). EPA’s efforts to engage with states in enhancing planning…
Letters
ECOS Letter to House on Proposed Amendments to Improve State Assumption under CWA Section 404
ECOS Letter to Senate EPW on Proposed Amendments to Improve State Assumption under CWA Section 404
Joint ECOS-ACWA-ASDWA Comment Extension Request for Nutrient Criteria
ECOS, ACWA, and ASDWA sent this joint letter to U.S. EPA asking for a 60-day extension of the comment period for the draft Ambient Water Quality Criteria Recommendations for Lakes…
ECOS Comments on Proposed Rule: EPA Guidance; Administrative Procedures for Issuance and Public Petition
ECOS Comments on EPA’s PFAS Regulatory Determinations
ECOS submitted these comments on the EPA’s preliminary regulatory determinations on the fourth drinking water Contaminant Candidate List.
ECOS Comments on Supplemental Notice of Proposed Rulemaking on Strengthening Transparency in Regulatory Science
ECOS Letter to EPA on Enforcement Discretion
On April 2, ECOS Members had a call with Doug Benevento and Susan Bodine to discuss the recent memorandum on enforcement discretion and its application. ECOS members wrote this letter…
ECOS Letter Addressing Emergency Funding for COVID-19 Response
On March 30, 2020, ECOS sent a letter to the leadership of the U.S. House and Senate Appropriations Committees, Subcommittees for Interior, Environment, and Related Agencies. The letter touted the…
ECOS & ASDWA Letter on National Emerging Contaminants Research Initiative
This ECOS-ASDWA joint letter to the Office of Science and Technology Policy expresses state environmental and health agency interest in engaging in the Office’s National Emerging Contaminants Research Initiative.