This letter offers comments on EPA’s development of an E-Enterprise for the Environmental Portal, specifically the Federal Register notice published on January 26, 2015 (80 Fed. Reg. 3962). The comments are…
Letters
Joint Association Letter to House Appropriations Subcommittee on FY16 Water Funding
This letter was written in support for the Administration’s overall FY 16 budget request for a three-part investment in infrastructure. This includes funding for both State Revolving Loan Funds (SRFs), investments to…
Georgia Environmental Protection Division Comments on U. S. EPA’s Clean Power Plan Proposal
Statement for the Federal Energy Regulatory Commission Technical Conference on Environmental Regulations and Electric Reliability, Wholesale Electricity Markets, and Energy Infrastructure. GEPD submitted two comment letters to EPA on the Clean…
Joint ECOS-ASTSWMO Letter on EPA OIG Report on Land Designation Data
This joint ECOS ASTSWMO letter is a response to the EPA September 2014 Report titled, “EPA Needs to Improve Its Process for Accurately Designating Land as Clean and Protective for Reuse.”…
Comment Letter to U.S. Environmental Protection Agency on Clean Air Act Section 111(d)
This letter offers comments and suggestions to EPA on the proposed national rulemaking, “Carbon Pollution Emission Guidelines for Existing Stationary Sources: Electric Utility Generating Units; Proposed Rule” Under the Clean Air…
ECOS Comment Letter on Waters of the U.S. Proposed Rule
ECOS submit this letter to the U.S. Environmental Protection Agency (EPA) and the U.S. Army Corps of Engineers (Corps) on the proposed national rulemaking Definition of “Waters of the United States” under…
Letter to OMB on FY2016 U.S. EPA Budget
This letter provides ECOS’ input on FY 2016 President’s Budget for the U.S. Environmental Protection Agency. The letter provides more detail and comments for the following topics: Categorical grants funding, increased…
Joint Letter to Senate Appropriations Interior Subcommittee on WIFIA Funding
This joint letter was written to thank the Senate Appropriations Interior Subcommittee’s support of the State Revolving Funds, which are are imperative for water infrastructure funding. This letter urges the…
Letter with ASTSWMO to U.S. EPA about CCR Rule Implementation
This joint ECOS ASTSWMO letter addresses concern with an implementation issue regarding the proposed RCRA Subtitle D option. The suggestion is that U.S. EPA, in promulgating a final rule under Subtitle…
Letter to U.S. EPA and Army Corps on Waters of the US Comment Extension
Letter from ASWM, ACWA, and ECOS on the Proposed Rule regarding Definition of Waters of the United States under the Clean Water Act: Comment Deadline Extension Request. This letter ultimately requests a…