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.
Comments on report titled Comprehensive (Phase 2) Review and Update to the Bay-Delta Plan, Draft Bay-Delta Plan Workshops, Summary Report prepared by ICF International dated January 2013.
Chair Marcus and Board Members: At a meeting held on April 9, 2013 regarding the Phase 2 Bay-Delta Plan update,comments were invited by the State Board on the discussion that occurred that day and on thereport titled Comprehensive (Phase 2) Review and Update to the...
Comments on the Tentative Waste Discharge Requirements for the City of Mt. Shasta Wastewater Treatment Plant
Dear Ms. Gotham:The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to submit these comments on the tentative waste discharge requirements (Tentative Order) for the City of Mt. Shasta and U.S. Department of Agriculture, Forest Service’s...
Comment Letter on ELAP Regulations Development/Laboratory Standard
Dear Ms. Marcus:The Central Valley Clean Water Association (CVCWA) appreciates this opportunity to comment on the California Environmental Laboratory Accreditation Program’s (ELAP) recommendation to adopt Volume 1 of The NELAC Institute’s (TNI) 2016 standard as the...
Central Valley Clean Water Association’s Comments on the Tentative Order for the Mountain House Wastewater Treatment Plant
Dear Ms. Holmes:The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to submit comments on the Tentative Order for Mountain House Community Services District’s (District) Mountain House Wastewater Treatment Plant (WWTP). CVCWA is a non-profit...
Comments on Draft Report, “Monitoring Strategies For Chemicals Of Emerging Concern (CECs) In California’s Aquatic Ecosystems”
Dear Mr. Maruya:The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to submit these comments on the draft report, "Monitoring Strategies for Chemicals of Emerging Concern (CECs) in California's Aquatic Ecosystems". CVCWA is a non-profit...
Comment Letter – Variance Policy – Scoping Comments
Dear Ms. Townsend: The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to provide these comments in response to the State Water Resources Control Board’s (State Water Board) Notice of Public Scoping Meeting for a Statewide Water Quality...
Comment Letter on ELAP Regulations Development/Laboratory Standard
Dear Chair Marcus:The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to comment on the California Environmental Laboratory Accreditation Program’s (ELAP) recommendation to adopt Volume 1 of The NELAC Institute’s (TNI) 2016 Standard as the...
CVCWA Comments on Proposed 303(d) List Revisions
Dear Mr. Simi: The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to provide comments on the proposed revisions to the Clean Water Act Section 303(d) List of Impaired Water Bodies (303(d) List) within the Draft 2014 Integrated Report. CVCWA...
Draft Basin Plan Amendments for Pyrethroid Pesticides
Dear Ms. Fojut: The Central Valley Clean Water Association (CVCWA) appreciates the opportunity to comment on the proposed Basin Plan Amendments for Pyrethroid Pesticides to the Water Quality Control Plan for the Sacramento-San Joaquin River Basins (Draft BPA). CVCWA...
Comments on the Draft Water and Sediment Quality Criteria Report for Fipronil, October 2016
Dear Ms. Fojut,The Central Valley Clean Water Association (CVCWA) represents over 50 publicly-owned treatment works (POTWs) that provide wastewater collection, treatment, and disposal for over 7 million people in the Central Valley. CWCWA’s mission is to represent the...
