H.R. 1921, Bill Introduced
would repeal the exemption for hydraulic fracturing in SDWA.
would repeal the exemption for hydraulic fracturing in SDWA.
would amend SDWA to reauthorize technical assistance to small public water systems.
John E. McNerney (“Petitioner”) seeks review of the U.S. Environmental Protection Agency (“EPA” or “Agency”) Region 3’s (“Region”) issuance of an Underground Injection Control (“UIC”) permit to Stonehaven Energy Management Co., LLC (“Stonehaven”) pursuant to Part C of the Safe Drinking Water Act (“SDWA”), 42 U.S.C. § 300h - 300h-8, and EPA’s implementing regulations at 40 C.F.R. parts 124 and 144 through 148. The permit authorizes construction and operation of a Class II injection well, referred to as Latshaw #9, in Cranberry Township, Venango County, Pennsylvania.
Ms. Norma Petrie petitions the Environmental Appeals Board (“Board”) to review a Class II Underground Injection Control final permit that the United States Environmental Protection Agency Region 5 (“Region”) issued to Chevron Michigan, LLC of Traverse City, Michigan (“Chevron”) on August 20, 2012, pursuant to the Safe Drinking Water Act, 42 U.S.C. §§ 300f to 300j-26. The permit authorizes Chevron to drill and operate an injection well to be used for noncommercial brine disposal from production wells owned or operated by Chevron in Antrim County, Michigan. Ms.
This case arises from an administrative complaint ("Complaint") U.S. Environmental Protection Agency ("EPA") Region 8 ("Region 8" or "Complainant") filed against Mountain Village Parks, Inc. ("Respondent" or "Mountain Village") for alleged violations of section 1414 of the Safe Drinking Water Act ("SDWA"), 42 U.S.C. §300g-3, the National Primary Drinking Water Regulations ("NPDWRs"), codified in 40 C.F.R. part 141, and an Amended Administrative Order ("Amended Order") the Region issued on September 29, 2009.
would amend SDWA to reauthorize technical assistance to small public water systems.
would amend SDWA and the Federal Water Pollution Control Act to authorize the Administrator of EPA to reduce or eliminate the risk of releases of hazardous chemicals from public water systems and wastewater treatment works.
Mr. William A. Peiffer, Jr. and Mr. Paul T. Stroup (Petitioners) petitioned the Environmental Appeals Board to review the U.S. Environmental Protection Agency, Region 3's decision to issue two Underground Injection Control (UIC) permits to Bear Lake Properties, LLC, pursuant to Part C of the Safe Drinking Water Act (SDWA), 42 U.S.C. §§300h-300h-8, and EPA’s implementing regulations at 40 C.F.R. parts 124 and 144-148.
would amend the SDWA to protect the health of vulnerable individuals, including pregnant women, infants, and children, by requiring a health advisory and drinking water standard for hexavalent chromium.
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