Comment submitted by Utility Water Act Group (UWAG)

AnonymousSupportTrade association
Summary: The Utility Water Act Group (UWAG), a non-profit group representing 129 energy companies, supports the EPA's proposed rule to replace national arsenic and mercury limits for FEDD UCRL with a case-by-case Best Professional Judgment (BPJ) approach. They also support maintaining current limits and extending the compliance deadline to 2034 for Pumped UCRL, while continuing to advocate for the repeal of the 2024 Rule's zero-discharge requirements.
Attached are the comments of the Utility Water Act Group (UWAG).

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