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Regulatory Status of Emerging Contaminants

Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

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Page 1: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

Regulatory Status ofEmerging Contaminants

Page 2: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

2Regulatory Status of Emerging Contaminants

Total Regulated Contaminants, 1976 - Current

Page 3: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

3Regulatory Status of Emerging Contaminants

Water and WastewaterRegulation

Water and WastewaterRegulation

Commercial RegulationCommercial RegulationEPAEPA

FDAFDA

EPAEPA

EPAEPA

EPAEPA

EPA & FDAEPA & FDA

Avenues for Federal Regulation

Page 4: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

4Regulatory Status of Emerging Contaminants

• The contaminant may have an adverse effect on humanhealth;

• The contaminant is known to occur or there issubstantial likelihood that the contaminant will occur inpublic water systems with a frequency and high enoughconcentration to be of public health concern;

• In the sole judgment of the Administrator, a regulationof such contaminant presents a meaningful opportunityfor health risk reduction for persons served by publicwater systems.

Safe Drinking Water Act:Criteria for Selecting New Regulations

Page 5: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

5Regulatory Status of Emerging Contaminants

CCL UCMRRegulatory

Determination

NoDetermination

“Other” Inputs

Page 6: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

6Regulatory Status of Emerging Contaminants

EPA CCL Process

Page 7: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

7Regulatory Status of Emerging Contaminants

EPA CCL Process

~7,500 Contaminants

Page 8: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

8Regulatory Status of Emerging Contaminants

EPA CCL Process

~7,500 Contaminants

561 Contaminants

Page 9: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

9Regulatory Status of Emerging Contaminants

EPA CCL Process

~7,500 Contaminants

561 Contaminants

Draft CCL3:93 Chem + 11 Microb.Contaminants

(1 Pharmaceutical; nosteroids)

Page 10: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

10Regulatory Status of Emerging Contaminants

EPA CCL Process + Politics

~7,500 Contaminants

561 Contaminants

Final CCL3:106 Chem + 10 Microb.Contaminants

(12 Pharmaceuticals; 9Steroids)

Page 11: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

11Regulatory Status of Emerging Contaminants

• Perchlorate

• Chlorate

• Chromium (VI)

• VOCs

• Nitrosamines/NDMA

• Perfluorinated Chemicals

Where Does the EPA Currently Stand?

Page 12: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

12Regulatory Status of Emerging Contaminants

EPA is moving towards regulating contaminants by group

Advantage:

– “Treatment Technique” credit could theoretically beprovided for “log removal” for certain groups

Disadvantage:

– Could over- or under-represent (regulate) certain highpriority / high toxicity compounds (?)

Groups that appear most likely for potential regulation:

– Volatile Organic Compounds (VOCs)

– Nitrosamines

– Perfluorinated compounds

Proposed or Potential Regulations (orContaminants of Concern)

Page 13: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

13Regulatory Status of Emerging Contaminants

• Algal Toxins

• Emerging DBPs

• Other contaminants like MCHM (West Virginia)?

– Not likely

• Pharmaceuticals and Personal Care Products?

– Not likely

“Crystal Ball” Future Contaminants

Page 14: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

14Regulatory Status of Emerging Contaminants

The DBP Iceberg

14

HalogenatedCompounds

Non-halogenatedCompounds

ICR Compounds

50 MWDSC DBPs

~700 Known DBPs

THMs, THAAs

DHAAs

Courtesy of Dave Reckhow, UMass Amherst

Page 15: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

15Regulatory Status of Emerging Contaminants

• Much debate in scientific community about the toxicityand public health relevance of emerging DBPs– Concern about chloramine-related DBPs vs. chlorine-related

DBPs

• Ideas have been floated at conferences:– Find and apply a better surrogate than THMs and HAAs?

– Total Organic Halide (TOX) instead of THMs and HAAs?

– Regulate more toxic DBPs (iodo- and bromo- compounds)?

– Force GAC across all treatment plants as a TT?

• STAGE 3 DBP RULE—currently on the table fordiscussion at EPA…

Emerging Disinfection Byproducts

Page 16: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

16Regulatory Status of Emerging Contaminants

2014 2015 2016 2017 2018

Reg Det 3 Final(<12/2015)1

Proposed Rule(s)(<12/2017)1

2019

Final Rule(s)(<1/2018)1

Final FluorideRecommendation,

HHS

RTCR Effective(4/2016)

ClO4-

Proposal(2014-15?)

ClO4-

Final(2017?)

Reg Det 3Proposal

Note (2): As yet unassigned (acrylamide, epichlorohydrin, total chromium / Cr-6)

CarcinogenicVOCs Proposal

(2015-16?)

CarcinogenicVOCs Final(2017-18?)

Six-Year 3(2016)

Six-Year 3Proposal

(2016)

Note (1): EPA can propose a rule at the same time as it makes a determination to regulate. This would truncate the rule timeline forany given contaminant by 2 years.

Round 2 LT2ESWTR Monitoring(10/2014 – 10/2017)

LT-LCRFinal

(Winter2017)

UCMR3 Monitoring(1/2013 – 12/2015)

CCL4Proposal(2014?)

LT-LCRProposal(2015 –2016?)

New RuleCompliance

2022 andBeyond

Page 17: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

17Regulatory Status of Emerging Contaminants

• Their plate is very full!

• Currently looking at >7-9 year process from proposal topromulgation and enforcement

• UCMR3 data adds 3-5 years to this timeline

• Looking at 10-12 years for long-term changes

• CCL4 Due in 2014/2015

• UCMR4 Due in 2015– Opinion: Algal Toxins, Microbial Contaminants likely

• Carries us through ~ 2025– Additional contaminants beyond 2025 difficult to predict

EPA’s Regulatory Time Line

Page 18: Regulatory Status of Emerging Contaminants · Regulatory Status of Emerging Contaminants 4 • The contaminant may have an adverse effect on human health; • The contaminant is known

18Regulatory Status of Emerging Contaminants

History has proven that regulatory burden is primarilyborne by Utilities

– CWA TMDL Program: regulation of point sources prior to regulationof elusive non-point sources

Lack of articulated coordinated agency strategy

The cumulative impact of multi-agency regulation issignificant to municipalities and industries that bear thecost burden of regulation

DPR and IPR may open the way for state regulation ofemerging contaminants

Summary