Document 150bZnendk0vjLKZ7kYNj5mgo

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Message From: Chris Hornback [CHornback@nacwa.org] Sent: 5/25/2017 1:48:33 PM To: Brown, Byron [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=9242d85c7df343d287659f840d730e65-Brown, Byro]; Greenwalt, Sarah [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=6cl3775b8f424e90802669b87bl35024-Greenwalt,] Subject: NACWA's Regulatory Review Comments Attachments: EPA-HQ-OA-2017-0190 NACWA Comments.pdf Byron, Sarah - Apologies for not sending these sooner, but we wanted to share NACWA's formal input in response to the Agency's Evaluation of Existing Regulations effort. Many of these issues are not new and have been discussed with EPA staff for many years, but we did sit down with Mike Shapiro and other key water office staff to brief them before we sent these in. We hope to find some areas that we can work on together. Happy to discuss any of these items further. If you can make it through the first 4-5 pages, that really covers the highlights. Thanks, Chris Chris H om back |C hief Technical O fficer j National Association o f Clean W ater Agencies (NACWA) ( 0 ) [ Ex. 6 1(M }[ Ex. 6 j chorn backajnacw a.org Sierra Club v. EPA 18cv3472 NDCA Tier 5 ED 002061 00087518-00001