| Comment | The California Association of Sanitation Agencies appreciates the
opportunity to comment on the proposed amendments to both the EICG
and CTR posted by the California Air Resources Board (CARB), in
support of harmonizing these efforts and developing a strategy
through which the wastewater sector can respond. While we continue
to have questions and concerns about issues, such as the proposed
two-step process and the utility of this information without final
toxicity data, we want to thank CARB for engaging in discussions on
the EICG, the CTR, as well as steps needed to identify a wastewater
sector-specific list of Appendix A-1 compounds. We look forward to
working collaboratively with CARB and CAPCOA to establish a formal
approach that can quantify actual emissions from our member
facilities.
Regards,
Sarah A. Deslauriers
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