EPA Seeks Comments on Discharges of Pollutants to Groundwater

On February 20, the Environmental Protection Agency published in the Federal Register a request for comments on a longstanding EPA policy regarding the question of whether and to what extent discharges to groundwater might be covered under the Clean Water Act (CWA). EPA is also seeking comment on specific aspects of the central question. The notice can be viewed here (Federal Register 02/20/2018).

This request involves EPA policies that are not necessarily well known, but which are based on certain basic provisions of the CWA. The Act specifically prohibits discharge of any pollutant to navigable waters unless authorized by statute. Such authorization includes discharge under a permit issued under the National Pollutant Discharge Elimination System (NPDES). The CWA further defines discharge of a pollutant to be "from any point source." In turn, a point source is defined as a type of discreet conveyance but also includes "any conduit, well, or discreet fissure."

Over the years, EPA has issued a number of statements regarding the extent of the scope of the CWA as it may involve groundwater, and some of these are recounted in the notice. At this point, the EPA position appears to be that an NPDES permit might be required where it is determined that a discharge to surface waters occurs by way of a direct hydrologic connection from the original source of the pollutant.

On the other hand, the courts have taken a variety of approaches to the question. Some have focused on whether the CWA authorizes regulation at all, and opinions have come down on both sides. Other courts have accepted the authority to regulate such discharges, but have taken different positions with respect to the specifics of a hydrologic connection.

In an effort to resolve this, EPA has requested comments on the policy in general and with respect to specific aspects of the situation. Thus, the overarching request seeks comment on whether EPA should undertake a review and possible revision of its previous statements concerning the applicability of the NPDES permit program to discharges to groundwater which reach jurisdictional surface waters. Within that, the agency is seeking comment on whether CWA permitting is consistent with the Act itself and, if so, whether such releases are adequately addressed already by other federal programs or corresponding state and tribal programs.

The deadline for comments is May 21, 2018.

Posted in: EPA
Burr
Jump to Page
Arrow icon Top

Contact Us

We use cookies to improve your website experience, provide additional security, and remember you when you return to the website. This website does not respond to "Do Not Track" signals. By clicking "Accept," you agree to our use of cookies. To learn more about how we use cookies, please see our Privacy Policy.

Necessary Cookies

Necessary cookies enable core functionality such as security, network management, and accessibility. These cookies may only be disabled by changing your browser settings, but this may affect how the website functions.


Analytical Cookies

Analytical cookies help us improve our website by collecting and reporting information on its usage. We access and process information from these cookies at an aggregate level.