The Environmental Protection Agency (EPA) proposed revisions to the National Primary Drinking Water Regulation for lead and copper. Our comments ask EPA to more fully monetize the benefits and better assess the significance of non-monetized benefits of the proposal. We also submitted a letter to EPA’s Science Advisory Board (SAB) summarizing our comments and encouraging the SAB to consider our points during its review of the proposed revisions.
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Within Its Wheelhouse: EPA’s Latest Power Plant Regulations Rely on Traditional Approaches Left Available After West Virginia v. EPA
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Statement on EPA’s Standards for Light- and Medium-Duty Vehicles
Media Resources / March 20, 2024
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Supplemental Comments to EPA on Reliability & the Proposed GHG Regulations for Fossil Fuel-Fired Power Plants
Project Updates / December 20, 2023
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EPA Updates Climate Damage Estimates in New Methane Rule
Media Resources / December 2, 2023
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Comments to EPA on the Proposal to Limit Emissions from Reclassified Major Sources of Air Toxics
Project Updates / November 13, 2023