# ARGYLE WATER SYSTEM, INC.
> **Administrative - Formal** · FY2025 · — · Final Order No Penalty
## Case
- **Activity ID:** `3604505796`
- **Case Number:** 04-2025-5071
- **Type:** Administrative - Formal
- **Lead:** EPA
- **Outcome:** Final Order No Penalty
- **Penalty assessed:** —
- **Cost recovery:** —
- **Compliance action $:** —
- **Multimedia (multi-env):** —
## Defendants
- ARGYLE WATER SYSTEM, INC. (settlement)
## Summary

AUGUST 21, 2025 - ADMINISTRATIVE COMPLIANCE ORDER

On January 15, 2021, EPA promulgated the Lead and Copper Rule Revisions (LCRR). The LCRR included a requirement for water systems to complete initial inventories of lead service lines by October 16, 2024. 

On October 8, 2024, the EPA finalized the Lead and Copper Rule Improvements (?LCRI?), which built upon the pre-2021 LCR and 2021 LCRR. Relevant to this Order, the LCRI maintained the LCRR compliance date of October 16, 2024, for initial lead service line inventory, notification of service line material, and associated reporting requirements (discussed in further detail below). 

Until a State, Tribe, or Territory has primary enforcement authority for a new or revised National Primary Drinking Water Regulation (?NPDWR?), such as the LCRR and LCRI 

Although the Florida Department of Environmental Protection (FDEP) administers the Public Water Supply Supervision Program in Florida pursuant to SDWA Section 1413 of the SDWA, 42 U.S.C. 300g-2, the State of Florida has not been granted primacy by the EPA for implementation and enforcement of the LCRI and/or LCRR as of the date of this Order. Therefore, the EPA currently has primary enforcement responsibility for the SDWA LCRR and LCRI. 

A water system must develop a service line inventory that identifies the materials of all service lines connected to the public water distribution system. PWSs were required to develop and submit to the State1 an initial service line i

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*Source: [EPA ECHO](https://echo.epa.gov/) · AI Analytics · CC0 1.0*