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Final FY 2014 End-of-Year Evaluation for the Michigan PWSS program

Indicators Summary July 2015.doc All—Attached, please find the annual End-of-Year Evaluation of Michigan DEQ’s implementation of the PWSS in Michigan for FY 2014; and the Measures and Indicators page which is a compilation of the most recent data for all quantitative measures that Region 5 uses to regularly assess State program performance. Thank you for your comments and edits, which | have included. If you have any comments or questions regarding the Evaluation or the Measures and Indicators page, please let me know. Thank you for all your hard work! Jennifer Jennifer Kurtz Crooks Michigan Program Manager Ground Water and Drinking Water Branch U.S. EPA Region 5 77 West Jackson Bivd. Chicago, Illinois 60604 312.886.0244 [email protected] 312.582.5853 (fax) xxxEND_PAGE:deq04_b021_1427_1582_114 Michigan Department of Environmental Quality (Michigan DEQ), Office of Drinking Water and Municipal Assistance, Public Water System Supervision (PWSS) Program Work Plan Summary and FY 2014 End-of-Year Evaluation Contacts: Michigan DEQ Field Operations Section Chief: Richard Benzie, [email protected], (517) 284-6512; Michigan DEQ Environmental Health Section Chief: Carrie Monosmith, [email protected], (517) 290-2601. U.S. EPA Region 5 Michigan State Program Manager, Ground Water and Drinking Water Branch (GWDWB): Jennifer Kurtz Crooks, [email protected], (312) 886-0244 Federal funding used: PWSS grant; Drinking Water State Revolving Fund (DWSRF) Set-asides: 1) Small System Technical Assistance set-aside, 2) PWSS Program set-asides to supplement the PWSS program, and 3) Local Assistance set-asides that includes Wellhead Protection and Capacity Development. FY 2014 End-of-Year Evaluation Synopsis: Analysis of the various programs within Michigan’s drinking water program (below), and the data gleaned from implementation of these programs (see attached Measures and Indicators page), show many program improvements by Michigan DEQ. It is important to note that Michigan DEQ does not currently have adequate electronic reporting capabilities, due to competing priorities and resource limitations. Information Technology (IT) support from the Department of Technology, Management and Budget (DTMB) is now being provided to support WaterTrack until the noncommunity water system (NCWS) data moves to SDWIS/State or SDWIS-Prime. Financial/staff limitations within the Michigan PWSS program are an ongoing obstacle. For FY 2014, Region 5 commends Michigan DEQ for exceeding its targets for all National Drinking Water and Source Water Protection Measures, which include those from U.S. EPA’s Office of Ground Water and Drinking Water (OGWDW) and the Office of Enforcement and Compliance Assurance (OECA). During the most recent Drinking Water State Revolving Fund (DWSRF) Performance Evaluation in May 2015, the Region noted Michigan DEQ’s continued use of set-asides for innovative purposes and projects. The DWSRF set-aside workplans are very well written from a technical and financial perspective. Progress is noted in all activities funded with DWSRF set-asides. The FY 2014 Program Evaluation Report (PER) for the Michigan State Revolving Fund Programs, prepared by Region 5 State and Tribal Programs Branch and dated July 27, 2015, should be consulted for more information regarding the State’s DWSRF program. The most recent Regional Shared Goals, which represent CY 2014 (final data as of April 2015), show Michigan DEQ met 6 milestones of the 7 goals. The non-transient noncommunity water system (NTNCWS) goal not met indicated that more than 5% (5.2%) NTNCWSs have significant/major monitoring violations for acute-based standards; namely for total coliform and nitrate. | | | : Pere | xxxEND_PAGE:deq04_b021_1427_1582_115 Resources and Expertise: Michigan DEQ employs a highly trained staff with the technical expertise to carry out all mandatory components of the PWSS program (including engineering plan and specification review, sanitary surveys and emergency response. ) However, due to lack of adequate funding, the drinking water program cannot hire sufficient staff to accomplish all program activities. As a result, the PWSS program prioritizes activities, placing emphasis on those with direct impact on public health. Contracts with the Local Health Departments (LHD) to conduct the PWSS program at NCWSs, have been successful in ensuring public health is protected. However, the upcoming implementation of the Federal Revised Total Coliform Rule (RTCR) in FY 2016 with no additional Federal funding, may force the Michigan DEQ to prioritize LHD activities, and could increase the number of primacy activities the LHDs will be unable to complete. Michigan DEQ has indicated that if the Federal PWSS grant continues to be reduced or if the DWSRF set-asides are reduced, adequate staffing levels may be difficult to maintain and Michigan DEQ’s ability to meet federal PWSS primacy requirements could be jeopardized. The Region continues to offer assistance to the State, which includes compliance assistance and enforcement partnership. Rules and Primacy: Michigan DEQ has been granted primacy for all Federal drinking water regulations, and is implementing all drinking water rules. The State submitted its draft RTCR for Region 5 review, and the Region provided comments for public hearing in February 2015. The Region looks forward to receipt of the RTCR primacy package in FY 2016. For the past several years, Michigan DEQ disinvested in a number of program activities that were partially implemented in FY 2014. Partial implementation includes: 1. Lead Consumer Notification of tap results at NTNTCWSs:

