Comments on Petition for Rulemaking
WEAT and TACWA comment on the petition for rulemaking for Docket No. 2019-1620-PET, as it proposes to amend certain public notice requirements (the "Petition").
WEAT and TACWA comment on the petition for rulemaking for Docket No. 2019-1620-PET, as it proposes to amend certain public notice requirements (the "Petition").
Feedback and comments related to the renewal of the TPDES Multi-Sector General Permit (MSGP) TXR050000.
WEAT and TACWA's comments about the 2021 Revision to Procedures to Implement the Texas Surface Water Quality Standards Total Dissolved Solids Screening and Permit Limits.
WEAT and TACWA's Comments on Nutrient Criteria.
We have no evidence that biosolids contain infectious SARS-CoV-2 virus when requirements under 40 CFR part 503 are met for Class A biosolids.
The WEAT/TACWA Joint Pretreatment Committee official comments regarding: Dental Rule Compliance Questions, TBLL, TPDES permit action process, MUR, MAL, sludge rules relating to selenium.
WEAT/TACWA comments submitted to TCEQ related to proposed Minimum Analytical Levels, Appendix E of Procedures to Implement the Texas Surface Water Quality Standards.
WEAT/TACWA/WRT (Water Reuse Texas) comments on the EPA's Water Reuse Action Plan.