Does the proposed rule say that EPA will have no objection to violations of water
quality standards that result from water transfers? Will a new sub-category of
category 5 on the integrated list be created for waters that violate water quality
standrds as a result of legal water transfers?
Once any NPDES effluent is in a natural cannel downstream of the point of
discharge, no mattter how short the distance, will a state be free to transport and
discharge it anywhere without federal restriction under this proposed rule?
Would it be possible under this proposed rule to treat water to meet a lowered or
less protective standard, such as for a habitat limited aquatic community,
discharge it to a small channel which has that lowered or less protective beneficial
use assigned to it and then route the flow through a siphon or other artificial
channel or device into a receiving water possessing much higher or more
protective effluent restricitions and be able to do so legally under the guise of
calling it a water transfer and not a discharge?
Comment submitted by Ron Suttles, Oklahoma Department of Wildlife Conservation
This is comment on Proposed Rule
National Pollutant Discharge Elimination System (NPDES) Water Transfers Proposed Rule
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