Draft FY 2014 End of Year Evaluation

All--Richard pointed out you all have busy working on issues with our favorite City, and also you all were out last week for the Section meeting. In light of the possibility that we will be shut-down next Thursday, | would like to finalize this on Wednesday COB. If you can get me any comments by say Wednesday early afternoon, | can finalize at the end of the day. If we have a continuing resolution, ’d like to get comments by Friday, Oct 2 COB and | will finalize on Monday Oct 5. Dan said he had a few comments on my NCWS write-up for data management, etc. Liane, I’m hoping you can read my resources comments, and Flint comments, and make sure these are OK with you. Thank you all for your time. ennifer

Draft Response

Liane: Here is my draft response that | sent up the mgmt chain. As | mentioned on the call, it will likely be edited down as the RA likes one page responses. : Tom Tom Poy Chief, Ground Water and Drinking Water Branch USEPA - Region 5 (312) 886-5991 xxxEND_PAGE:deq25_b075_0798_0976_011 The Honorable Daniel Kildee Member, U.S. House of Representatives Washington, DC 20515-1313 Dear Congressman Kildee: Thank you for your September 9, 2015 letter rega June 24, 2015 U. 8. Environmental Protection Agericy to Thomas Poy. EPA shares your concern about the q focus has been to work with the Michigan Department of the City of Flint so they can provide cle: Mr. Del Toral’s June 24, 2015 internal mei to a Flint resident’s request for help with hi Flint’s drinking water was sent to Mr. Poy. I xpressing his concerns about ments in the memorandum EPA sample results rounds of compliance centrations low the lead action level. The round of samples taken from July A 490" percentile value of 6 ug/L. The last round of samples taken 15 had a 90" percentile value of 11 ug/L. Public notice is provided Even if public notice is not required, the LCR requires that homeowners whose water was sampled for lead by the water system receive a copy of their individual lead results, including an explanation of health effects and steps the consumer can take to reduce lead exposure from drinking water. EPA and the Centers for Disease Control and Prevention believe there is no safe level of lead exposure. Lead is harmful to health, especially for children. While paint, dust, and soil are the most common sources of lead, drinking water can contribute 20 to 40 percent of an xxxEND_PAGE:deq25_b075_0798_0976_012 infant's lead exposure. Lead is typically not found in a utility’s source water. It comes from pipes and fixtures, some of which is the owned by the homeowner. Therefore, it is difficult to say with certainty what the lead levels are in each home. The goal is to remove as much lead

Clarification

Date: Friday, September 11, 2015 10:20:54 AM Just to clarify; on our call, | wanted to remind you that Miguel.s report had DEQ cc.d. So if the Legislature or who ever might say you all were cc.d, you can truthfully respond that it was EPA.s request that the report not be sent to the cc.s. Consequently, you all never received the report from Miguel. Good to talk with you all. Jennifer xxxEND_PAGE:deq02_b017_2071_2071_1

Clarification

Just to clarify; on our call, | wanted to remind you that Miguel.s report had DEQ cc.d. So if the Legislature or who ever might say you all were cc.d, you can truthfully respond that it was EPA.s request that the report not be sent to the cc.s. Consequently, you all never received the report from Miguel. Good to talk with you all. Jennifer xxxEND_PAGE:deq25_b075_0798_0976_025 Rennaker, Joanne (DEQ)

question: Ms Walters’ home

See my question below and Miguel’s response-—! guess if the Walters are still using bottled water for drinking and cooking, then they probably wouldn't have any type of GAC filter or RO unit on their house, but we don't know. ff the Walters still nave their iron filter at the entry paint ta their horne, | wonder if the chlorine could be oxidizing iror. Jennifer

