Draft Notes from Michigan semi-annual call on 6/10
AH—Below ere my draft notes frorn our call last week, June LO, 2015. Thank you all for participating. | apologize far the
datay in getting these out in craft to you all for review—I{ was honing to gat a couple of iterns ironed out thet wera fuzzy
during our discussions, out hasn’t happened yet, Several ACTION iterns below, So, please review to make sure |
documented our discussion/agreements correctly, and feel free to edit as needed. | you could get back to me by July 13,
that would be great. Thank youl
fennifer
th, & Ber fran Dettweil
3 Marjorie Rodriguez
Mike Prysby
ar, Form Murphy, Heather Shoven, Cary
i.Changes in Lead Disinvestments and Commitments for FY 2016 ARDP—for discussion: Due to our extreme focus on
lead in drinking water, this is the consensus here.
Consumer notification of tap results at NINCWSs:
(Suggested wording) The NCWS program commits to full implementation of the lead consumer notification of tap results
requirement, to begin in CY 2016. Region 5 will assist in a notification outreach effort in late FY 2015 to remaining 698
NTNCWSs that are not schools/daycares, to begin providing lead consumer notice in CY 2016. NCWS program commits
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to include information on providing lead consumer notice in the annual monitoring letter sent to all NTNCWSs for CY
2016.
@ found this change inthe wording acc
Collection of Lead samples at NINCWSs during June — September 2016 timeframe
(Suggested wording) NCWS program commits to including information in the applicable NTNCWS annual monitoring
letters of the requirement to collect their annual/triennial lead sample between June and September only, during CY
2016. The MDEQ NCWS program currently does not have the capability to easily track lead sampling compliance within
this specific timeframe.
ST
:: The St
found this change in the wording acceptable.
Follow-up Actions for NINCWSs that sample outside of June-September 2015 timeframe