water quality standards update nancy ross environmental specialist iii wqssps may 19, 2005
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Water Quality Water Quality Standards Standards
UpdateUpdateNancy RossNancy Ross
Environmental Specialist IIIEnvironmental Specialist IIIWQSSPSWQSSPS
May 19, 2005May 19, 2005
Water Quality StandardWater Quality StandardDefines the water quality goals for a
water body, or portion thereof, by
1. designating the use or uses to be made of the water,
2. setting criteria necessary to protect the uses, and
3. protecting water quality through antidegradation provisions.
CriteriaCriteria• Concentrations of specific chemicals or
levels of parameters in water that protect designated uses.
• Based on sound scientific rationale
• EPA Clean Water Act 304(a) criteria guidance
• States may develop their own criteria
Florida’s Surface Water Quality Standards Florida’s Surface Water Quality Standards are found in Chapter 62-302, Florida are found in Chapter 62-302, Florida
Administrative CodeAdministrative Code
Standards are adopted by the Environmental Standards are adopted by the Environmental Regulation Commission, a citizen group Regulation Commission, a citizen group
appointed by the Governor.appointed by the Governor.
Standards must be approved by EPA.Standards must be approved by EPA.
Rulemaking in Progress Rulemaking in Progress (or about to begin)(or about to begin)
• Promulgation of Enterococci Bacteria Criteria for Coastal Recreation Waters
• Revisions to Human Health Based Water Quality Criteria based on a Florida Fish Consumption Rate
• Triennial Review
Enterococci PromulgationEnterococci Promulgation
BEACH ActBEACH ActBeaches Environmental Assessment and Coastal Beaches Environmental Assessment and Coastal
Health ActHealth Act
• Passed by Congress 2000.
• Established monitoring program for coastal beaches.
• Required coastal states to adopt criteria for their coastal recreation waters for pathogens and pathogen indicators for which EPA has 304(a) ambient water quality criteria by April 10, 2004
Beach MonitoringBeach Monitoring• On going. DOH received $544,000 from EPA in
2004 to spend on beach monitoring at 308 beach locations in Florida.
• DOH received $525,000 for beach monitoring from the state legislature through the Healthy Beaches Act.
• Monitoring results are available on the DOH web site.
• Funding is expected to continue yearly.
Enterococci CriteriaEnterococci CriteriaEnterococci are • EPA’s recommended indicator of fecal
contamination in marine waters.• a group of bacteria in the enteric system
of warm blooded animals.• a totally separate bacterial group from
coliforms which are the current water quality indicators of fecal contamination.
Criteria AdoptionCriteria Adoption• EPA published 304(a) CWA criteria in 1986
for enterococci in marine waters. • Criteria are based on epidemiological
studies at several beaches.
• EPA concluded that enterococci were better than the current coliform criteria for use as indicators of pathogens causing gastrointestinal illness to swimmers in marine waters.
Promulgation of CriteriaPromulgation of Criteria• EPA promulgated enterococci criteria for coastal
recreation waters effective December 16, 2004. The criteria apply for all Clean Water Act programs in Florida. (Permits, TMDLs)
• Coastal recreation waters are defined as marine coastal waters (including coastal estuaries) that are designated under CWA section 303(c) by a State for use for swimming, bathing, surfing, or similar water contact activities.EXCLUSIONS—The term ‘coastal recreation waters' does not include inland waters; or waters upstream of the mouth of a river or stream having an unimpaired natural connection with the open sea.
• No decision yet on including enterococci criteria in 62-302.530, F.A.C.
Revisions to Human Health-Revisions to Human Health-Based Water Quality CriteriaBased Water Quality Criteria
Revisions to Human Health Based Revisions to Human Health Based Water Quality CriteriaWater Quality Criteria
• A 9 year effort.
• Based on a 1994 study by UF IFAS that found that Floridians consume more fish and shellfish than the national average.
• Baseline Risk Analysis found dermal absorption may be a significant exposure (intake) route from surface water for some pollutants.