Draft Notes from call Tuesday with MI DEQ RE: Flint

Importance: — High All—these are the notes | jotted down during our call this past Tuesday when we discussed Flint. Any edits? Jennifer Date: August 31,2015 é Present: Liane Shekter Smith, Richard Benzie, Steve Busch, (2 other MDEQ staff?), Tom Poy, Andrea Porter, Janet Kuefler, Jennifer Crooks _ STRATEGIC NEXT STEPS FOR FLINT TO ADDRESS LEAD CORROSION CONCERNS Tom Poy discussed Marc Edwards’ website, “Flint, MI Water Study Updates” The discussion focused on the lead sampling and analytical results Marc Edwards’ team posted to their website. Tom emphasized that EPA is not involved with Mare Edwards’ work in, Flint. Tom mentioned that the Edwards team’s samples may not have been analyzed by a certified lab (which is only required for compliance samples) nor taken from sites that qualify as Tier 1 for LCR compliance sampling, but the results give further evidence that lead levels in Flint are trending upward. (The conclusion that there is an increasing trend of lead concentrations at consumer taps builds upon earlier compliance sampling taken by Flint in 2014 and 2015 that showed the 90" percentile of the 1* 6-month sampling period at 6ppb, then the 90” percentile of the 2" 6-month sampling period at 11ppb.) The “Flint, Mi Water Study Updates” website is putting added pressure on MDEQ and EPA to ensure that Flint addresses their lack of optimized corrosion control treatment in an expedited manner in order to protect the residents from exposure to high lead levels. Richard noted that there are numerous systems across the country that have installed corrosion control treatment, have optimized their corrosion control, but continue to have high lead levels. We all acknowledged that this is true, but we all also acknowledged that to delay installation of corrosion control treatment in Flint would likely cause even higher levels of lead over time as Flint’s approximately 15,000 lead service lines are continuously in contact with corrosive water. Region 5 and MDEQ brainstormed on strategic next steps for Flint to address lead corrosion concerns. These steps included: 1. Public Education for Flint Residents. Liane has contacted the Department of Community Health to discuss developing a consumer lead education piece outlining the consumer's responsibilities to lower the lead in their drinking water. The Region was glad to hear of a plan to initiate Lead Public Education since this will provide the "public immediate actions they can take. The educational! material could include steps.consumers can take immediately to reduce their exposure to lead in drinking water (flushing their lines.after long stagnation periods, using filters certified to remove lead, etc.) as well as longer term fixes to remove lead sources (for example, financing the cost to remove any part of a lead service line on the owner’s property at the same time as Flint is replacing its portion of the lead service line). xxxEND_PAGE:deq27_b200_0947_0948_1 2. Gathering Information on Flint’s Future Treatment Plans. Steve Busch said Flint and their engineering consultants were meeting this week (Sept 1) to discuss conceptually the necessary optimized corrosion control. treatment at Flint. Tom Poy shared EPA lead experts’ (Mike Schock and Darren Lytle of EPA’s Office of Research and Development in Cincinnati). caution against simply adding orthophosphate without first studying the water quality and existing distribution systern conditions to ensure that any installed treatment has a good chance of working. EPA lead experts have research and field experience showing the complexity of optimizing corrosion control treatment when water quality is significantly changed, as is the case for Flint. ° 3. Offering Flint Free Help from EPA Experts. Steve Busch has already provided the names of EPA lead experts (Mike Schock and Darren Lytle) to Flint, as has Susan Hedman, R5 Administrator. MDEQ and Region.5 agree that, to successfully contro} lead corrosion in the distribution system, Flint needs to review this situation holistically, while also addressing the lead issue in an expedited manner. 4. Laying Groundwork for MDEQ/EPA Collaboration with Flint. If Flint accepts the offer of technical assistance for optimizing corrosion control, Tom Poy suggested that MDEQ and EPA lead experts (Mike Schock and Darren Lytle) form a partnership to provide such help. EPA experts are able to provide pipe scale analyses,.as well as other laboratory support. Although Flint (using their consultant) bears the ultimate responsibility for designing and installing corrosion control, MDEQ and EPA experts are willing and able to provide advice throughout the process. END Jennifer xxxEND_PAGE:deq27_b200_0947_0948_2

