EDF Health

Selected tag(s): Lead in drinking water

Promising proposal for addressing lead in schools and licensed child care – but gaps remain

Lindsay McCormick, Program Manager, and Tom Neltner, J.D., Chemicals Policy Director 

See all blogs in our LCR series.

Update: On February 5, 2020, we submitted comments to the Environmental Protection Agency (EPA) on its proposal. 

Through its proposed revisions to the Lead and Copper Rule (LCR) under the Safe Drinking Water Act (SDWA), EPA made the unprecedented move of proposing to require community water systems (CWSs) to test for lead in water at all schools and licensed child care facilities constructed prior to 2014. The current rule only requires testing if the facility is itself a regulated water system (e.g., uses own private well). While EDF fully supports testing in these facilities, we are concerned that EPA has overlooked several major issues, especially in the child care context.

Based on our experience – including a pilot project to test and remediate lead in 11 child care facilities, a training program for child care providers in Illinois, and monitoring of state child care testing requirements across the country – we believe that addressing lead in child care facilities is an important opportunity to improve public health. Though schools are also critical, we’ve focused on child care facilities as they present a major gap due to a number of reasons. First, children under the age of six are more susceptible to the harmful effects of lead – and those at the highest risk are infants who are fed formula reconstituted with tap water. Second, child care, especially home-based facilities, are often smaller operations than schools, and therefore more likely to have a lead service line. Finally, child care facilities often lack robust facility support and public accountability that schools may have.

From our background on this issue, we have identified three key flaws with EPA’s proposal. Specifically, it:

  1. Ignores lead service lines,
  2. Relies on inadequate sampling, and
  3. Does not provide sufficient support for remediation.

We also are concerned that the result of this proposed rule may sound like “one hand clapping.” If state licensing agencies and local health departments are not requiring or promoting testing, child care facilities are unlikely to cooperate, making it more difficult for CWSs to comply with the requirement. For this requirement to have greatest effect, CWSs need the support and participation of all parties involved.

This blog will provide an overview of EPA’s proposed requirement and an analysis of each of the key issues. Read More »

Posted in Health policy, Lead, Regulation / Also tagged , , , , , , | Comments are closed

Which faucets and fixtures have the lowest lead levels? California asks plumbing manufacturers.

Tom Neltner, J.D. is the Chemicals Policy Director and Lindsay McCormick is a Program Manager.

[pullquote]

Until California Water Board publishes its lists of fixtures that leach minimal lead, we recommend that schools and child care facilities routinely flush newly installed drinking water fixtures for several weeks and retest before allowing children to consume the water.

[/pullquote]

In November, the California Water Board took an important step that should benefit anyone seeking to buy a new faucet, drinking water fountain or other fixture – especially schools and child care facilities. The Board sent letters to more than 300 plumbing manufacturers and certifiers asking them to voluntarily provide information on fixtures that leach minimal lead. Specifically, it seeks to identify fixtures that meet lead leaching limits that are five times more protective than the current limits in the NSF/ANSI 61 standard.

The Board plans to make the compiled responses publicly available and encourage the 14,000 licensed child care centers in the state to buy new fixtures from those on the list when water testing indicates the fixture should be replaced. We anticipate that the Board will utilize the list to identify fixtures to purchase through a $5 million grant program the California State General Legislature established when it enacted AB-2370 last year. The funds are designed to help licensed child care facilities meet the state’s new mandated water testing and remediation program.

Read More »

Posted in Drinking water, Lead, Public health / Also tagged , , , | Comments are closed

Despite its flaws, states and communities should get ahead of the curve on EPA’s proposed lead in drinking water rule

Tom Neltner, J.D., Chemicals Policy Director, Lindsay McCormick, Program Manager, and Sam Lovell, Project Manager.

See all blogs in our LCR series.

In October, the Environmental Protection Agency (EPA) proposed changes to its outdated Lead and Copper Rule (LCR), the federal regulation designed to control those contaminants in drinking water. As the result of more than a decade of work by dedicated agency experts, the proposal makes several improvements to key parts of the rule, including requirements for lead service line (LSL) inventories and customer notification. LSLs are the lead pipes that connect the main under the street to homes and buildings and are the most significant source of lead in drinking water.

Unfortunately, EPA’s proposed rule has several serious flaws, including that it:

  • Continues to treat full LSL replacement as a last resort. The proposed rule should make LSL replacement an integral part of a long-term solution, including periodic benchmarks for all water systems to achieve regardless of water testing results.
  • Continues to allow water systems to conduct partial replacements where the property owner is unwilling or unable to pay the cost for the portion not owned by the water system. Partial LSL replacement may significantly increase lead levels in drinking water for months and does not reliably reduce lead levels in the long term. While water systems would be required to gives residents tools (e.g. advanced notice and filters) to reduce the exposure, more is needed. EPA’s own analysis finds that relying on a resident’s ability-to-pay to replace the LSL on their property to avoid partial replacements will leave low-income households with disproportionately higher health risks.
  • Backslides on the rate of mandatory LSL replacement. When a water system’s lead levels are so high that full LSL replacement is mandated, EPA proposes an annual replacement rate that gives the system at least 33 years rather than the current minimum of 15 years to replace all of its LSLs. While more systems are likely to have to conduct mandatory full LSL replacement because of the stricter sampling requirements, most will not.