Revisions to Human Health Based Water Revisions to Human Health Based Water Quality Criteria Parameters AffectedQuality Criteria Parameters Affected
Carcinogens:Aldrin Dichloromethaneb-BHC DieldrinBenzene 2,4-DinitrotolueneBromoform HeptachlorCarbon tetrachloride
HexachlorobutadieneChlordane LindaneChlorodibromomethane total PAHsChloroform PCBsChloromethane PentachlorophenolDDT 1,1,2,2-
TetrachloroethaneDichlorobromomethane
Tetrachloroethylene1,1-Dichloroethylene Trichloroethylene
2,4,6-Trichlorophenol
Non-Carcinogens:AcenaphtheneAnthraceneAntimonyBeryllium2-Chlorophenol2,4-Dichlorophenol2,4-DinitrophenolFluorantheneFluorenePyreneThallium
Flow Chart Describing the Process Followed for Flow Chart Describing the Process Followed for Developing Proposed 62-302 Surface Water Quality Developing Proposed 62-302 Surface Water Quality
Criteria for FloridaCriteria for Florida
1. Risk Analysis • Assumed all waters of the State at maximum allowable concentration• Calculated risks for various populations exposed through the oral (drinking and fish
consumption), dermal, and inhalation routes)
2. Selection of Appropriate Level of protection• The population selected for evaluating risks was that composed of all adults,
irrespective of race or ethnicity, consuming Florida (marine nearshore and freshwater) fish, and assumed to be exposed during their entire lifetime (70 years)
• The 90th percentile of the risk distribution was selected as the target for affording appropriate protection (an excess lifetime cancer risk of one in one million or a non-carcinogenic hazard quotient of one)
3. Revision of the Surface water Standard:• Selection of a new fish consumption rate assumption• Fish consumption data for Florida indicate that Floridians ingest significantly more
fish than what it was previously assumed (6.5 g/d) and than what the U.S. EPA currently recommends (17.5 g/d)
• These data show that a consumption value between 40 and 60 g/d may be justified• The Risk Analysis showed that, for contaminants for which fish consumption
contributes almost exclusively to exposure, the fish consumption assumption will have to be increased by about seven-fold in order to bring the 90th percentile risk to the acceptable level of protection
• A value of 47 g/d was selected as the new fish consumption assumption, which roughly corresponds to a seven-fold increase from the value previously used (6.5 g)
Flow Chart Describing the Process Followed for Flow Chart Describing the Process Followed for Developing Proposed 62-302 Surface Water Quality Developing Proposed 62-302 Surface Water Quality
Criteria for FloridaCriteria for Florida4. Revision of the Surface Water Standard:• Selection of an appropriate adjustment factor to account for non-oral exposures• The Risk Analysis showed that non-oral exposures (i.e., through the skin and through
inhalation) can be of significance for several chemicals• An adjustment on the fish consumption assumption does not bring these chemicals to
the desired level of protection, therefore, and additional factor must be included when calculating the new standard
• Risks were calculated for the same population as mentioned in 2. a, but using the new fish consumption assumption as input.
– For chemicals whose exposures are dominated by the oral route, the 90th percentiles now calculated are roughly on target
– The 90th percentile value provides a measure of the adjustment that is needed to bring all chemicals to the same levels of protection
• The 90th percentile calculated using the new fish consumption assumption corresponds to the adjustment factor, or “oral route relative contribution” factor expressed in reciprocal form.
5. Revision of the Surface Water Standard:• Calculation of a final proposed surface water standard• Calculation of the new standard used as input the new fish consumption rate
assumption of 47 g/d • For each chemical, a chemical-specific “oral route relative contribution” factor was
used for calculation of the standard
Revisions to Human Health Based Water Revisions to Human Health Based Water Quality Criteria Proposed CriteriaQuality Criteria Proposed Criteria
See Handout.
Compared to current criteria, Beryllium and 1,1-Dichloroethylene are higher for Class I, II and III waters. Chloroform is higher in Class I waters. The rest are lower (more stringent)
Revisions to Human Health Based Revisions to Human Health Based Water Quality CriteriaWater Quality Criteria
• Teleconferences ongoing with interested parties to resolve remaining issues.
• Criteria may see one more revision.
• Anticipated completion date: December 2005
Triennial ReviewTriennial Review
Triennial Review – Specific Triennial Review – Specific ConductanceConductance
1. 1996, the Friends of Perdido Bay petitioned the Department to change the specific conductance Rule 62-302.530(23), F.A.C., for Class III freshwaters.
2. The petition stated that the upper limit of 1275 micromhos/cm is much too high for freshwater streams of north Florida which usually have a background conductance of 50 to 70 micromhos/cm.
3. We now have data to support a revision of the Specific Conductance criteria based on loss of sensitive macroinvertebrate taxa.
