EPA Region 7, EPA, Region 7, Waters of the United States, Water Security, Nonpoint Source, NPS, Nutrients, Ammonia, Kansas, KS, NHD, National Hydrography Dataset, Drury Creek, Cheyene County, dam permit, finding leaks, fixing leaks, drought, dry summer, Chesapeake Bay, Mississippi River Basin, municipal lagoons
1. REGIONAL WATER ISSUES
Panelists
• Karen Flournoy, U.S. EPA Region 7
• Mike Tate, KDHE
• John Madras, MDNR
• Phil Walsack, MPUA
• Parthy Evans, Stinson Leonard Street LLP
• Ed Galbrath
2. REGIONAL WATER ISSUES
1. Waters of the United States
2. Water Security
3. Nonpoint Source Pollution
4. Nutrients
5. Ammonia
3.
4. Waters of the US
• How will traditional Clean Water Act programs
be applied to ephemeral waters?
– § 402 NPDES permitting
– § 303d Impaired Waters/TMDLs
– § 404 Dredge and Fill Permits
12. Waters of the United States
A Balancing Act
Dear Mr. Owner:
It has come to the attention of the EPA that there has been recent unauthorized
activity on the above referenced parcel of property. You have been identified as
the legal landowner and/or contractor who did the following unauthorized
activity:
Construction and maintenance of two wood debris dams across the outlet
stream of Spring Pond.
A permit must be issued prior to the start of this type of activity. A review of the
agency's files shows that no permits have been issued. Therefore, the Agency
has determined that this activity is in violation of section 404 of the Clean
Water Act.
13. The EPA therefore orders you to cease and desist all activities at this location,
and to restore the stream to a free-flow condition by removing all wood and
brush forming the dams from the stream channel in accordance with a plan to
be approved by EPA. All restoration work shall be completed no later than
December 31, 2014.
EPA notes that both dams recently failed in a large rain event endangering
property and the perpetuation of the free flowing attributes of this stream.
Failure to comply with this order or any further unauthorized activity on the site
may result in this case being referred for elevated enforcement action.
Please feel free to contact me at this office if you have any questions.
Sincerely,
.
14.
15. WOUS/NPS/NUTRIENTS
A True Balancing Act
Dear Mr. EPA,
Your certified letter been handed to me to respond to. I am the legal
landowner but not the Contractor of the referenced property.
A couple of beavers are in the process of constructing and maintaining two
wood "debris" dams across the outlet stream of my Spring Pond. While I did
not pay for, authorize, nor supervise their dam project, I think they would be
highly offended that you call their skillful use of nature's building materials
"debris.“
I would like to challenge EPA to attempt to emulate their dam project any time
and/or any place you choose. I believe I can safely state there is no way you
could ever match their dam skills, their dam resourcefulness, their dam
ingenuity, their dam persistence, their dam determination and/or their dam
work ethic. As to your request, I do not think the beavers are aware that they
must first fill out a dam permit prior to the start of this type of dam activity.
16. If you are not discriminating against these particular beavers, through the
Freedom of Information Act, I request completed copies of all those other
applicable beaver dam permits that have been issued. Perhaps we will see if
there really is a dam violation of section 404 of the Clean Water Act.
I have several concerns. My first concern is; aren't the beavers entitled to legal
representation? The Spring Pond Beavers are financially destitute and are unable
to pay for said representation -- so the government will have to provide them
with a dam lawyer.
17. The EPA's dam concern that either one or both of the dams failed during a recent
rain event, causing flooding, is proof that this is a natural occurrence, which the I
had thought EPA is required to protect. In other words, we should leave the Spring
Pond Beavers alone rather than harassing them and calling their dam names.
If you want the stream "restored" to a dam free-flow condition please contact the
beavers -- but if you are going to arrest them, they obviously did not pay any
attention to your dam letter, they being unable to read English.
In my humble opinion, the Spring Pond Beavers have a right to build their
unauthorized dams as long as the sky is blue, the grass is green and water flows
downstream. They have more dam rights than I do to live and enjoy Spring Pond.
If the Environmental Protection Agency lives up to its name, it should protect the
natural resources (Beavers) and the environment (Beavers' Dams).
So, as far as the beavers and I are concerned, this dam case can be referred for
more elevated enforcement action right now. Why wait until January? The
Spring Pond Beavers may be under the dam ice then, and there will be no way
for you or your dam staff to contact/harass them then.