Draft FY 2014 End of Year Evaluation

All---Yes, | know, I’m a bit behind in documenting our evaluation of your program this year, for which | apologize. | summarized activities during FY 2014, but also included more up-to-date information to make this document more relevant to you. Please note that this is a final draft from the Region, but this is your opportunity to make changes to this document. Also, | included a sentence about Flint under Rules and Primacy, acknowledging the resources you all have provided Flint. Again, please feel free to edit/delete. If you could provide me with any revisions by Monday Sept 14, | can finalize. Also attached is our rather voluminous chart summary of Measures and Indicators used to assist with evaluating your program. Please note that the Logic Model Report Tool (LMRT) was not funded by HQ in 2015, so we did not receive any updated data this year. The LMRT data provided in this document was received in July 2014, for CY 2009-CY 2013. Not very relevant now, but FYI. We are currently looking for another national source of data that we can analyze that will give us trends, as did the LMRT data. Thank you! Jennifer xxxEND_PAGE:deq03_b372_1910_1911_2

Final Notes from Michigan semi-annual call on 6/10

All--Belaw are my draft notes from our call last week, June 10, 2015. Thank you all for participating. | apologize for the delay in getting these out in draft te you all for review—I was hoping to get a couple of items ironed out that were fuzzy during our discussions, but hasn’t happened yet. Several ACTION items 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 wouid be great. Thank you! Jennifer Attendees: MDEQ: Liane Shekter-Smith, Richard Benzie, Carrie Monasmith, Kris Philip, Dan Dettweiler, Marjorie Rodriguez (Student), Kevin Hoidwick, Mike Prysby, Dana DeBruyn, Steve Busch EPA Region 5: Tom Pay, Rita Bair, Nick Damato, Janet Kuefler, Michele Palmer, Tom Murphy, Heather Shoven, Cary McElhinney, Andrea Parter, Miguel Deltoral, Mostafa Noureldin 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. {Suggested wording} The NCWS pragram 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 2015. NCWS program commits 1 xxxEND_PAGE:deq27_b048_0234_0239_1 to include information on providing lead consumer notice in the annual monitoring letter sent to all NTNCW5s for CY 2016. STATE: The State faund this change in the wording acceptable. Callection of Lead samples at NINCWSs during June — September 2016 timeframe {Suggested wording) NCWS program cammits 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. STATE: The State found this change in the wording acceptable.

