Laws & Regulations
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NACEPT Assumable Waters Subcommittee Meeting Summary (March 15-17, 2016)
The purpose of the meeting was to provide advice and recommendations on how the EPA can best clarify which waters a State or Tribe assumes permitting responsibility for under an approved Clean Water Act section 404 program.
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NACEPT Assumable Waters Subcommittee Presentations (December 1-2, 2015)
Presentations covering adjacent wetlands as defined in the Clean Water Act (CWA) and its implementing regulations, state and tribal efforts to implement section 404(g) and the legislative history of CWA section 404 (g) (1).
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ECOS, ACWA, ASWM Letter to the Army Corp of Engineers regarding the Assumable Waters Subcommittee under CWA
Letter from the Environmental Council of the States (ECOS), Association of Clean Water Administrators (ACWA), and the Association of State Wetland Managers (ASWM) concerning assumable waters under Clean Water Act Section 404.
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Environmental Counsel of the States (ECOS) Letter regarding Assumable Waters under CWA
Environmental Counsel of the States (ECOS) letter to EPA on state or tribal assumption encouraging the EPA to bring clarity and certainty to the identification of assumable and non-assumable waters, should a state assume the 404 program.
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NACEPT Assumable Waters Subcommittee Meeting Documents (October 6-7, 2015)
Documents covering state and tribal assumption of the Clean Water Act section 404 program, legislative history of section 404, Federal Advisory Committee Act (FACA) legal requirements, Michigan and New Jersey CWA section 404 programs.
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Tank Inspections
Tank inspection guidance for SPCC Tier I Qualified Facilities
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Bally’s Corporation - Clean Water Act Public Notice
The EPA is providing notice of a proposed Administrative Penalty Assessment against Bally’s Corporation, for alleged violations at the facility located in 1800 E. Front Street, Kansas City, MO 64120.
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Port Emissions Inventory Guidance
The Port Emissions Inventory Guidance: Methodologies for Estimating Port-Related and Goods Movement Mobile Source Emissions provides methodologies on how to develop port-related and goods movement emissions inventories.
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Letter from DOE to EPA regarding a waste container disposed at the WIPP from the Advanced Mixed Waste Treatment Project
This letter is the DOE’s Carlsbad Field Office (CBFO) notification to the EPA regarding a waste container disposed at the WIPP from the Advanced Mixed Waste Treatment Project (AMWTP).
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Subpart W Rulemaking Activity: 2011 Conference Calls
Meeting minutes from quarterly conference calls held in 2011 regarding Subpart W.
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Subpart W Rulemaking Activity: 2010 Conference Calls
Meeting minutes from quarterly conference calls held in 2010 regarding Subpart W.
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Subpart W Rulemaking Activity: Meetings and Presentations
View and download presentations related to Subpart W rulemaking activity.
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Subpart W Rulemaking Activity: 2014 Non-Privileged Records
Non-privileged records related to Subpart W rulemaking in 2014.
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Subpart W Rulemaking Activity: 2013 Conference Calls
Meeting minutes from quarterly conference calls held in 2013 regarding Subpart W.
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Enclosure from DOE letter dated 7/20/07 - Table 5-2, Isotopic Compositions of Rocky Flats Plutonium and Uranium
This enclosure from a DOE letter to EPA regarding a waste container disposed at the WIPP from the Advanced Mixed Waste Treatment Project includes Table 5-2, Isotopic Compositions of Rocky Flats Plutonium and Uranium.
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Subpart W Rulemaking Activity: 2013 Non-Privileged Records
Non-privileged records related to Subpart W rulemaking in 2013.
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Subpart W Rulemaking Activity: 2009 Conference Calls
Meeting minutes from the quarterly conference call held on December 3, 2009 regarding Subpart W.
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State Review Framework (SRF) - California Final Reports
Details findings of the California state review framework
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State Review Framework (SRF) - Kansas Final Reports
Details findings of the Kansas State Review Framework
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Policy: Confidentiality of Information Received Under Agency’s Self-Disclosure Policy
Confidentiality of Information Received Under Agency’s Self-Disclosure Policy