18.
19. WATER SECURITY
• Resiliency
– Drought
– Flood
• Climate Change
– Storage of Water When We Have it
• Infrastructure
– Treatment
– Storage
– Collection
– Distribution
20. What does it mean to me? Remember…
I am a simple man that used to be just
a water & wastewater system operator.
21. I am a simple man that used to be just
a water & wastewater system operator.
Put the drinking water back in the
water system’s distribution pipes.
22.
23. All these fancy regulations are not fixing
the root cause of water security failure.
My opinion (albeit….simple) is that we
lack the resolve to fix our water security
problem because…
24. Unappreciated (by both municipal
management and regulatory agencies).
Under-noticed (by the City fathers and
news media).
Cost Effective (but only over the long
haul).
25. In essence…finding and fixing leaking
water pipes is too boring to do well!
Talk to me about “droughts” (you really
mean a dry summer) & “effects of
climate change on water sources” when
the Midwestern States have water loss
rates less than 20%.
26. This pipe is 6 feet long. There are 14 full-circle clamps on
this section. They cost $10.49 each. Total repair cost
is $146.86
A new 8-foot section of PVC pipe costs $7.19. Add the 2
couplers that cost about $1.00 each. Total replacement
cost is $9.19
“We the People” spent that $146.86
27. Spending $10.49 for each full-circle clamp was cost
effective in the short term.
But we were robbed over the long haul.
Why did we over-spend by $137.00?
28.
29.
30. NONPOINT SOURCE
• Tends To Be Largest Source of Pollution in Region
• What is Best Way to Minimize?
• Are Current Programs Sufficient?
• How Can We Bring Equity Between NPS and PS?
31.
32. NUTRIENTS
• Significant Regional Issue
• How Are Nutrients Being Addressed
• Legal Challenges
– Chesapeake Bay
– Mississippi River Basin
• Gulf Restoration Network, et al v. Gina McCarthy, et al
33. THE BALANCING IS NOW JUGGLING
In conclusion, I would like to bring to your attention to a real environmental
quality (health) problem in the area. It is the bears! Bears are actually
defecating in our woods. I definitely believe you should be persecuting the
defecating bears and leave the beavers alone. I have read that there is an
enormous problem with non point source pollution in this country and with
nutrient pollution. It seems to me that something the size of a bear scat
would be a pretty serious given the level of attention given to something as
natural as beaver dams.
If you are going to investigate the beaver dam, watch your step! (The bears
are not careful where they dump!)
Being unable to comply with your dam request, and being unable to contact
you on your dam answering machine, I am sending this response to your dam
office.
THANK YOU.
OWNER & THE DAM BEAVERS
34.
35. AMMONIA
• New Criteria Are Out
– ~2.5 X More Stringent Than Current Criteria
• How To Comply?
• Build More/Enhanced Treatment
• Reuse Wastewater
• Variance
– Kansas Proposed Lagoon Variance
37. Ammonia Benefit Computations
In May 2013, the regulators began occasionally
reporting ammonia reduction benefits. In an analysis
of 63 Permits whose proposed sewer rate was greater
than 2.0% of the MHI, 21 ammonia benefit reductions
were made.
In 14 of the 21 cases, the ammonia benefit was
over-stated by using the design flow rather than
the actual flow.
38. Ammonia Benefit Computations
If this over-statement practice expands, politicians
(or worse)… the public may figure this out.
A blowback might then occur….
And, our State’s progress toward water quality
improvements may come to screeching halt as the
“Adults” just do not believe “the science” anymore.
39. The “Adult” Lagoon Conversation
How many lagoon facilities does your State have?
Is your State’s database searchable and sort-able?
There are 366 municipal lagoon facilities in Missouri,
(but very few people know this fact).
Collectively, Missouri’s design flow for all of its
facilities is 62 MGD with an actual flow of 47 MGD.
40. The “Adult” Lagoon Conversation
The 366 municipal lagoon facilities in Missouri are
grouped as follows:
37 = 1 cell
65 = 2 cell
221 = 3 cell
43 = > 3 cell
41. The “Adult” Lagoon Conversation
The 366 municipal lagoons
37 = 1 cell
65 = 2 cell
221 = 3 cell
43 = > 3 cell
42. The “Adult” Lagoon Conversation
Of the 366 municipal lagoon facilities in Missouri,
there are 37 facilities that are hydraulically-
overloaded.