Draft Notes from Michigan semi-annual call on 6/10

Date: ‘Wednesday, July 01, 2015 6:32:00 PM. ‘All—Below are my draft notes from our call last week, June 10, 2015. Thank you all for participating. | apologize for the delay in getting these out in draft to you all for review—I was hoping to get a couple of items ironed out that were fuzzy during our discussions, but hasn’t happened yet. Several ACTION items 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 you! Jennifer Attendee: MDEQ: Liane Shekter-Smith, Richard Benzie, Carrie Monosmith, Kris Philip, Dan Dettweiler, Marjorie Rodriguez (Student), Kevin Holdwick, Mike Prysby, Dana DeBruyn, Steve Busch EPA Region 5: Tom Poy, Rita Bair, Nick Damato, Janet Kuefler, Michele Palmer, Tom Murphy, Heather Shoven, Cary McElhinney, Andrea Porter, Miguel Deltoral, Mostafa Noureldin Summary: ‘L.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. a. Consumer notification of tap results at NTNCW' (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 schaols/daycares, to begin providing lead consumer notice in CY 2016. NCWS program commits to include information on providing lead consumer notice in the annual monitoring letter sent to all NTNCWSs for CY 2016. STATE: The State found this change in the wording acceptable. b. Collection of Lead samples at NTNCWSs 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. STATE: The State found this change in the wording acceptable. . Follow-up Actions for NTNCWSs that sample outside of June-September 2015 timeframe (From 5/5/15 call notes w/EPA) MDEQ commits to providing Region 5 with all CY 2015 lead (and copper?) sample data for all NTNCWSs by March 2016 so that EPA can analyze how many PWSs monitored outside the June through October timeframe. EPA commits to follow-up with MDEQ to discuss follow-up actions. STATE: The State agreed to providing EPA RS the raw lead and copper data for all CY 2015 for all NTNCWSs, The WaterTrack database does have data, but it can’t generate violations. MDEQ doesn’t commit to enforcing against 2016 violators in FY 2016. The State said, it is planning on disinvesting in enforcing against these violators due to limited capability of WaterTrack; however, if the State's noncommunity data management capabilities improve during FY 2016, implementation of this disinvestment may become a reality. The State has not designated an alternate timeframe, or done system specific documentation as to why the system qualifies for a different timeframe. d. Submittal of the lead and copper reporting form (Suggested wording) MDEQ commits to requiring CWSs and NTNCWSs to submit the lead and copper reporting form via the annual monitoring letters to each system, tracking CWSs and NTNCWSs submittal of the lead and copper reporting form, and commits to issuing violations for failure to submit the lead and copper reporting form. The reporting form provides the address of the sample site, designates sampling site selection criteria, and explanation(s) for any changes in sampling sites. STATE: Dan Dettweiler stated that the NCWS program was not in a position to do this for the NTNCWSs at this time. Tam Murphy asked how does WaterTrack handle/track high lead results? Tom M said there is a truncation issue on the sample location name field. Dan acknowledged that this problem has been identified, and the Department of Technology Management and Budget (DTMB) has been trying to fix this problem, but it is a challenging problem. Dan stated that sample sites for NTNCWSs are actually identified by LHDs during the sanitary survey and are documented in the sanitary survey. The LHDs check the pdf of the laboratory results that clearly states where the sample was taken, and calculates the 90" percentile. However, Dan stated that the requirement to send in the lead and copper reporting form is not currently in the LHD annual monitoring letter sent to each system. The NTNCWSs do not couple this form to the Lead Consumer Notice, as does the CWSs. Kris Philip pointed out that the LHDs select the sample sites, thus when they are calculating the 90" percentile, they are actually double checking the sites with the results. From our discussion, the Region concluded that at this time, the LHDs are actively reviewing the lead and copper results and the sample locations when they calculate the 90” percentiles to ensure proper LCR monitoring is conducted by ALL NTNCWSs at the proper sample sites. After our call, | asked for verification of this statement, and Dan Dettweiler responded, “Just as with an exceeding value of an MCL, WaterTrack alerts the LHD when at least one sample for a water system exceeds the AL. A 90" percentile calculation is made only when an exceeding result alerts the LHD. For cases Where there are no exceeding results, private lab samples are reviewed at the time LHDs hand-enter them into WaterTrack. State lab samples, which flow electronically via nightly downloads from the state lab database, are reviewed when pdfs of the analysis reports are, routinely, emailed by the state lab to LHDs. Beyond that, MDEQ’s annual evaluation of the LHDs provides another opportunity for us to oversee the proper assigning and use of designated sampling locations.” ACTION: The Region will discuss Dan's response internally, and get back to the State with any issues/concerns. Kris Philip said that the CWS program is requiring that the systems submit the form, but they are not enforcing whether or not the system submits the form. Often, the CWS will submit the Lead Consumer Notice and the Lead and Copper reporting form together. Kris said if 90%+ are already submitting the forms, then the State will agree to follow-up and enforce this requirement. But, if less than that, will probably be too much of a burden. Kris said they may change the way DEQis tracking in SDWIS during FY 2016. But, the Region said SDWIS-Prime probably won't be available until 2017 at the earliest, ACTION: Kris Philip will research with the District Offices to determine the current submittal rate of the lead and copper reporting form from CWSs; and report back to the Region 2. Enforcement Update with Heather NTNCWSs under