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WRIGHTSVILLE BEACH WATER SYSTEM

Administrative - Formal · FY2022 · — · Final Order No Penalty · 3603353344

Penalty
Cost recovery
Compliance action

Case

Case Number
04-2022-2308
Type
Administrative - Formal
Lead
EPA
Outcome
Final Order No Penalty
Multimedia
Self-disclosure
N

Defendants (1)

Summary

AUGUST 4 2022 - ADMINISTRATIVE COMPLIANCE ORDER Respondent?s PWS provides piped water for human consumption and regularly serves at least 15 service connections and/or at least 25 residents, and is therefore a ?community water system? (CWS). On October 23, 2018, the SDWA was amended in accordance with the America?s Water Infrastructure Act (?AWIA?) of 2018 (Public Law 115-270). Section 1433(b) of the SDWA, 42 U.S.C. ? 300i-2(b), requires a CWS serving 3,301 or more persons to prepare or revise, where necessary, an emergency response plan (?ERP?) that incorporates the findings of a Risk and Resilience Assessment (?RRA?) no later than six months after certifying completion of its RRA. The ERP shall include: a. strategies and resources to improve the resilience of the system, including the physical security and cybersecurity of the system; b. plans and procedures that can be implemented, and identification of equipment that can be utilized, in the event of a malevolent act or natural hazard that threatens the ability of the community water system to deliver safe drinking water; c. actions, procedures and equipment which can obviate or significantly lessen the impact of a malevolent act or natural hazard on the public health and the safety and supply of drinking water provided to communities and individuals, including the development of alternative source water options, relocation of water intakes, and construction of flood protection barriers; and d. strategies th

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