COMMENT LETTERS
A key provision of CVCWA’s mission is to effectively represent the interests of wastewater agencies in the Central Valley in regulatory matters. One of the ways we do this is through Comment Letters.
CVCWA Comments on Renewal of Waste Discharge Requirements and NPDES Permit for the River Highlands
Dear Mr. Taylor:The Central Valley Clean Water Association (CVCWA) appreciates this opportunity to provide comments on the Tentative Waste Discharge Requirements and NPDES permit for the River Highlands Community Services District (River Highlands CSD) Hammonton Gold...
Comprehensive (Phase 2) Bay-Delta Technical Workshops
Dear Ms. Riddle: The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to provide input on the format and questions for workshops on the Comprehensive (Phase 2) Review of Bay-Delta Plan. CVCWA is a non-profit organization representing more...
Comments on the Tentative Waste Discharge Requirements Order R5-‐2013-‐XXXX (NPDES No. CA0079243), City of Lodi White Slough Water Pollution Control Facility, San Joaquin County
Dear Ms. Harder: The Central Valley Clean Water Association (“CVCWA”) appreciates the opportunity to submit comments on the tentative Waste Discharge Requirements for the City of Lodi White Slough Water Pollution Control Facility (“Tentative Order”). CVCWA is a...
Proposal to Conduct and Environmental DNA (eDNA) Pilot Study for the Phase IIa Freshwater Mussel Collaborative Study for Wastewater Treatment Plants
Dear Ms. Webster: Robertson-Bryan, Inc. (RBI) is pleased to present this proposal to provide services to conduct an environmental DNA (eDNA) pilot study to evaluate the efficacy of using eDNA to make defensible presence/absence determinations regarding freshwater...
Comments on the Tentative Order Amending Waste Disharge Requirements for Sacramento-‐San Joaquin Delta Dischargers
Dear Ms. Holmes: The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to comment on the Tentative Order Amending Waste Discharge Requirements for Sacramento-‐San Joaquin Delta Dischargers (Tentative Order). CVCWA is a non-‐profit...
Comments of the Central Valley Clean Water Association Regarding SWRCB/OCC Files A-2144(a) and (b)—December 4, 2012 State Water Resources Control Board Meeting
Dear Chairman Hoppin and Members of the Board: The Central Valley Clean Water Association (CVCWA) submits these comments on the October 29, 2012 proposed order in SWRCB/OCC Files A-2144(a) and (b) (Revised Proposed Order). The Revised Proposed Order consists of a...
Amendments to the Water Quality Control Plans for the Sacramento River and San Joaquin River Basins and Tulare Lake Basin
Dear Ms. Littlejohn: The Central Valley Clean Water Association (CVCWA) and California Association of Sanitation Agencies (CASA) appreciate the opportunity to comment on the Amendments to the Water Quality Control Plans for the Sacramento River and San Joaquin River...
Central Valley Clean Water Association’s Comments Regarding Final Staff Draft Delta Plan
Dear Chairman Isenberg and Council Members: On behalf of the Central Valley Clean Water Association (CVCWA), we appreciate the opportunity to provide comments to the Final Staff Draft Delta Plan (Final Draft Plan). CVCWA is a nonprofit association of Publicly Owned...
Comments on Tentative Waste Discharge Requirements Order No. R5-2013-XXXX, Planada Community Services District Wastewater Treatment Facility, Merced County
Dear Mr. Harvey: The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to submit these comments on the tentative Waste Discharge Requirements Order No. R5-2013-XXXX, Planada Community Services District Wastewater Treatment Facility (Tentative...
Comments on June 2012 Delta Regional Monitoring Program Draft Framework
Dear Ms. Sullivan: The Central Valley Clean Water Association (CVCWA) offers these comments for consideration by the Central Valley Regional Water Quality Control Board (Regional Water Board) staff on the Delta Regional Monitoring Program (RMP) June 14, 2012 Draft...