EPA is accepting comments on the proposed revisions until February 12, 2020. We are preparing detailed comments calling for the agency to fix the flaws before finalizing the rule, and we encourage others to comment as well.

Despite these shortcomings, we want to highlight four positive elements of the proposed rule and encourage states and communities to consider implementing them now – not just because they are likely to be required in the future – but also because they set the stage for full LSL replacement. These elements are that water systems must:

  • Develop an LSL inventory, update it annually, and make it publicly accessible;
  • Notify customers that they have or may have an LSL;
  • Take precautions when disturbing LSLs; and
  • Sample more homes with LSLs and take earlier action based on the results.

In this blog, we provide an overview of these key improvements. In future blogs, we will describe our recommendations to strengthen the rule based on our comments to the agency.

Read More »

Posted in Drinking water, Health policy, Lead, Regulation / Also tagged , , , , , | Comments are closed

New Jersey takes major steps forward on lead in drinking water

Tom Neltner, J.D., Chemicals Policy Director.

When it comes to addressing the challenge of lead service lines (LSLs), recent events in New Jersey have set the stage for long-term progress amid short-term crises. The watershed moment came on October 10, when Jersey Water Works and Governor Phil Murphy held a joint press conference announcing their respective plans to reduce lead in drinking water that featured a shared goal of fully replacing the state’s estimated 350,000 LSLs within ten years. A week earlier, Congress enacted a law, authored by Senator Booker, enabling New Jersey – and other states as well – to secure critical funding by shifting the state’s share of the Clean Water State Revolving Fund (SRF) to the Drinking Water SRF.

With the Governor’s announcement, New Jersey joins Michigan and Washington as the only states to commit to fully replacing LSLs. It also becomes a leader among the 16 states that have adopted policies in the past four years that support the hundreds of communities taking action to replace their LSLs.

As other states consider the LSL challenge, they should look to the process New Jersey used to reach this stage and its close coordination with state agencies.

Read More »

Posted in Drinking water, Lead / Also tagged , , | Read 1 Response

Taking on the lead challenge: State and community action accelerates across the country

Sam Lovell, Project Manager and Tom Neltner, J.D., Chemicals Policy Director.

In January, we reported on the tremendous progress made by states and communities in 2018 to replace lead service lines (LSLs) – the estimated 6.1 million lead pipes across the country that connect homes and other buildings to the water main under the street. At that time, our tracker stood at 95 communities and 16 states working to replace LSLs.

Half a year later, and the total number of communities (including municipalities and water utilities) EDF has learned of that are leading the way has swelled to 181.[1]

  • 7 communities located in Massachusetts, Michigan, Oregon, South Dakota, Washington, and Wisconsin have publicly announced that they completely replaced all known LSLs.
  • 108 communities have publicly set a goal of eliminating LSLs on public and private property, totaling more than 381,000 LSLs. Nearly ¾ of these communities are served by the investor-owned utility, American Water’s, operations in Missouri (34 communities), Indiana (27 communities), and Pennsylvania (19 communities). For the remaining states, Wisconsin is leading the way with 11 communities followed by Michigan with five; Colorado and Massachusetts with two; and Arizona, Arkansas, Montana, New Jersey, and Washington each with one.
  • 66 communities are publicly taking steps to replace LSLs but have not yet set a goal of full replacement. These communities include 15 in Wisconsin; 12 in New York; 11 in Illinois; seven in Michigan and Massachusetts; five or fewer in Colorado, Iowa, Kentucky, Minnesota, New Jersey, Ohio, Pennsylvania, Rhode Island, Texas, Vermont, and Virginia; and Washington, D.C.

Read More »

Posted in Drinking water, Lead / Also tagged , , , | Comments are closed

Lead from new “lead-free” brass faucets? An update on progress

Tom Neltner, J.D. is the Chemicals Policy Director and Lindsay McCormick is a Program Manager.

[Update: On 10/23/19, the NSF committee responsible for revising NSF 61 tentatively agreed to tighten the limits on lead leaching from new faucets and drinking fountains. The committee will move forward with a formal vote and, if approved, will receive public comment on the proposed changes.]

Last year, we discovered and reported in a blog, that some new brass faucets that meet existing standards and are labelled “lead-free” can still leach significant amounts of lead into water in the first few weeks of use. Here, we answer some questions that have come up and provide an update on efforts to revise the NSF/ANSI 61 standard to better protect and inform consumers.

Last November, the committee responsible for revising the NSF/ANSI 61 standard convened a group to consider an optional certification for faucets that meet a more protective limit. A study of more than 500 models of faucets showed that 73% of faucets leach less lead into water and can meet a limit that is five times more protective for children. However, currently there is no easy way to identify these “lower lead” models. The optional certification would enable consumers, schools, and child care facilities to identify and purchase faucets that leach less lead to drinking water.

Unfortunately, as described later in this blog, representatives of the brass faucet manufacturers have worked to block the optional certification. As of August 2019, the committee has not decided whether to move forward with a proposal for the optional certification to receive public notice and comment. If the committee fails to move forward, we anticipate that some major retailers that sell brass faucets and other major buyers such as school districts and builders would use their leverage to set higher standards in their purchasing specification that favors models performing better on the NSF/ANSI 61 lead leaching test.

Read More »

Posted in Drinking water, Lead / Also tagged , , | Comments are closed