Skip to main content
John A. DeLashmit, P.E.
USEPA Region 7
REGFORM Missouri Water Seminar
September 11, 2015
The List
 Final WQS Regulation Clarifications
 “New” WQ Criteria Recommendations
(published June 29, 2015)
 2012 Recreational Criteria
 2013 Ammonia Criteria
Final WQS Regulation Clarifications
 Final rules were published in the Federal Register on
August 21, 2015
 EPA made revisions in the following six program areas:
 Administrator’s determinations (that new or revised
WQS are necessary)
 Designated uses
 Triennial reviews
 Antidegradation
 Variances to water quality standards
 Permit compliance schedule authorizing provisions
Final WQS Regulation Clarifications
 The new regulations become effective on October 20, 2015
 After that date, state submittals must meet the new
requirements; however, there is a short “period of transition”
 EPA will review state submittals based on consistency with the
CWA and the EPA regulations that were in effect prior to the
effective date if:
 The state submits its changes to EPA before October 20, 2015, or
 The state held its public hearing(s) and the state’s public comment
period closes before October 20, 2015, and the state submits its new
or revised WQS within nine months of October 20, 2015 (on or
before July 20, 2016)
Some of the Changes
Administrator’s Determination
 This rule change clarifies what constitutes an Administrator’s
determination under 303(c)(4)(B) of the Clean Water Act
 A determination must be signed by the Administrator or a duly
authorized delegate, and
 A determination must include a statement that the document is an
Administrator’s determination for the purposes of section 303(c)(4)(B)
of the CWA
 The public has occasionally mistaken a communication from the EPA
for a “determination” that new and revised WQS are necessary
 With this clarification, the potential for misunderstanding is
minimized, allowing the EPA to provide candid and transparent
feedback
Designated Uses
 States must perform a use attainability analysis (UAA)
to remove or revise (applying less stringent criteria) a
CWA section 101(a)(2) (“fishable/swimmable”) use
 Revisions establish an additional requirement to adopt
the highest attainable use (HAU) after demonstrating
that fishable/swimmable uses are not attainable
 A UAA is not required when a state removes or revises
a non-fishable/swimmable use (e.g., public water
supply, agriculture, navigation)
Triennial Reviews
 If states choose not to adopt new or revised criteria
during their triennial review for any parameters for
which EPA has published new or updated criteria
recommendations, they must explain their decision
when reporting the results of their triennial review to
EPA
 The Rule also clarifies the “applicable water quality
standards” that states must review triennially
Antidegradation
 The revision requires states’ antidegradation
implementation procedures (AIPs), whether or not
adopted into rule, to be consistent with their
antidegradation policies and with 40 CFR 131.12(a)
 Also requires states to provide an opportunity for public
involvement during the development and any subsequent
revision s of AIPs, and to make the procedures available to
the public
 The rule adds 40 CFR 131.5(a)(3) to specify that EPA has the
authority to determine whether states’ antidegradation
policies and any adopted AIPs are consistent with federal
requirements
WQS Variances
 The WQS variance update establishes regulatory
expectations for variances to support consistent,
appropriate, transparent and enforceable
implementation
 40 CFR 131.14(b)(2)(i): establishes a seventh acceptable
“factor” (restoration) for justifying variances, in addition
to those listed in 40 CFR 131.10(g)
WQS Variances (cont.)
 Four big changes are in the Rule:
 Explicit authorization of variances; single discharger, multiple
discharger, waterbody, or waterbody segment
 The Rule requires states to include specifics in the variance, such as:
the varied pollutant(s) or parameter(s), the waterbody or waterbody
segment(s) to which the variance applies, and the identity of the
discharger (discharger-specific) or the specific eligibility requirements
(multi-discharger)
 States must supply documentation to justify why the variance is needed
(per 40 CFR 131.10(g) and 131.14(b)), the term for the variance, and the
highest attainable condition
 States are to reevaluate WQS variances longer than five years on an
established schedule with public involvement. States must specify in
the variance the reevaluation frequency and how they plan to obtain
public input on the reevaluation
Permit Compliance Schedules
 Compliance schedule authorizing provisions update
specifies that compliance schedule authorizing
provisions must be adopted as part of a state or tribe’s
water quality standards, and therefore must be
submitted to EPA for review and action
How to Get Additional Information
on the WQS Clarification Rule
 If you have questions or comments, you may email
WQSRegulatoryClarifications@epa.gov or call 202-
566-1860.
 Of course, there’s a Web page:
http://water.epa.gov/lawsregs/lawsguidance/wqs_index.cfm
“New” Recommended Water
Quality Criteria for Human Health
 Published in the Federal Register on June 29, 2015
 Recommendations for 94 chemical pollutants
 Chlorinated hydrocarbons
 Pesticides/herbicides
 Polynuclear aromatic hydrocarbons
Recreational Criteria
Recommendations
 Two sets of recommended criteria; EPA will accept
either from states and tribes
 Criteria expressed as a geometric mean (GM) and a
“statistical threshold value” (STV)
 May use E. coli or enterococci as indicator for fresh
water
 Criteria are for primary contact recreation (Whole
Body Contact Recreation in MO)
Recreational Criteria
Recommendations (cont.)
 Optimal averaging interval is 30 days, but 90 days is
acceptable
 EPA can no longer support use of seasonal averaging
 Water body GM should not exceed GM criterion
during any 30-day interval
 Should not be greater than 10% excursion frequency of
STV during a 30-day interval
 Single-sample maximum (SSM) concentrations are no
longer used
Recreational Criteria
Recommendations (cont.)
Ammonia Criteria
Recommendations
 Published in the Federal Register on August 22, 2013
 Supersedes recommended criteria from 1976, 1985, and 1999
 Revision necessary because EPA became aware of new toxicity
studies showing the relative sensitivity of freshwater mussels to
ammonia
 Since publication of draft criteria in 2009, additional studies
have validated sensitivity of unionid mussels and gill-breathing
snails to ammonia
 New criteria are more stringent than 1999 recommendations
 Duration components remain the same – a one-hour average for
the acute criterion and a 30-day average for the chronic criterion
 States are expected to address these recommendations in their
next triennial review
Criterion
Duration
1999
Criteria
2009
Draft
Updated
Criteria
2013
Final
Updated
Criteria
Acute (1-hour
average)
24 19 17
Chronic (30-
day rolling
average)
4.5* 0.91* 1.9*
*Not to exceed 2.5 times the criterion continuous
concentration as a 4-day average within a 30-day
period.
Criteria frequency not to be exceeded more than once
in three years on average.
Criteria magnitudes are expressed as total ammonia
nitrogen (mg TAN/L) at pH 7 and 20°C.
John A. DeLashmit, P.E.
USEPA Region 7
11201 Renner Blvd.
Lenexa, KS 66219
(913)551-7821
delashmit.john@epa.gov