Bottled Water agreements due to Arsenic MCL violations: Per discussions with Region 5 and the February 2014 EPA/OECA memo, MDEQ has closed the old Arsenic open-ended MCL violations; however, no further quarterly monitoring is being conducted at the (427) systems that are still under bottled water agreements. Thus, no more arsenic MCL violations will be reported for these systems and these systems will not become priority systems (ETT score of 11 or more) since only one arsenic MCL violation will be reported (5 points) even though they have a longstanding issue with arsenic noncompliance. The Region would like to discuss the pros and cons of placing these PWSs with arsenic MCL violations on quarterly monitoring as required under 40 CFR Section 141.23(c)(7); and brainstorm possible solutions. Heather provided an update on how the State is daing in returning ETT systems to compliance; the State is doing very well in achieving its commitment for FY 2015. Heather said the Region is glad to see the State and LHD prioritization of implementation of the drinking water program and NTNCWS schools and daycares. Referring to the NTNCWSs under BW agreements that are in violation of the Arsenic MCL, Heather said that since there are no more open-ended MCL violations in SDWIS, that no MCL violations can be reported to SDWIS unless there is monitoring to show the system is in non-compliance. Even thaugh the LHD has indicated that these systems are drinking bottled water for public health protection, the use of bottled water cannot be a permanent solution to the fact that the system’s drinking water at the tap continues to exceed the MCL for arsenic. Dan said there are 22 systems, where 8 are schools, that should be conducting quarterly monitoring. Dana said that letters have been sent (OR drafted?) to these 22 systems to require quarterly sampling for arsenic; these 22 systems are in 10 different counties so the message from the State is consistent. A secondary effect of this new requirement for the systems, may be that they transition to another water source or install treatment sooner. The State voiced a concern that multiple quarterly violations could potentially affect the State’s relationship with the LHDs financially. Genesee and Oakland Counties have quite a number of noncommunity water systems. Multiple quarterly violations could affect the Dept of Community Health’s determination as to whether the LHDs are meeting their minimum program requirements; thus receive full funding for their work with the noncommunity systems for the drinking water program. The LHDs cannot have more than 20% of their systems with violations. The Region wonders how much funding would be cut from a LHD contract if it exceeds the 20% noncompliance level set in the contract? 3. Status of Flint a. TTHM levels for May—Due to MDEQ district engineer June 10-RECEIVED; see link to results xxxEND_PAGE:deq01_b045_3582_3583_1 003583 All samples below the TTHM MCL; one site still has an LRAA above the MCL but decreased from 105 ppb in Feb to 93.5 ppb in May. Mike Prysby said he is getting ready to issue the construction permit to the City of Flint to install a GAC filter in July, that will remove more TOC to further reduce the potential of developing TTHMs. Mike said he has already issued a construction permit for a transmission line within the City that will help reduce water age. b. Lead in Flint Our discussions with MDEQ indicate that no phosphates/corrosion control has been added to the system since April 2014 when the source of drinking water changed to the Flint River. We understand that the City is just finishing up its second set of 6-month initial monitoring for lead; where the results will probably warrant a Corrosion Control Study to be conducted. Since Flint has lead service lines, we understand some citizen-requested lead sampling is exceeding the Action Level, and the source of drinking water will be changing again in 2016, so to start 2 Corrosion Control Study now doesn’t make sense. The idea to ask Flint to simply add phosphate may be premature; there are many other issues and factors that must be taken into account which would require a comprehensive look at the water quality and the system before any treatment recommendations can/should be made. Miguel is recommending MDEQ. and EPA? approach Flint about formally requesting EPA’s Office of Research and Development in Cincinnati support on the lead in Flint drinking water issue, and request that Mike Schock, ORD, and possibly Darren Lytle, ORD, to participate in Flint’s drinking water advisory committee so that a comprehensive evaluation on how to proceed can be discussed Miguel provided a brief summary of the high lead results found at the residence of Ms. Leanne Walters in Flint. Miguel will follow up with a written summary of the work conducted, sample results, and conclusions. Miguel believes that lead levels in Flint are being affected by the lack of Corrosion Control being conducted by the City, since the LCR requires 2 6-month initial monitoring for a new source. Steve Busch stated that in the Lead sampling pool, almost all of the lead sample sites are lead service lines, and the State is not seeing large increases in lead levels at the tap. Miguel suggested that EPA experts in Lead, Mike Schock; and in distribution systems, Darren Lytle, be added to the Flint drinking water advisory committee to assist the City/State in determining the best way to proceed to minimize lead in the City’s drinking water during the interim use of the Flint River, and subsequent use of Lake Huron water. Miguel said he will send Mike Schock and Darren Lytle’s contact information to Steve and Mike. Steve pointed out that the City is following the LCR requirements, and completing the requirements in a timely manner. Miguel's point is that since the LCR was promulgated 20+ years ago, that research and different situations, like Washington D.C., have educated scientists, experts, and regulators that the existing requirements in the LCR may not be as protective as previously thought. Thus, he can only make recommendations as to how to revise sampling protocols. And Miguel acknowledges that it may be anther year before these regulation changes are promulgated in the Long-Term Lead and Copper Rule. In December 2015, the NDWAC recommendation is expected The Region asked the State if the Flint River will be a permanent supplemental source of drinking water, once the City of Flint connects with the Karegdodi pipeline from Lake Huron. Mike Prysby said that the City is currently pumping 22MGD, but the City has 40-50 MG of storage. The City is currently working on reducing its unaccounted for water losses, and these water losses are dropping. The State, through the Governor's office, provided disadvantaged system funding, $2M which includes $900K for lead detection, and pipe inspection. 