4. During the Triennial Review process we will take public comment on the appropriate limits for this new Specific Conductance criterion.
Triennial Review - AmmoniaTriennial Review - Ammonia1. Proposing the adoption of the EPA criterion for un-
ionized ammonia in saltwater. 2. Criterion protects aquatic life from the chronic
toxic effect of un-ionized ammonia. This is not a nutrient standard.
3. Currently, Florida has a criterion for un-ionized ammonia in fresh waters.
4. A marine standard for un-ionized ammonia will focus attention on ammonia toxicity problems sooner in the permitting process.
5. Opposed last Triennial Review by the regulated community who believe the criterion is unnecessary and will be expensive to implement. The Open Ocean Dischargers believe the criterion is not applicable in the open ocean and that the cost to implement the new standard will be significant without providing any significant environmental benefit.
Triennial Review - SSACsTriennial Review - SSACs
Site-Specific Alternative Criteria: 1. Deletion of the phrase “man-induced
conditions which cannot be controlled or abated” from Type I SSACs
2. Add allowance for “alternative demonstrations” under Type II SSACs.
3. Add a third Site-Specific Alternative Criteria (SSAC) Option to 62-302.800, F.A.C., allowing the Secretary to approve SSACs for wetlands.
Triennial Review - UAAsTriennial Review - UAAs
Use Attainability AnalysisAdd the 40 CFR 131.10(g) Use Attainability Factors for reclassification of waters not meeting designated uses to 62-302.400, F.A.C.
40 CFR 131.10(g) Use Attainability 40 CFR 131.10(g) Use Attainability FactorsFactors
1. Naturally occurring pollutant concentrations prevent the attainment of the use; or
2. Natural, ephemeral, intermittent or low flow conditions or water levels prevent the attainment of the use, unless these conditions may be compensated for by the discharge or sufficient volume of effluent discharges without violating State water conservation requirements to enable uses to be met; or
3. Human caused conditions or sources of pollution prevent the attainment of the use and cannot be remedied or would cause more environmental damage to correct than to leave in place; or
4. Hydrologic modifications preclude the attainment of the use, and it is not feasible to restore the water body to its original condition or to operate such modification in a way that would result in the attainment of the use; or
5. Physical conditions related to the natural features of the water body, such as the lack of a proper substrate, cover, flow, depth, pools, riffles, and the like, unrelated to water quality, preclude attainment of the aquatic life protection uses; or
6. Controls more stringent than those required by sections 301(b) and 306 of the Federal Clean Water Act would result in substantial and widespread economic and social impact.
Triennial Review - VariancesTriennial Review - Variances
Variances are Temporary Changes to Water Quality Criteria.
We propose to add a third method to 62-4.243, F.A.C. allowing permit applicants to obtain a temporary change to water quality standards when circumstances satisfy one of the 40 CFR 131.10(g) use attainability factors.
Triennial Review - ArsenicTriennial Review - Arsenic
Revise Class I water quality criteria for Arsenic to agree with current drinking water regulations.
from < 50 micrograms/L
to < 10 micrograms/L
Triennial Review - Fecal and Total Triennial Review - Fecal and Total ColiformColiform
Revise the Fecal Coliform criteria to delete the 800 counts/100 mL single sample maximum.
Delete the Total Coliform criteria. The Total Coliform criteria are seldom used except in the drinking water program. The Drinking Water Standards contain appropriate Total Coliform limits.
Triennial Review - CadmiumTriennial Review - Cadmium
EPA has updated their Clean Water Act 304(a) ambient criteria for Cadmium. We propose to adopt the new EPA total recoverable Cadmium criteria.
Cadmium limits will become more stringent.
Triennial Review – Secondary Triennial Review – Secondary Drinking Water StandardsDrinking Water Standards
1. Eliminate the secondary drinking water standards for iron, fluoride, chloride, and total dissolved solids from the Class I surface water quality criteria in 62-302.530, F.A.C.
2. EPA regulations do not require secondary drinking water criteria to be included in surface water quality standards.
3. The Class I aquatic life designated use will still be protected with a higher criterion for iron and fluoride.
Triennial Review and YouTriennial Review and YouThe Water Quality Standards and Special Projects Section is responsible for the Triennial Review of Water Quality Standards.
Send proposed revisions to Chapter 62-302, F.A.C. to
nancy.ross@dep.state.fl.us
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