4, Update on WaterTrack to SDWIS-State: The migration of WaterTrack data to SDWIS-State was number 39 on the Dept of Technology Management and Budget’s (DTMB) project list last year; this year itis number 30. It doesn’t appear this project has a high priority. Does the State have any new information on the progress of this project? Dan said that the migration of WaterTrack data to SDWIS-State has moved to a priority of 26 with DTMB so far this year. But Dan said they are going to take this project out of the que, since Ronda Page has returned to the drinking water program from DTMB. Ronda said she re-estimated DTMB’s involvement in this project to be far less than originally thought, so there is no need for any program developers or the tech team. This project will only need the Data Team and the web designers only. Ronda said they can set-up on a new server and migrate the data from WaterTrack to SDWIS-State themselves; in-house. Kris Philip remembers migrating the CWS data to SDWIS-State, so she can be a resource for this project. The parts that are needed to be completed by DTMB could be contracted out. Cary McElhinney said that there is a process of withholding PWSS grant funds and re-directing the funds to a HO. contract with SAIC, Richard Benzie said the process worked well last year when MI used PWSS funds to contract with a HQ contractor to conduct NEEDS survey training, ACTION: Jen will follow up with State and Tribal Programs Branch about the process and timing of holding back funds from the PWSS grant for the purpose of contracting with SAIC 5. Consequences of cutting the State drinking water program to a “minimal program” Jennifer had a discussion with Richard Benzie regarding the possibility of the Michigan State Legislature looking to have just a minimal drinking water program, meaning only a program with activities that are required by the Federal SDWA. Jennifer ultimately discussed this internally with Tom Poy. The minimal program suggested would cut out Operator Certification, Capacity Development, Plan Review, Cross Connection Control, Source Water Protection, among other programs that are State required. Operator Certification and Capacity Development, while not required by the Federal regulations, do have financial strings attached. And Plan review/construction permits are required by the SRF program for a loan. Any recent communication with the State Legislature that they might proceed and make this possibility a reality? Richard and Liane said there is no current threat from the State Legislature to cut the State-funded PW'SS program activities. But there is a State-wide impetus to delete old programs and regulations, so this could lead to questioning the purpose of State-funded PWSS program activities. Richard is just being proactive in preparing a justification. Richard remembers a discussion many years ago about what constitutes a “comprehensive drinking water program”. Tom Poy and Jennifer commented in a previous communication with Richard that the EPA PWSS primacy program and the State- funded activities in the drinking water program were meant to complement each other. To support this statement, Jennifer sent Richard some PWSS Priority guidance from the 90's, some preamble language from the 1976 SDWA found by our attorney, and language from Section 142 of the SDWA regulations from 1976 that might assist him in his justification. 6. EPA’s Resource Message at the LHD Workshop in April From the 2014 analysis of Shared Goals 2013 data, which is compliance data, for noncommunity systems, there are increasing trends of nitrate M/R violations for both NTNCWSs and TNCWSs. We discussed this on the last semi-annual call. Analysis of the 2015 Shared Goals 2014 data (April 2015) shows an improvement—that of decreasing numbers of bacti/nitrate M/R violations. However, in light of the upcoming implementation of RTCR in 2016, the question raised here in the Region is: Does the State have a plan with the LHDs as to what activities must be prioritized, and what will fall off the plate? Not all LHDs will need to disinvest based upon each LHD’s resources, but some poorly funded LHDs may have to disinvest in some activities/drop activities that have no risk to public health Carrie Monosmith said that she met with the RTCR workgroup, comprised of LHD Directors/sanitarians, last fall to identify activities that the state can disinvest in during the next several years as the LHDs begin implementation of RTCR. They could not identify any activity that could be dropped. The main thing that will help the LHDs save time is to get the electronic DWR (eDWR) going, or the CMD portal, which will drastically reduce the LHDs time in inputting laboratory data into WaterTrack/SDWIS-State. From there, they can develop electronic data forms (CROMEER compliant) that the systems can submit. Thank you! Jennifer shekterl@ michigan gov; 'Richard Benzie' <benzier@michigan gov>; ‘kris philip’ <[email protected]>; 'Monosmith, Carrie (DNRE)' 'DeBruyn, Dana (DEQ) <[email protected]>; Dettweiler, Dan (DEQ) Poy, Thomas <poy.thomas@epa gov>; Kuefler, Janet <kuefler janet@epa,gov>; Damato, Nicholas Shoven, Heather Murphy, Thomas <[email protected]>; Bair, Rita <bair [email protected]>; McElhinney, Cary Pniak, Edward <pniak.edward@epa,gov>; '[email protected]’; 'Prysby, Mike (DEQ)' <[email protected]>; Busch, Stephen (DEQ) <BUSCHS@ michigan gov> xxxEND_PAGE:deq01_b045_3582_3583_2

Draft Notes from Michigan semi-annual call on 6/10

All—Below are my draft notes from our call last week, June 10, 2015, Thank you all for participating. | apologize for the delay in getting these out in draft to you all for review—I was hoping to get a couple of items ironed out that were fuzzy during our discussions, but hasn’t happened yet. Several ACTION items 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 you! Jennifer Attendees; MDEQ:; Liane Shekter-Smith, Richard Benzie, Carrie Monosmith, Kris Philip, Dan Dettweiler, Marjorie Rodriguez (Student), Kevin Holdwick, Mike Prysby, Dana DeBruyn, Steve Busch EPA Region 5: Tom Poy, Rita Bair, Nick Damato, Janet Kuefler, Michele Palmer, Tom Murphy, Heather Shoven, Cary McElhinney, Andrea Porter, Miguel Deltoral, Mostafa Noureldin Summary: 1.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 to include information on providing lead consumer notice in the annual monitoring letter sent to all NTNCWSs for CY 2016. STATE: The State found this change in the wording acceptable. 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. xxxEND_PAGE:deq04_b300_3630_4070_398 STATE: The State found this change in the wording acceptable. Follow-up Actions for NINCWSs that sample outside of June-September 2015 timeframe

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 xxxEND_PAGE:deq24_b016_0044_0049_1 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

Agenda for MI Semi-Annual Call on Wed 6/10 at 10am EST; 9am CST

Date: Monday, June 08, 2015 11:20:01 AM Importance: High Good morning! Below is the Agenda | came up with for our semi-annual call this Wed morning. Please let me know if you would like to add additional items for us to discuss. Please note that | have invited Steve Busch, Mike Prysby and Pat Cook to discuss item no. 3 regarding Flint. Jennifer Agenda Topics for Michigan Semi-Annual Call on Wednesday June 10, 9am CST Call-in no: 877-226-9607 Code: 1896350612 4. 2. 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. a. 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 to include information on providing lead consumer notice in the annual monitoring letter sent to all NTNCWSs for CY 2016. b. 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 currently does not have the capability to track lead sampling compliance within this specific timeframe. c. Follow-up Actions for NINCWSs that sample outside of June-September 2015 timeframe

R5 Regional Administrator to visit Flint area this Friday

Our Regional Administrator, Susan Hedman, will be traveling to Flint this Friday to discuss Brownfields. Of course, we think the discussion will more likely be about the drinking water. Tom Poy and | briefed the RA yesterday on the pertinent issues. | will forward the briefing when it is final. Please don’t hesitate to contact Tom Poy (312-886-5991; goy thomas @ena.gov) or myself if you have questions. Jennifer (312.886.0244) xxxEND_PAGE:deq19_b13_1016_1232_046

R5 Regional Administrator to visit Flint area this Friday

Date: Wednesday, April 15, 2015 1:10:36 PM Our Regional Administrator, Susan Hedman, will be traveling to Flint this Friday to discuss Brownfields. Of course, we think the discussion will more likely be about the drinking water. Tom Poy and | briefed the RA yesterday on the pertinent issues. | will forward the briefing when it is final. Please don’t hesitate to contact Tom Poy (312-886-5991; [email protected]) or myself if you have questions. Jennifer (312.886.0244) xxxEND_PAGE:deq01_b230_3902_3902_1

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